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alm Beach, FL 33401-5012 561-659-8300 Fax: 561-835-8691 jagesq®bellsouth.net Counsel for Defendant Jeffrey Epstein Respectfully submitted: By: Robert D. Critton, Florida Bar No. 2 162 rcrit@bc1claw. Michael J. Pike, Esq. Florida Bar No. 617296 mpike®bc1claw.com Burman Critton Luther & Coleman, P.A. 515
acility (the mail, phone, or intemet)—not thereafter—and the scienter element must be present while the facility is being used. See United States v. Murrell, 368 F.3d 1283, 1286 (11th Cir. 2004) ("[T]he government must first prove that [Defendant], using the Internet, acted with a specific intent to per
alm Beach, FL 33401-5012 561-659-8300 Fax: 561-835-8691 jagesq®bellsouth.net Counsel for Defendant Jeffrey Epstein Respectfully submitted: By: Robert D. Critton, Florida Bar No. 2 162 rcrit@bc1claw. Michael J. Pike, Esq. Florida Bar No. 617296 mpike®bc1claw.com Burman Critton Luther & Coleman, P.A. 515
acility (the mail, phone, or intemet)—not thereafter—and the scienter element must be present while the facility is being used. See United States v. Murrell, 368 F.3d 1283, 1286 (11th Cir. 2004) ("[T]he government must first prove that [Defendant], using the Internet, acted with a specific intent to per
alm Beach, FL 33401-5012 561-659-8300 Fax: 561-835-8691 jagesq®bellsouth.net Counsel for Defendant Jeffrey Epstein Respectfully submitted: By: Robert D. Critton, Florida Bar No. 2 162 rcrit@bc1claw. Michael J. Pike, Esq. Florida Bar No. 617296 mpike®bc1claw.com Burman Critton Luther & Coleman, P.A. 515
acility (the mail, phone, or intemet)—not thereafter—and the scienter element must be present while the facility is being used. See United States v. Murrell, 368 F.3d 1283, 1286 (11th Cir. 2004) ("[T]he government must first prove that [Defendant], using the Internet, acted with a specific intent to per
alm Beach, FL 33401-5012 561-659-8300 Fax: 561-835-8691 [email protected] Counsel for Defendant Jeffrey Epstein Respectfully submitted: By: Robert D. Critton, Florida Bar No. 2 162 rcrit@bc1claw. Michael J. Pike, Esq. Florida Bar No. 617296 [email protected] Burman Critton Luther & Coleman, P.A. 515
acility (the mail, phone, or intemet)—not thereafter—and the scienter element must be present while the facility is being used. See United States v. Murrell, 368 F.3d 1283, 1286 (11th Cir. 2004) ("[T]he government must first prove that [Defendant], using the Internet, acted with a specific intent to per
pstein? 7 A. One time. 8 Q. And that's the one time that you've mentioned 9 already? 10 A. Yes. 11 Q. And have you met -- talked to Mr. Critton 12 before today? 13 A. Oh, wait a minute. Sorry. I have to go back 14 on that. Twice. One time when the criminal case 15 started when they,
na to incriminate me for -- for my lob. 6 And he says, no, no, no. But if you want to 7 get a lawyer, that's fine. 8 And that's where I got Mr. Murrell and he—lust 9 came to us, to sian this, to -- that was the end of it. 10 Q. Who got Mr. Murrell for you? 11 A. Who got it? Mr. Epstein. 12
ly used 12 those items or how they were used, all you know is you 13 found them -- 14 A. I find it in the sink. 15 MR. BERGER: Objection. Mr. Critton is 16 testifying. Leading. 17 MR. WILLITS: Objection, also, to the form. 18 BY MR. CRITTON: 19 Q. Let me ask you this: Do you know, if I 20
18 November 21st of 2005? 19 A. Uh-huh. 20 Q. Is that correct? 21 A. That's correct. 22 Q. And at that time you were there with 23 Mr. Murrell, who was your attorney. And you gave a 24 statement and I think as well your wife spoke with the 25 State Attorney's Office? (561) 832-7500 PRO
Epstein? 7 A. One time. 8 Q. And that's the one time that you've mentioned 9 already? 10 A. Yes. 11 Q. And have you met talked to Mr. Critton 12 before today? 13 A. Oh, wait a minute. Sorry. I have to go back 14 on that. Twice. One time when the criminal case 15 started when they,
7 get a lawyer, that's fine. 8 And that's where I got Mr lancl 'ust 9 came to us, to sign this, to -- that was d of it. 10 Q. Who got Mr. Murrell for you? 11 A. Who got it? Mr. Epstein. 12 Q. When you met with this investigator at 13 Carabbas, 14 A. Yes. 15 Q. -- did he record
ly used 12 those items or how they were used, all you know is you 13 found them -- 14 A. I find it in the sink. 15 MR. BERGER: Objection. Mr. Critton is 16 testifying. Leading. 17 MR. WILLITS: Objection, also, to the form. 18 BY MR. CRITTON: 19 Q. Let me ask you this: Do you know, if I 20
18 November 21st of 2005? 19 A. Uh-huh. 20 Q. Is that correct? 21 A. That's correct. 22 Q. And at that time you were there with 23 Mr Murrell, who was your attorney. And you gave a 24 statement and I think as well your wife spoke with the 25 State Attorney's Office? PROSE COURT REPORTI
Entities connected to both Robert D. Critton and Murrell

Jeffrey Epstein
PERSONJack Goldberger
PERSON
Bradley Edwards
PERSONJane Doe
PERSON
Alan Dershowitz
PERSONMichael J. Pike
PERSONSouthern District
LOCATION
Kenneth Marra
PERSONRichard Horace Willits
PERSONRobert C. Josefsberg
PERSONKatherine W. Ezell
PERSON
George W. Bush
PERSONScott Rothstein
PERSON
Scarlett Johansson
PERSONMaria Farmer
PERSON
Jeffrey Marc Herman
PERSONSpencer Kuvin
PERSONAtterbury Goldberger & Weiss
ORGANIZATION
A. Marie Villafana
PERSON
United States
LOCATION