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Source: GIUFFRE_MAXWELL  •  Size: 610.6 KB  •  OCR Confidence: 93.9%
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Case 1:15-cv-07433-LAP Document 1335-4 DMIDMNAHBWNHRFPOWOCDIDA UYU AWNHE Page 206 G Maxwell - Confidential tell you, I can only talk about what I know to be true. What I know is her story about how she claims that initial situation happened is so egregiously false and such a giant fat enormous, repulsive, disgusting, inappropriate, vile lie, that that I can testify to. Q. Was she lying when she said she met you at Mar-a-Lago? A. Again J already testified I don't recall meeting her at Mar-a-Lago. Q. We showed you a document where you said you met her at Mar-a-Lago when she was 17, is that correct? MR. PAGLIUCA: Objection to the form and foundation. A. I think I already testified to that. What I remembered based on all the rubbish she has written and all the many articles I have read, maybe in the moment when I wrote that, have caused me to have that but on reflection I don't recall it as I sit here today. Q. Are you saying that it was an Filed 01/09/24 Page 54 of 106 Page 208 G Maxwell - Confidential pounding, no stomping, no, that's not appropriate,. A. Can we be clear, I didn't threaten anybody. MR. PAGLIUCA: Stop, you made your record, there is no dent in the table. I don't see any chips. Can we take a break now. MS. McCAWLEY: I think it's appropriate to take a break. THE VIDEOGRAPHER: It's 1:56 and we are off the record. (Recess.) THE VIDEOGRAPHER: It's now 2:13, we're starting disk No. 5 and we are back on the record. Q. Ms. Maxwell, how old was Virginia Roberts when you met her in Mar-a-Lago? MR. PAGLIUCA: Objection to the form and foundation. A. I know today that she was 17 years old. Q. Are you saying that it's an obvious lie that Virginia traveled on Jeffrey MIDNDHBWNHEFOCHODAID OV BAWNHE NM NM NNN NY OwpWNEROLW Page 207 G Maxwell - Confidential obvious lie that you approached Virginia while she was under age at Mar-a-Lago? MR. PAGLIUCA: Objection to the form and foundation. A. First of all, we can all agree here, all of you sitting here that the lies that you perpetrated in the press that she was 15 and we should all agree now that that is fake, a lie that was perpetrated between all of you to make the story more exciting, can we agree on that? Q. That is not my question. A. Can we agree she was not the age she said and you put that in the press, that is obviously, manifestly, absolutely, totally a lie. MS. McCAWLEY: Iam going to put on the record, Ms. Maxwell very inappropriately and very harshly pounded our law firm table in an inappropriate manner. I ask she take a deep breath, and calm down. I know this is a difficult position but physical assault or threats is not appropriate, so no Page 209 G Maxwell - Confidential Epstein's airplanes? MR. PAGLIUCA: Objection to the form and foundation. Q. You can answer. A. Are you referring to my statement where that says that? Q. I'm referring to the language you use in your statement that says, obvious lies? A. Can you read my entire statement? Q. Sure, let me pass it out. (Maxwell Exhibit 10, email,marked for identification.) Q. This is Bates GM 00068 and we will mark it as -- what you have in front of you is a statement at the top. This was produced by your counsel, it is indicated Bates No. GM 00068. At the top the date reflects January 2, 2015 from, appears to be a Ross ff subject line, is you and then there is a number of individuals you can see at the top that are copied on this that is sent to and bec'd on this statement. The statement, there are two parts DAIANDUBWNHRFPOWODAIDUBWNHE NM NMNN NM BWNHrROW 3 (Pages 206 to 209) MAGNA® — LEGAL SERVICES

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Filename Giuffre_Maxwell_Batch8_p00816.png
File Size 610.6 KB
OCR Confidence 93.9%
Has Readable Text Yes
Text Length 3,607 characters
Indexed 2026-02-04 12:52:06.304325