Giuffre_Maxwell_Batch8_p00832.png
Extracted Text (OCR)
Case 1:15-cv-07433-LAP Document 1335-4
DIDO BWNFPWOOANDOAWNE
Page 270
G Maxwell - Confidential
A. She helps with my not-for-profit
ocean foundation and any other related
activities that I may have.
Q. Is she paid for by Jeffrey Epstein?
A. No.
Q. She is paid for by you?
A. Yes.
. When did you first meet
A. I don't recollect exactly, sometime
maybe 2002, 2003.
Q. How did you meet her?
A. I don't recollect exactly how we
met.
Q. Did Jeffrey introduce you to her?
A. Idon't recollect how we met.
Q. Does she know Jeffrey Epstein?
MR. PAGLIUCA: Objection to the
form and foundation.
A. Can you ask again, please?
Q. does know Jeffrey
Epstein?
A. What do you mean by know?
Q. Has she met her him before?
Filed 01/09/24 Page 70 of 106
AINDTHBWNHROWOANIDA YAWNHE
NNNNN NY
OBWNR OY
Page 272
G Maxwell - Confidential
Q._ Is it your testimony that J
knows Jeffrey Epstein through the work
that she does for you?
MR. PAGLIUCA: Objection to the
form and foundation.
A. I don't recollect, and I don't
recollect how I met and I can't testify
to what relationship is or is not with
Jeffrey.
Q. Have you ever talked to Jeffrey
about ||
A. I don't know what you mean.
Q. Inany way, have you ever had a
conversation with Jeffrey about
A. In what context.
Q. Inany context. Have you ever
talked to Jeffrey Epstein about
A. || works for me so it's entirely
possible that in the course of conversations
since 2002, 2003 that a conversation in which
name would have come up is entirely
possible.
Q. I provided you with and I'm sorry,
I don't know all the numbers, but the
Page 271
G Maxwell - Confidential
MR. PAGLIUCA: Objection to the
form and foundation.
A. Ican't recollect a time when
|| -- I've seen with Jeffrey but --
Q. You are not sure --
A. Iknow they know either other. I
can't testify to a meeting between them.
Q. Do you know where in New Jersey she
lives?
. No
. You don't know a city?
. No.
How long has she worked for you?
Sometime 2002, 2003.
To the present?
. Yeah.
. Why do you think that PY
might know Jeffrey?
MR. PAGLIUCA: Objection to the
form and foundation.
A. Because you know, I know Jeffrey.
Q. Have you seen them together?
A. Lalready testified I have not seen
them together, to my recollection.
MAGNA®
DAIANDUBWNHRFPOWODAIDUBWNHE
Page 273
G Maxwell - Confidential
statement that was issued by Ross Gow that
should be a single page still in your stack
of exhibits there.
MR. PAGLIUCA: Exhibit 10.
Q. Did you authorize Ross Gow to issue
that statement on your behalf in January of
2015?
A. [already testified that that was
done by my lawyers.
Q. So did you authorize your lawyers
to issue a statement on your behalf through
Ross Gow in January of 2015?
A. It was determined that I had to
make a statement in the United Kingdom
because of the appalling lies and I just
thought of some new ones.
Virginia's statement that I
celebrated her 16 birthday with her. We can
all agree that that's entirely impossible. I
didn't meet her until she was 17 and other
lies she perpetrated that she had a diary and
we all know is a complete fake. That's not a
diary. It was just a book she was writing
that you helped sell to the press, as if it
69 (Pages 270 to 273)
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Document Details
| Filename | Giuffre_Maxwell_Batch8_p00832.png |
| File Size | 586.0 KB |
| OCR Confidence | 92.6% |
| Has Readable Text | Yes |
| Text Length | 3,222 characters |
| Indexed | 2026-02-04 12:52:18.423860 |