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ArATnND OF WHE of 2009 about the Epstein meeting and some additional investigation into the Epstein case. Does that refresh your investigation as to when you met with the investors in the Discala/Clockwork Group? A. It does not. The best thing to refresh my recollection as to when ] met with them would be to see the dea] documents. Q. Okay. J] unfortunately don't have those. Do you recall] if you took Discala and his other investors to a football game in 2009? A. Sure, ] did. Q. Okay. Would that be around the time you were trying to get them to invest in the case? A. It would have been around the time | was trying to get them to invest in general. H's may have been around the time that | was showing them the Epstein file. Q. Did you show them any files other than the Epstein file? A. |] may have. ] don't have a specific recollection one way or the other. Q. You testified earlier that you had over a dozen boxes brought to your office that were related to the Epstein case. MR. SCAROLA: Excuse me, counsel. there has been no such testimony. BY MS. HADDAD: Q. You said there were several boxes brought to your office by different people. You don't recall who that is; is that correct? A. Yes, ] had some boxes already in my office and ] had Ken Jenne and some other people bring some others. | don't remember how many boxes. . Was it more than three? Sure, it was more than three boxes, yes. . Was it more than 10? . ] don't believe so, no. You stated that you looked -- ] don't want to put words in your mouth. What did you look at specifically in that case? A. Other than looking at the flight manifest that Russ Adler told me to look at, I have no specific recollection as to what J looked at in that file. Q. Do you know if there was more than one case being prosecuted by your office against Mr. Epstein? A. To the best of my recollection there were -- it was multiple plaintiffs. Q. Okay. Do you recall if those cases were pending in state or federal court? Counsel, Page oly Op WN OU DMDIAYU PF WNHRP OW DWT AHAYBWN HE SSS EUEARA ONE SiS ESET RENE MS PMRUR ER EE SER SU OMS BGT ER AB RI U AED NO ESTE G OR SNES SRG 2S OEE PRR BGS RNS ONO a SIS RN SB RIMES RRR SR GR RS CRS EWA NE PS Th TD SIRT N NERO eta ERY MNMMNMYNFRP BPP RP PEE YE OP WNMNF ODM DAIDAOB WNP OW DADO F®WDN FE NM MM NM NFP RPP PPE PPB ERENT RDA TORTS TERRES aOR ia ER SBE RE REALE SAS SS BY RRR PR BS PERG RERUN NBR SAY Sa RES SSN ANSE RB ES A RR A. | don't recall. Q. Did you check? A. 1] don't remember one way or the other. It was insignificant to me, Q. Well, then explain to me. You testified earlier that what was important to the investors to see is that there was a real case, correct? A. Yes. Q. What did you look at or show them -- what did you look at, first of all, to see if it was, in fact, areal case? A. | knew it was a real case. Q. How did you know? A. Because my lawyers told me it was a real case. ] believed them. Q. What Jawyers told you that? A. | already told you it was a mixture of Russ and Jaffe and Fistos and Farmer and Mr. Edwards. 1 mean, | knew it was a real case. We had all these boxes, we had people really working on the file -- Q. How do you know -- A. -- or they were pulling a hell of a scam on me. Not that] didn't deserve it but ... Q. How did you know, you just said you knew people were working really hard on this case. Who do Page 52 you know was working on the case? A. The only people that ] knew for certain were working on the case was Brad Edwards and Russ Adier was doing his supervisory schtick, whatever that was. But other than that, ] don't know which other lawyers were assisting Mr. Edwards. | didn't get involved at that level. As far as the Ponzi scheme goes, the only thing ] cared about, Tonja, was being able to show the investors that this case that ] was utilizing to steal a significant amount of money from them was a real “case. That's all I cared about, Q. That case came into your office through Mr. Edwards, correct? He brought it with him when he came to RRA? A. Yes. Q. He was lead counsel on the case, correct? A. l assume he was Jead counsel. J never checked to see if he listed himself as lead counsel. Q. Do you know if any additional complaints were filed while the case was at RRA? A. I have no idea one way or the other. Q. Did you ever instruct, in furtherance of your Ponzi scheme, Mr. Edwards or anyone in that litigation group to file additional complaints? Page 53 14 (Pages 50 to 53) FRIEDMAN, LOMBARD] & OLSON 305-371-6677 5ed93085-0554-447f-bcdd-ca2d8fe94idf HOUSE_OVERSIGHT_017503

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Filename HOUSE_OVERSIGHT_017503.jpg
File Size 0.0 KB
OCR Confidence 85.0%
Has Readable Text Yes
Text Length 4,614 characters
Indexed 2026-02-04T16:31:50.701193