Giuffre_Maxwell_Batch4_p00289.png
Extracted Text (OCR)
Case 1:15-cv-07433-LAP Document 1328-15 Filed 01/05/24 Page 6 of 6
evidence.
BY MS. EZELL:
BY MS. EZELL:
WwMWAKDUSWNHH
were removed from the El Brillo mansion?
MR. REINHART: Objection to the form, lack of
foundation, and it also assumes knowledge of a
place known as the El Brillo mansion. So instruct
the witness not to answer the question based on the
Fifth Amendment.
THE WITNESS: At the instruction of my lawyer,
I must invoke my Fifth Amendment right.
BY MS. EZELL:
Q. Was Jane No. 103 invited to just come and hang
out at the El Brillo mansion?
MR. REINHART: Objection to the form, same as
the previous question. It assumes knowledge of a
place known as the El Brillo mansion and a person
by the name of Jane No. 103. It is compound and
tacking in foundation.
THE WITNESS: at the instruction of my lawyer,
I must invoke my Fifth Amendment right.
BY MS. EZELL:
Q. Have you called any girls under the age of 18
in Palm Beach or West Palm Beach in the last six years?
MR. REINHART: For any purpose?
MS. EZELL: Yes.
THE WITNESS: Can you repeat the question?
BY MS. EZELL:
Q. Have you called any girls under the age of 18
in Palm Beach or West Palm Beach in the last six years?
MR. REINHART: You can answer that yes or no,
if you know.
THE WITNESS: I don't think so.
MS. EZELL: I don't have any other questions,
Thank you.
THE VIDEOGRAPHER: All set?
MR. REINHART: Yes.
THE \ IDEOGRAPHER: This concludes today's
videotape deposition of Sarah Kellen.
MR. REINHART: Hold on, I'm sorry, one last
thing. Since you're the last defense person or
plaintiff's lawyer standing, I guess you need to
advise her she has the right to read or waive on
the record,
MS. BZELLs You do have the right to read this
(561) 832-7500
Electronically signed by Rachel Bridge (201-272-617-4627)
reasonably designed to lead to discoverable
Q. Did you facilitate these acts as well as
assisting Mr. Epstein in avoiding police detection?
MR. REINHART: Same instruction.
Q. Do you know when and by whom the computers
WDA KDUSWNHH
Page 447}
deposition or you may waive reading and allow the |;
court reporter to simply type it up and distribute —_ |}
it to the lawyers who order it.
Do you choose to read or waive?
THE WITNESS: Waive.
MS. EZELL: Thank you.
MR. REINHART: Thank you.
THE VIDEOGRAPHER: Okay, this concludes |)
today's videotape deposition of Sarah Kellen. The |)
time is 18:51. i
(Witness excused.)
(Deposition was concluded.)
Page 448}
CERTIFICATE
THE STATE OF FLORIDA
COUNTY OF PALM BEACH
1, Rachel W. Bridge, Registered Professional
Reporter, Florida Professional Reporter and Notary
Public in and for the State of Florida at large, do
hereby certify that I was authorized to and did report
said deposition in stenotype; and that the foregoing
pages are a true and correct transcription of my
shorthand notes of said deposition.
I further certify that said deposition was
taken at the time and place hereinabove set forth and
that the taking of said deposition was commenced and
completed as hereinabove set out.
| further certify that I am not attorney or
counsel of any of the parties, nor am I a relative or
employee of any attorney or counsel of party connected
with the action, nor am [ financially interested in the
action,
The foregoing certification of this transcript
does not apply to any reproduction of the same by any
means unless under the direct control urd direction
of the certifying reporter.
21 (pages “445 to 448)
PROSE COURT REPORTING AGENCY, INC. (561) 832-7506
905d1499-0cd8-4599-a2a0-6d38827b68c6
GIUFFRE001786
Document Details
| Filename | Giuffre_Maxwell_Batch4_p00289.png |
| File Size | 1806.3 KB |
| OCR Confidence | 93.6% |
| Has Readable Text | Yes |
| Text Length | 3,576 characters |
| Indexed | 2026-02-04 12:41:42.872434 |