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Source: GIUFFRE_MAXWELL  •  Size: 601.4 KB  •  OCR Confidence: 94.5%
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Case 1:15-cv-07433-LAP Document 1335-4 MIDNA HBRWNHRFPDOWOCAIAUYAWNHE Page 326 G Maxwell - Confidential A. Ihave knowledge of it. I can't speculate. Q. On the second column, towards the bottom, there is the name, it's one up from the bottom, there is the name Gwendolyn Beck, do you know Gwendolyn Beck? . Ido. . Who is she? She was a friend of Jeffrey's. . Is she a masseuse? She, I don't think she was a masseuse, no. Q. Why would be she listed under Florida massages? A. An input error. Q. Is this list any individual that would have sex with Jeffrey? MR. PAGLIUCA: Objection to the form and foundation. A. I wouldn't have any knowledge of that. Q. Do you know if Jeffrey had sex with Gwendolyn Beck? MR. PAGLIUCA: Object to the form Filed 01/09/24 Page 84 of 106 SCODMDIADUBWNHKFOWDAIUAYOBWNHER Page 328 G Maxwell - Confidential around. I can't testify to that. Q. Were you around in 2004, 2005? A. [already testified that I was there when Jeffrey's mother passed away and so you know, I did visit for her passing and I believe I was there for a couple of days in 2005. Q. So ifan employee of Mr. Epstein in 2004 said that you were the employee's direct supervisor, would that be incorrect? MR. PAGLIUCA: Objection to form and foundation. A. What employee, what's the circumstances and what is the story, I don't know what you are asking me. Q. If Alfredo Rodriguez said in 2004 when he was hired, you were his direct supervisor, would that be true? A. No. Q. Were you in 2004 supervising Sarah Kellen? MR. PAGLIUCA: Objection to form and foundation. A. I never supervised Sarah Kellen. Page 327 G Maxwell - Confidential and foundation. A. First of all, | wouldn't have any knowledge of that. MS. McCAWLEY: Weare going to take a quick break. THE VIDEOGRAPHER: It's now 4:39 and we are off the record. (Recess.) THE VIDEOGRAPHER: It's now 4:54 and we are as back on the record starting disk number 8. Q. Ms. Maxwell, we were talking earlier about the journal and I believe you said in 2004, 2005, you were no longer working and responsible for that journal, is that correct? MR. PAGLIUCA: Objection to the form and foundation. A. What are we referring to, this document right here? Q. Yes. A. I don't know who is the author of this or I can't tell you what is in here versus what would have been here when I was MAGNA® Page 329 G Maxwell - Confidential Q. Did Sarah Kellen take orders from you? MR. PAGLIUCA: Objection to the form and foundation. A. She worked for Jeffrey. Q. If Alfredo Rodriguez said you had knowledge of underage girls coming to Jeffrey's home for the purpose of sex, would you contend that that is truthful? MR. PAGLIUCA: Objection to the form and foundation of the question. A. Ihave no idea what you are talking about, I'm sorry. Q. If Alfredo Rodriguez said that you have knowledge of underage girls coming to Jeffrey's home for the purpose of having massages involving sex, would you say that that statement is truthful? MR. PAGLIUCA: Objection to the form and foundation. A. Ican't testify to what Alfredo said or didn't say. Q. I'm saying if Alfredo said that you had knowledge that there were girls coming 83 (Pages 326 to 329) LEGAL SERVICES

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Filename Giuffre_Maxwell_Batch8_p00846.png
File Size 601.4 KB
OCR Confidence 94.5%
Has Readable Text Yes
Text Length 3,217 characters
Indexed 2026-02-04 12:52:23.151478