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Case 1:15-cv-07433-LAP Document 1335-6 Filed 01/09/24 Page 55 of 134
Page 210
J. Epstein - Confidential
MR. GOLDBERGER: And attorney-client
privilege.
BY MR. CASSELL:
Q. One of the attorneys negotiating on your
behalf was Alan Dershowitz, true?
A. Fifth.
MR. GOLDBERGER: Attorney-client.
(Plaintiff's Exhibit JE9, Document 361-46
on the public record in the case Jane Doe versus
United States 908CD80736 in the Southern District of
Florida, a document signed by Gerald Lefcourt and
Alan Dershowitz was marked for identification.)
BY MR. CASSELL:
Q. I want to show you now an exhibit which
we'll mark as JE9, which I'll note, for the record,
is Document 361-46 on the public record in the case
Jane Doe versus United States 908CD80736 in the
Southern District of Florida.
This is a document signed by
Gerald Lefcourt and Alan Dershowitz, as you can see
on the last page.
A. Isee the last page.
Q. Allright. This was a statement sent on
your behalf to prosecutors in that -- in the criminal
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Page 212
J. Epstein - Confidential
Mr. Dershowitz had observed you having sexual
interactions with at least one minor --
MR. PAGLIUCA: Object to form --
BY MR. CASSELL:
Q. -- at the time you wrote this letter,
right?
MR. PAGLIUCA: I'm sorry. I don't know
if I spoke over you the last --
Did you get the question?
THE COURT REPORTER: No -- yes, but...
Objection --
MR. PAGLIUCA: Okay. Yeah.
Object to form and foundation.
THE COURT REPORTER: Thank you.
THE WITNESS: Fifth.
BY MR. CASSELL:
Q. Two of the attorneys in the U.S. Attorney's
Office at that time were Matthew Menchel and
Andrew Lurie, true?
A. That's what it says on the document.
Q. And you also -- you knew that there were
two U.S. Attorneys in the office at that time by the
name of Matthew Menchel and Andrew Lurie, right?
A. Fifth.
Page 211
J. Epstein - Confidential
investigation and case in the Southern District of
Florida, right?
A. I'msorry. Say again.
Q. This is a document or a statement sent on
your behalf to prosecutors in the criminal
investigation and case in the Southern District of
Florida?
A. That's what it says.
Q. If Alan Dershowitz were to write in this
letter that "Epstein never targeted minors," that
would be a false statement, wouldn't it?
MR. PAGLIUCA: Object to form and
foundation.
THE WITNESS: Fifth.
BY MR. CASSELL:
Q. In fact, you had told Alan Dershowitz that
you had targeted minors?
MR. WEINBERG: Attorney-client privilege.
MR. PAGLIUCA: Object to form and
foundation.
THE WITNESS: Fifth.
BY MR. CASSELL:
Q. And without regard to any communications
that you may or may not have had with Mr. Dershowitz,
Page 213
J. Epstein - Confidential
MR. GOLDBERGER: And attorney-client
privilege.
MR. CASSELL: Attorney-privilege of
prosecutors?
MR. GOLDBERGER: Of what he knew.
MR. CASSELL: Okay. I got you.
BY MR. CASSELL:
Q. While you were negotiating with the U.S.
Attorney's Office, you were also working with Menchel
and Lurie to help them secure lucrative employment
when they left the office, right?
MR. PAGLIUCA: Object to form and
foundation.
THE WITNESS: Fifth.
BY MR. CASSELL:
Q. What do you know about the current
employment of Matthew Menchel?
A. Fifth.
Q. What do you know about the current
employment of Andrew Lurie?
A. Fifth.
Q. Please describe all of the circumstances
you are aware of concerning Matthew Menchel's
departure from the U.S. Attorney's Office.
MAG NA® 54 (Pages 210 to 213)
LEGAL SERVICES
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Document Details
| Filename | Giuffre_Maxwell_Batch8_p00935.png |
| File Size | 566.5 KB |
| OCR Confidence | 94.1% |
| Has Readable Text | Yes |
| Text Length | 3,462 characters |
| Indexed | 2026-02-04 12:53:00.068232 |