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Giuffre_Maxwell_Batch8_p00215.png

Source: GIUFFRE_MAXWELL  •  other  •  Size: 255.7 KB  •  OCR Confidence: 94.8%
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Case 1:15-cv-07433-LAP Document 1335-1 Filed 01/09/24 Page 214 of 465 Page 213 G Maxwell - Confidential thrilled to go through all of them. Q. Let's go through them. What's the first one? A. Her characterization of the first meeting at Mar-a-Lago. Q. What part of that was an obvious A. The characterization that she said that she said she was accosted. She looked like, as best as I can recall, if I met her in Mar-a-Lago as she claims, she worked at Mar-a-Lago, she claims, and her statement she worked at Mar-a-Lago, she would have been dressed as all the spa people in Mar-a-Lago would have been. It would have been impossible to identify her as someone other than someone who worked at a spa. She made many claims, she has been a bathroom attendant, front of house attendant, we don't know what she was, so her obvious lies are her contradictory of her own personal statements within that. Q. So what part of her statement relating to Mar-a-Lago -- MAGNA® LEGAL SERVICES

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Filename Giuffre_Maxwell_Batch8_p00215.png
File Size 255.7 KB
OCR Confidence 94.8%
Has Readable Text Yes
Text Length 987 characters
Indexed 2026-02-04 12:49:35.304250
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