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ce via the locker system. On November 9, 2005, Sgt Frick and I traveled to 6791 Fairway Lakes Drive in Boynton Beach, Florida in hopes to interview Juan Alessi, the former houseman of Epstein's home. As no one was home, a business card was left for him to return my call. We then traveled to 11349 SW 86th
elephone contact with Juan Alessi. He advised he found my card on his door and wanted to know what I needed to speak with him about. I explained to Alessi that I was conducting an investigation on his former employer, Mr. Epstein. Alessi stated he would return my call shortly as he was in the middle o
from 686-2700. Mr. Morrell stated he represented Mr. Alessi and did not want me speaking with his client. I
id not know any of the girls personally and were always different. She was told that when Epstein was in residence he did not want to encounter the Alessis during his stay in Palm Beach• I then spoke with Mr. Alessi in the presence of his attorney, Donnie Murrell. Mr. Alessi stated that he was employe
commendation, found him to have 130 points and I see no reason to disturb that. Thank you. I, Vikki J. Benkel, a Senior Court Reporter in and for the State of New York, do hereby certify that the foregoing transcript is true and accurate to the best of my knowledge, skill and ability. Vikki J. Benkel VAR J. Benk
endant has repeatedly asserted that he was not at Epstein's residence in Palm Beach at all during the period when Plaintiff was trafficked. However, Juan Alessi, a long time Epstein household employee whose tenure with Epstein included the period of Plaintiffs trafficking, has confirmed that Defendant visit
subjected to attacks and intimidations. Her courageous testimony, together with the sworn testimony of victims such as land witnesses such as Mr. Alessi and Mr. Rodriguez, show that Defendant's claims that he was never present where 23 EFTA00092670 Case 1:19-cv-03377-LAP Document 101-1 Filed 12/20
y the testimony of Epstein's household employees Mr. Alessi (see paragraph 60 above) and Mr. Rodriguez 28 E
dividual who is a citizen of the State of Colorado. 29. On information and belief, Defendant Alan Dershowitz is an individual who is a citizen of the State of New York and resides in the Southern District of New York at 2 Tudor City Place Apt. 10EN, New York, New York 10017. 15 EFTA00092662 Case 1:19-cv-03377-L
5 3. CONSOR & ASSOCIATES REPORTING & TRANSCRIPTION 561.835.9738 07/26/17 Page 84 of 131 Public Records Request No.: 17-295 1 2 3 4 WITNESS: JUAN P. ALESSI EXAMINATION BY INDEX DET. RECAREY Page 3 PAGE: 4 5 NO EXHIBITS MARKED 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24
stated as follows: 10 MR. MURRELL: I just want to repeat that 11 we're here under the State investigative subpoena 12 that was served on Mr. Alessi, although it was 13 dated for, I believe, Wednesday or something. 14 This is Monday the 21st, and we are here by 15 agreement. 16 EXAMINA
e investigative subpoena 12 that was served on Mr. Alessi, although it was 13 dated for, I believe, Wedn
bztause tIu Complanit mates amisenve allegations of sexual ass-ault and abuse upon a Maar 4 DefesaJard kffrey Epstem is a citizen asidresident of the State of New York 5 Mandan Haley Robwa is a c rtu and iesidem of Palm Beach County, I' londa 07/26/17 Page 74 of 131 Public Records Request No.: 17-295 0 Defen
were then paid two or three hundred dollars for the massage. On November 21, 2005 I interviewed Jose Alessi, a former houseman for Jeffrey Epstein. Alessi stated he was employed for eleven years with Mr. Epstein, from approximately 1993 through 2004. Alessi stated he was the house manager, driver and
veled with Epstein on his private plane. I asked Mr. Alessi about the massages that have occurred at Epstein'
commendation, found him to have 130 points and I see no reason to disturb that. Thank you. I, Vikki J. Benkel, a Senior Court Reporter in and for the State of New York, do hereby certify that the foregoing transcript is true and accur e to the best of my knowledge, skill and ability. Vikki J. Benkel Nkki Benkel
than any other evidence that the proponent can obtain through reasonable efforts" is at best disingenuous. Plaintiff has designated the testimony of Juan Alessi, Mr. Rodriguez's predecessor who held that position during the timeframe in which Plaintiff claims to have been held as a "sex slave" by Mr. Epstei
s. Plaintiff has designated the testimony of Juan Alessi, Mr. Rodriguez's predecessor who held that posit
Certain Depositions Designated By Plaintiff For Use At Trial I, Laura A. Menninger, declare as follows: 1. I am an attorney at law duly licensed in the State of New York and admitted to practice in the United States District Court for the Southern District of New York. I am a member of the law firm Haddon, Morgan &
she would not "be bullied back into Yuan "John" Alessi, who was Epstein's butler, stated in a deposition
haritable patronsges were removed by the Queen in January 2022.1e 1) He was the defendant in a civil lawsuit over sexual assault filed by Giuffre in the State of New York. The lawsuit was settled out of court in February 2022.[A] Contends • I Early_life • 2fliklary service o 2.1 Royal Nay)! o 7.2 Falklands War O 2
Entities connected to both Juan Alessi and the State of New York

Jeffrey Epstein
PERSON
Ghislaine Maxwell
PERSON
JPMorgan Chase
ORGANIZATION
the Internal Revenue Service
ORGANIZATION
FedEx
ORGANIZATION
NEW YORK NY
LOCATIONDarren Indyke
PERSON
United States
LOCATION
Eric Trump
PERSON
Federal Reserve
ORGANIZATION
George W. Bush
PERSON
Newark
LOCATION
Alan Dershowitz
PERSONLeon Black
PERSON
Alfredo Rodriguez
PERSONLarry Visoski
PERSONJane Doe
PERSON
New York
LOCATION
Ralph Lauren
PERSONJack Goldberger
PERSON