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5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 DATE: TO: IN RE: October 22, 2009 LARRY VISOSKI Job #127542 c/o Robert D. Critton, Jr. via transcript vs. Epstein 225 Please take notice that on Thursday, the 15th of October, 2009, you gave your deposition in the above-refer
Doe(_)? A. No, he did not. MR. CRITTON: That's all I have. MR. EDWARDS: I only have two questions based on what your testimony just was to Mr. Critton. 3527-003 Page 219 of 227 SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7, 8, 9, 10, 15, and 17 EFTA_00009894 EFTA00159701 Larry Visoski October 15,
the Florida Science Foundation? A. Yes. Q. Do you have a good relationship with your wife? A. I think so. Q. You still don't know what the Florida Science 3527-003 Page 211 of 227 SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7, 8, 9, 10, 15, and 17 EFTA_00009886 EFTA00159693 Larry Visoski October 15,
RINE W. EZELL, ESQ. Podhurst Orseck Josefsberg 6 25 West Flagler Street Miami, FL 33130 7 For Jane Doe 101 305.358.2800 8 FOR THE DEFENDANT: ROBERT D. CRITTON, JR., ESQ. MICHAEL BURMAN, ESQ. 9 Burman Critton, etc. 515 North Flagler Street 10 West Palm Beach, FL 33401 11 JACK A. GOLDBERGER, ESQ. 12
n't been through all of them. But we do believe that there 6 has been a breach in the filing that Mr. Josefsberg referred 7 to, and contrary to Mr. Critton, we do understand that we have 8 an obligation to provide notice, and we are providing notice to 9 Mr. Epstein today. 10 The pleading that we fou
ment." In that event, Mr. Indyke also will not be able to supervise Mr. Epstein's actual work to determine whether he is truly doing the work of The Florida Science Foundation.2 Second, Mr. Indyke does not "employ" Mr. Epstein. Instead, Mr. Epstein "employs" Mr. Indyke. Mr. Epstein is the President and founder
one) 5 KATHERINE W. EZELL, ESQ. Podhurst Orseck Josefsberg 6 25 West Flagler Street Miami, FL 33130 7 For Jane Doe 101 8 FOR THE DEFENDANT: ROBERT D. CRITTON, JR., ESQ. MICHAEL BURMAN, ESQ. 9 Burman Critton, etc. 515 North Flagler Street 10 West Palm Beach, FL 33401 11 JACK A. GOLDBERGER, ESQ. 12
n't been through all of them. But we do believe that there 6 has been a breach in the filing that Mr. Josefsberg referred 7 to, and contrary to Mr. Critton, we do understand that we have 8 an obligation to provide notice, and we are providing notice to 9 Mr. Epstein today. 10 The pleading that we fou
ment." In that event, Mr. Indyke also will not be able to supervise Mr. Epstein's actual work to determine whether he is truly doing the work of The Florida Science Foundation.2 Second, Mr. Indyke does not "employ" Mr. Epstein. Instead, Mr. Epstein "employs" Mr. Indyke. Mr. Epstein is the President and founder
3 Mr. Mermelstein? 14 MR. MERMELSTEIN: Yes. 15 THE COURT REPORTER: Mr. Goldberger, do 16 you want a copy? 17 MR. GOLDBERGER: Yes. Send it to Critton. 18 Bill him, seriously. 19 (Witness excused.) 20 (Deposition was concluded.) 21 22 23 24 25 (561) 832-7500 PROSE COURT REPORTING AGENCY
Q. Just to get in and out of the garage? 11 A. Right. 12 Q. Or does it also give you access to Jeffrey 13 Epstein's office, that being the Florida Science 14 Foundation? 15 A. For the garage. 16 Q. For the garage. 17 A. There are keys for office. 18 Q. Okay. And when you come over from the
Entities connected to both Robert D. Critton and Florida Science

Jeffrey Epstein
PERSONJack Goldberger
PERSON
Bradley Edwards
PERSONJane Doe
PERSON
Alan Dershowitz
PERSON
Paul Cassell
PERSON
Adam D. Horowitz
PERSON
Kenneth Marra
PERSONRobert C. Josefsberg
PERSON
George W. Bush
PERSONScott Rothstein
PERSONMartin Weinberg
PERSON
Jeffrey Marc Herman
PERSONBurman
PERSONMermelstein & Horowitz
ORGANIZATIONAtterbury Goldberger & Weiss
ORGANIZATION
Salt Lake City
LOCATION
United States
LOCATION
Sarah Kellen
PERSONLeon Black
PERSON