8
Shared Docs
8
Same-Page
30 / 8
Mentions
of everything, as far as maintenance. Page 11 1 about seven months before -- after I become a full-time 2 employee. 3 Q. Okay. And how did Ms. Maxwell come into the 4 picture? 5 A. It was his girlfriend, his main girlfriend. 6 Q. Okay. Had you known her before she became -- 7 A. No. 8 Q. --
Would you have referred to her as your 13 supervisor or your superior or what would you have 14 called Mrs. Maxwell? 15 A. I used to call her Ghislaine. 16 Q. Okay. And how was it explained to you that 17 you were now to deal with Ms. Maxwell, as opposed to 18 Jeffrey Epstein? 19 A. She would
ng with Mr. Epstein, directly to 17 him. 18 Q. Did that change? 19 A. Later on, yes. 20 Q. And how did that change? 21 A. When Ms. Maxwell, Ghislaine Maxwell came to 22 the picture. 23 Q. Okay. About when was it that she came into 24 the picture? 25 A. Exactly date, I cannot remember. But it was P
16M, L..1,t‘ 2-S It G- -II 51 B N (30931:. SCN-Ni Vf3,I2 tv. 1..v 5- %, n PB / €'91( Po (2-M i_v I/ k 6 5 11 %, fc.)K .TC:53 t'-0 GM LV ‘.../ i S G., C, ---y2.1.31 it mice:56 1'53 t . IS f'`:. 3:-.- t vril ‘ / 1 9— 5- 2,1 Cs —116ciii c-101Se--2 ('GL 61- 111 IN LV 2. 3
full-time 2 employee. 3 Q. Okay. And how did Ms. Maxwell come into the 4 picture? 5 A. It was his girl
effrey Epstein's 17 Q To your knowledge, has Jeffrey Epstein 18 sex slave. is or was 18 flown to New York while on probation or community 19 Chislaine Maxwell's sex slave? 19 control? 20 MR. YAREMA: Object to the fonn. 20 MR. YAREMA: Object to the form. 21 A Fifth. 21 A Fifth. 22 Q Chislaine Maxwe
job? Was it through an employment agency -- A. No. Q. -- or an ad in the paper? A. I had a company at that time used to take care Page 6 1 MS. EZELL: Katherine Ezell from Podhurst 2 Orseck, on behalf of Jane Does 101 and 102. 3 MR. CRITTON: Bob Griffon, on behalf of 4 Jeffrey Epstein. 5 TH
I'm not sure if they were girlfriends. I don't know what their relationship was. Q. Who are those people? A. Well, there was a (Glynn) Ghislaine Maxwell. Q. How do you know Ghislaine Maxwell? A. I met her through my brother. Q. How many times have you been around or hung out with Ghislaine Maxwell
rlfriends. I don't know what their relationship was. Q. Who are those people? A. Well, there was a (Glynn) Ghislaine Maxwell. Q. How do you know Ghislaine Maxwell? A. I met her through my brother. Q. How many times have you been around or hung out with Ghislaine Maxwell? A. Maybe a dozen or so, but we met
their ages. Q. Did you know these girls, or were these girls that were familiar with your brother? A. I didn't know them. I mean, unless it was Ghislaine or Eva years ago, but otherwise I didn't know them. Q. But the specific girls I'm talking about are the girls you are not going to speculate on t
ey Epstein after he started a relationship with Ms. Maxwell? MR. CRITTON: Form. A. I didn't spend a lot of
you ever hear that she helped to bring young girls to him for sex? A. I read that somewhere in one of the articles. Q. Is that something, knowing Ghislaine • ESQUIRE "A. ...... Toll Free: 800.211.3376 Facsimile: 954.331.4418 Suite 1300 515 East Las Olas Boulevard Fort Lauderdale, FL 33301 www.esquire
e, New York, New York. MR. EDWARDS: Brad Edwards on behalf of EW, LM and Jane Doe. MR. CRITTON: Robert Critton on behalf of Jeffrey Epstein. MS. EZELL: Kathy Ezell on behalf of Jane Does 101 and 102 MR. HOROWITZ: Adam Horowitz on behalf of Plaintiffs, Jane Does 2 through 8. MR. WILLITS: Richard
tht 24 Q. At the time that you left — 24 balcony. It was on Mr. Epstein's bathroom, 25 A. Yes. sir. 25 Ms. Maxwell's bathroom. There was Ms. Maxwells (561) 832-7500 PROSE COURT REPORTING AGENCY, INC. FOIA Confidential Treatment Requested /Fed. R. err. P. 6(e) Material Electronically signed by S
13 supervisor or your superior or what would you have :4 of months. 14 called Mrs. Maxwell? :5 What happened next? 15 A. I used to call her Ghislaine. :6 A. Then Mr. Epstein asked me to. if I wanted to 16 Q. Okay. And how was it explained to you that 17 be his employee. because I was going fr
e 19 A. Later on. yes. 19 house. 20 Q. And how did that change? 20 Q. Okay. And about how long a period of lime did 21 A. When Ms. Maxwell. Ghislaine Maxwell came to 21 that project last? 22 the picture. 22 A. I would says. six to seven months. 23 Q. Okay. About when was it that she came into 23 Q
come a full-time employee. Q. Okay. And how did Ms. Maxwell come into the picture? A. It was his girlfriend
-- or an ad in the paper? 25 MR. LANGINO: Adam Langino. on behalf of 25 A. I had a company at that time used to take care Page 6 Page 8 1 MS. EZELL: Katherine Ezell from Podhurst 1 of a lot of residents in Palm Beach. And I got to know 2 Orseck, on behalf of Jane Does 101 and 102. 2 Jeffrey
