Giuffre_Maxwell_Batch6_p00200.png
Extracted Text (OCR)
Case 1:15-cv-07433-LAP Document 1331-15 Filed 01/05/24 Page 16 of 27
Page 375
1 A. Yes.
2 Q. Allright. And then you saw another
3 picture of a Brazilian woman who had traveled or
4 flown on the plane before?
5 A. Yes.
6 Q. Allright. And she also appeared to be a
7 woman to you not only in the photograph but from
8 your having seen her who appeared to be in her
9 20's?
10 A. Yes.
11 Q. Excuse me. Thank you. You talked about
12 Sarah Kellen's computer. Was she hooked into your
13 main system?
14 A. Not to my office in the staff house but
15. she was hooked into the main house.
16 Q. Okay. The same Citrix system?
17 A. Yes,
18 Q. And you said that Sarah had pictures of
19 women on her computer that you saw. Is that
20 correct?
21 A. Yes.
22 Q. Okay. And were those the same types of
23 pictures that Ms. Maxwell had, that is, females,
24 pictures of females who had traveled in with Mr.
25 Epstein from his plane?
Page 376
ag A. This were different pictures.
2 Q. Okay, Were any of hers of any of the
3 girls who came in on the plane, or the ladies or
4 women?
| A. No.
6 Q. What were her pictures of?
7 A. They were young women modeling, you know.
8 I don't remember seeing nudity on Sarah's
9 computer.
10 Q. All right. Hers, when I say hers, the
11 photographs that Sarah Kellen had on her computer
12 were all of individuals who appeared -- or not
13 appeared, but were dressed and appeared to be
14 modeling?
15 A. Yes.
Q. Would it be a correct statement ha none
y' a
the women that you saw on Sarah’ S pulls were
19 any of the girls, women, whoever came to give
20 massages? Is that correct?
21 MR. EDWARDS; Object to the form.
22 MS. EZELL: Form,
23 THE WITNESS: That's correct.
24 BY MR. CRITTON:
25 Q. You said that Sarah you in also had
WOANANDWNH
Page 377
names and addresses of -- let me start over.
Strike that.
If I understood your testimony, you said
that Sarah had pictures -- start again.
You said that Sarah had the names and
phone numbers of some of the massage girls.
A. Yes.
Q. Or at least of the people that you
thought may have been called to give massages.
A. Yes.
MS. EZELL: Form.
MR. EDWARDS: Form.
BY MR. CRITTON:
Q. And was that in the same format that you
saw on Ms. Maxwell's computer?
A. No.
Q. Okay. What occasion would you have been
-- have had to use Sarah Kellen's computer?
A. She will instruct me to get some
information from her desk or telephone numbers, so
I will,
Q. And that's where you would have seen it?
A. Yes.
Q. I think you testified at your last
deposition, or the start of your deposition that
the number of women that you remember came over to
give massages was something eight to ten, twelve,
I don't remember, what's your best recollection?
A. Can you repeat that, please?
Q. Of the women, of different women that you
knew came over to give massages during the time
that you worked for Mr. Epstein, '04 to '05,
during that time period, approximately how many
women were there?
MR, EDWARDS: Object to the form.
THE WITNESS: To give massages?
BY MR. CRITTON:
Q. Yes, sir.
A. Fifteen, yeah.
Q. So something between one and fifteen of
the names you would es seen on bled Kellen's
MR. "EDWARDS: Faria,
THE WITNESS: Yes.
BY MR. CRITTON:
Q. Do you remember how many you would have
seen?
A. Fifteen.
Q. Okay. You also told us earlier today
that you saw Sarah Kellen from time to time taking
~~ 28 (Pages 375 to 378)
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Document Details
| Filename | Giuffre_Maxwell_Batch6_p00200.png |
| File Size | 1556.2 KB |
| OCR Confidence | 90.9% |
| Has Readable Text | Yes |
| Text Length | 3,534 characters |
| Indexed | 2026-02-04 12:46:13.294653 |