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273 275
your assertion that the testimony of these two
individuals completely exculpates you.
A. Uh-huh.
Q. The following question was asked of --
MR. SCOTT: What you are reading from?
MR. SCAROLA: I'm reading from the
deposition transcript.
BY MR. SCAROLA:
Q. The following question was asked of ~
MR. SCOTT: The deposition transcript --
BY MR. SCAROLA:
Q. -- of Mr. Juan - Mr. Juan Alessi and --
MR. SCOTT: Let me object to the -- first
of all, let me object to this format because he
has not been provided a part of the deposition.
of outrageous, horrible, inexcusable misconduct, at
least call the person and ask them if they can
disprove it before you file a -- a statement. Not
even asking for a hearing on it, not even basically
seeking to prove it, just -- just putting it in a
pleading as if scrolling on a bathroom stall.
So, yes, I had -- I had a great basis for
making that kind of statement and I repeat it here
today. And we will find out in depositions what
basis they actually had. And I'm anxiously awaiting
Mr. Cassell's deposition this afternoon.
MR. SCAROLA: Move to strike the
non-responsive portion of that answer.
Could I have a standing objection to
unresponsive --
MR. SCOTT: Sure.
MR. SCAROLA: -- answers? That would be
helpful. Thank you. I appreciate that. That
will save us --
MR. SCOTT: Absolutely. No, any time.
MR. SCAROLA: -- save us some time.
MR. SCOTT: Thank you, sir.
BY MR. SCAROLA:
Q. The one portion of what you just said that
directly responded to my question was you knew in
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You're reading portions from the deposition --
MR. SCAROLA: Yes, J am.
MR. SCOTT: -- which can be taken out of
context. He has not had the ability to review
the deposition. This is improper.
MR. SCAROLA: Okay.
MR. SCOTT: Cross-examination,
BY MR. SCAROLA:
Q. Do you recall the following questions
having been asked of Mr. Alessi and the following
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274 276
early January of 2015 that Bradley Edwards and Paul answers have been given during the course of this
Cassell had the sworn testimony of two — did you
refer to them as house --
deposition which you contend completely exonerates
you?
A. House people.
. House staff?
. House staff.
. House staff of Jeffrey Epstein's --
. That's right.
. — correct?
And those two individuals are Juan Alessi
and Alfredo Rodriguez, correct?
A. That's right.
Q. And you, in fact, were aware of the
existence of that testimony from shortly after the
time that the testimony was given, weren't you?
A. Well, I was certainly aware of it at the
time | made these statements.
Q. Yes, sir. But you also knew as far back
as 2009, when this sworn testimony was given, that
you were specifically identified by name in the
sworn testimony of Jeffrey Epstein's house staff
members, right?
A. Iwas identified by name in a manner that
completely exculpated me, yes.
Q. Okay. Well, let's -- let's take a look at
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"Question: Do yeu have any recollection
of VR, referring to Virginia Roberts, coming to
the house when Prince Andrew was there?
"Answer: It could have been, but I'm not
sure.
"Question: When Mr. Dershowitz was
visiting --
"Answer: Uh-huh.
"Question: -- how often did he come?
"Answer: He came pretty -- pretty often.
I would say at least four or five times a year.
"Question: And how long would he stay
typically?
“Answer: Two to three days.
"Question: Did he have massages sometimes
when he was there?
"Answer: Yes. A massage was like a treat
for everybody. If they wanted, we call the
massage, and they get -- excuse me -- and they
have a massage.
"Question: You said that you set up the
inassage tables, and would you also set up the
25 (Pages 273 to 276)
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Document Details
| Filename | HOUSE_OVERSIGHT_010807.jpg |
| File Size | 0.0 KB |
| OCR Confidence | 85.0% |
| Has Readable Text | Yes |
| Text Length | 3,887 characters |
| Indexed | 2026-02-04T16:11:49.362584 |