rrect? MR. YAREMA: Object to the form. A Fifth. Q This is a call from you indicating that '1= cannot work today be 1 2 3 4 5 6 7 8 48 Ghisiaine Maxwell's sexual interaction with Jane Doe-102 when she was a minor? MR. YAREMA: Object to the fonn. Q This is one of many underage minor females that was
ou 19 question. 19 have been made to perform on sexually? 20 Q Isn't it true that yourself, Chislalne 20 MR. YAREMA: Object to the form. 21 Maxwell and had access to a master 21 A Fifth. 22 of list of underage minor females names and phone 22 Q Jean Luc Brunel is somebody that you 23 numb
MR. YAREMA: Object to the font 17 Q Do you know Ghislaine Maxwell? 18 A Fifth. 18 A Fifth. 19 Q in ad
ave the witness say "Fifth." if that satisfies everyone's interest. MR. EDWARDS: That is fine with me. MR. GOLDBERGER: Okay, with that Cathy? MS. EZELL: Yes. MR. HOROWITZ: Yes. 1 2 3 5 6 7 8 8 A The Fifth. Q Do you know a lady by the name of Maritsa Vazques? A The Fifth. Q Is this someb
raph? MR. KUVIN: Third from the bottom starting with the cross-reference. MR. PIKE: Appreciate it. MR. KUVIN: S TILE WITNESS Mark Epstein, and Ghislaine Maxwell. BY MR. KINN: Q. Okay. How is it those affiliated names came up? In other words what database were you looking at to reference those names? A. I
IN: S TILE WITNESS Mark Epstein, and Ghislaine Maxwell. BY MR. KINN: Q. Okay. How is it those affiliat
. MR. KUVIN: S TILE WITNESS Mark Epstein, and Ghislaine Maxwell. BY MR. KINN: Q. Okay. How is it those
ces. 23 Q. All right. 24 MR. PIKE: fin going to object to fomi as 25 speculation and hearsay and move to strike. Page 11 1 it clear. 2 MS. EZELL: Thank you. 3 BY MR KUVIN: 4 Q. Why don't you give us your full name, if 5 you would, please. 6 A. Joseph Recarey. 7 Q. Detective Recarey,
urveillance writing down tags and whatnot? A. No, that would have been, that would have been the Burglary Strike Force. Q. Did you ever speak with Ghislaine Maxwell? A. No. Q. Did you ever attempt to speak with her? A. No. Q. Did her name come up during your investigation? MR. PIKE: Form. THE WITNESS: I re
rike Force. Q. Did you ever speak with Ghislaine Maxwell? A. No. Q. Did you ever attempt to speak with h
urglary Strike Force. Q. Did you ever speak with Ghislaine Maxwell? A. No. Q. Did you ever attempt to spea
PIKE: Spencer, can you hold on? MR. KUVIN: Yes, sir. MR. PIKE: Letts go off the record for a second. (A discussion was held off the record.) MS. EZELL: If I could interject, I was fumblin on mute and I wanted to move to strike ••••••••••••• 8 (Pages 155 to 158) PROSE COURT REPORTING AGENCY, INC.
Page 181 1 Ms. Maxwell as not being as good? 2 A. Yes. 3 Q. When -- you were -- you had an opportunity 4 over lunch, Mr. Berger gave you a copy of a statement 5 t
2 know. But there were -- many times there were two, 13 three massages a day. 14 Also, she had a massage just about every day. 15 Q. Meaning, Ghislaine? 16 A. Yes. 17 Q. Then on line 12, the question was: "Did the 18 massage therapists seem young to you?" 19 And you said: "Mostly, no. You s
Page 181 1 Ms. Maxwell as not being as good? 2 A. Yes. 3 Q. When -
with you? 19 A. No. 20 MR. BERGER: Objection. Compound question. 21 And Counsel is testifying. 22 MR. WILLITS: Object to the form. 23 MS. EZELL: Join. 24 BY MR. CRITTON: 25 Q. Were you aware that she had, prior to the time (561) 832-7500 PROSE COURT REPORTING AGENCY, INC. (561) 832-75
Page 181 1 Ms. Maxwell as not being as good? 2 A. Yes. 3 Q. When -- you were -- you had an opportunity 4 over lunch, Mr. Berger gave you a copy of a statement 5 t
2 know. But there were -- many times there were two, 13 three massages a day. 14 Also, she had a massage just about every day. 15 Q. Meaning, Ghislaine? 16 A. Yes. 17 Q. Then on line 12, the question was: "Did the 18 massage therapists seem young to you?" 19 And you said: "Mostly, no. You s
Page 181 1 Ms. Maxwell as not being as good? 2 A. Yes. 3 Q. When -
with you? 19 A. No. 20 MR. BERGER: Objection. Compound question. 21 And Counsel is testifying. 22 MR. WILLITS: Object to the form. 23 MS. EZELL: Join. 24 BY MR. CRITTON: 25 Q. Were you aware that she had, prior to the time PROSE COURT REPORTING AGENCY, INC. Electronically signed by San
Entities connected to both Ghislaine Maxwell and EZELL

Jeffrey Epstein
PERSON
Prince Andrew
PERSONSouthern District
LOCATION
United States
LOCATION
George W. Bush
PERSON
Bill Clinton
PERSON
Alan Dershowitz
PERSON
Donald Trump
PERSONLeon Black
PERSON
Bradley Edwards
PERSON
New York
LOCATIONMaria Farmer
PERSON
Les Wexner
PERSONDoug Band
PERSONJane Doe
PERSON
Joi Ito
PERSON
Joe Biden
PERSONLarry Visoski
PERSON
New York City
LOCATION
David Rodgers
PERSON