Filing # 34801581 E-Filed 11/23/2015 05:53:31 PM IN THE CIRCUIT COURT OF THE SEVENTEENTH JUDICIAL CIRCUIT, IN AND FOR BROWARD COUNTY, FLORIDA BRADLEY J. EDWARDS and PAUL G. CASSELL, CASE NO.: CACE 15-000072 Plaintiffs, vs. ALAN M. DERSHOWITZ, Defendant. / PLAINTIFFS/COUNTERCLAIM DEFENDANT EDWARDS AND CASSELL'S RESPONSE TO DERSHOWITZ'S MOTION TO DETERMINE CONFIDENTIALITY OF COURT RECORDS Plaintiffs/Counterclaim Defendants Bradley J. Edwards and Paul G. Cassell, by and through their undersigned attorneys, hereby file this response to Dershowitz's Motion to Determine Confidentiality of Court Records. The records at issue are not confidential, and so the Court should deny Dershowitz's motion in its entirety. The court records at issue are three court filings by attorneys Edwards and Cassell in which they recite their client's (Mr. Virginia Giuffre's) allegations that she was sexually abused by Dershowitz. These records are hardly "confidential" in this defamation case, where the parties have claims and counterclaims about these sexual abuse Allegations. Rather, these records are an important part of this case, since they not only support the conclusion that Dershowitz abused Ms. Giuffre, but also indisputably establish Edwards and Cassell's strong basis for filing the allegations on her behalf. Moreover, contrary to assertions made in Dershowitz's motion, these documents have never been found to be "confidential" by any other court. And Dershowitz has repeatedly referred to Edwards, Bradley vs. Dershowitz Case No.: CACE 15-000072 Edwards and Cassells Response to Dershowitz's Motion to Determine Confidentiality of Court Records Page 2 of 20 these documents, not only in defamatory statements broadcast worldwide, but also in his pleadings before this Court and in recent depositions. Indeed, Dershowitz said in his media interviews that he wants "everything to be made public" and implied that Edwards and Cassell had something to hide. Accordingly, Dershowitz has failed to carry his heavy burden to justify sealing these presumptively-public documents. I. DERSHOWITZ HAS NOT JUSTIFIED SEALING ALLEGED DEFAMATORY RECORDS THAT ARE INTEGRAL TO THIS DEFAMATION CASE. In his motion, Dershowitz never recounts the heavy burden that he must carry to seal the records at issue. To be sure, Florida Rule of Judicial Administration 2.420 allows for the sealing of "confidential" materials. But the Rule begins by recounting the overarching principle that "[t]he public shall have access to all records of the judicial branch of government, except as provided below." Fla. R. Jud. Admin. 2.420(a). This rule is a codification of the Florida Supreme Court's admonition that a "a strong presumption of openness exists for all court proceedings. A trial is a public event, and the filed records of court proceedings are public records available for public examination." Barron v. Florida Freedom Newspapers, Inc., 531 So.2d 113, 118 (Fla. 1988) (emphasis added). In light of this presumption of openness, "[t]he burden of proof in [closure] proceedings shall always be on the party seeking closure." Id. To obtain a sealing order, the party seeking sealing must carry a "heavy burden." Id. Remarkably, Dershowitz fails to acknowledge these well-settled principles. More important, he even fails to cite (much less discuss) the limited substantive exceptions to this general principle of access — and which specific exception he believes applies to this Edwards, Bradley vs. Dershowitz Case No.: CACE 15-000072 Edwards and Cassells Response to Dershowitz's Motion to Determine Confidentiality of Court Records Page 3 of 20 case. Accordingly, it is impossible for Edwards and Cassell to respond with precision to his motion. The exceptions that might arguably be in play in this case permit records to be maintained as confidential in order to: (i) (ii) (iii) (iv) (v) (vi) Prevent a serious and imminent threat to the fair, impartial, and orderly administration of justice; Protect trade secrets; Protect a compelling governmental interest; Obtain evidence to determine legal issues in a case; Avoid substantial injury to innocent third parties; Avoid substantial injury to a party by disclosure of matters protected by a common law or privacy right not generally inherent in the specific type of proceeding sought to be closed; Comply with established public policy set forth in the Florida or United States Constitution or statutes or Florida rules or case law .... Fla. R. Jud. Admin. 2.420(c)(9) (codifying the holding in Barron v. Florida Freedom Newspapers, Inc., 531 So.2d 113 (Fla. 1988)). The only exception that seems to even arguably apply here is exception vi, which itself specifically provides that confidentiality is appropriate only where disclosure is "not generally inherent in the specific type of proceeding sought to be closed" (emphasis added). Of course, this lawsuit is a defamation action — involving a defamation claim by Edwards and Cassell and a defamation counterclaim by Dershowitz. Disclosure, discussion, and debate about the defamatory statements at issue lies at the heart of the case. Accordingly, disclosure of these materials is "inherent" in the case itself. The principle that defamatory material in a defamation case cannot be sealed is recognized in Carnegie v. Tedder, 698 So.2d 1310 (2d DCA 1997). Carnegie involved a claim and counterclaim between two parties (Carnegie and Tedder), one of whom alleged that disclosure of Edwards, Bradley vs. Dershowitz Case No.: CACE 15-000072 Edwards and Cassells Response to Dershowitz's Motion to Determine Confidentiality of Court Records Page 4 of 20 the materials in the records would be harmful to his professional reputation. Carnegie recited subsection vi's restriction on release of materials involving a privacy right, but noted that "statements Tedder alleged were defamatory and damaging were allegations in Carnegie's counterclaim for which she seeks damages. These matters were not peripheral to the lawsuit; they were inherent to it." Id. at 1312. Of course, exactly the same principle applies here: sexual abuse allegations filed by attorneys Edwards and Cassell for their client Ms. Virginia Giuffre are not peripheral to this lawsuit — they are inherent to it. To see how "inherent" the sexual abuse allegations are to this lawsuit, the Court need look no further than Dershowitz's counterclaim in this case. Count I of Dershowitz's Counterclaim (styled as "False Allegations in the Joinder Motion) contends that Edwards and Cassell should pay him damages because they "filed a pleading in the Federal Action titled 'Jane Doe #3 and Jane Doe #4's Motion Pursuant to Rule 21 for Joinder in Action' . . . ." Dershowitz Counterclaim at 11 14. Dershowitz's Counterclaim then goes on to quote at length from the Joinder Motion. His counterclaim contains, for example, this paragraph recounting the allegations: The Joinder Motion then goes on to allege — without any supporting evidence — as follows: One such powerful individual that Epstein forced then-minor Jane Doe #3 to have sexual relations with was former Harvard Law Professor Alan Dershowitz, a close friend of Epstein's and well-known criminal defense attorney. Epstein required Jane Doe #3 to have sexual relations with Dershowitz on numerous occasions while she was a minor, not only in Florida but also on private planes, in New York, New Mexico, and the U.S. Virgin Edwards, Bradley vs. Dershowitz Case No.: CACE 15-000072 Edwards and Cassells Response to Dershowitz's Motion to Determine Confidentiality of Court Records Page 5 of 20 Islands. In addition to being a participant in the abuse of Jane Doe #3 and other minors, Dershowitz was an eye-witness to the sexual abuse of many other minors by Epstein and several of Epstein's coconspirators. Dershowitz would later play a significant role in negotiating the [Non-Prosecution Agreement] on Epstein's behalf. Indeed, Dershowitz helped negotiate an agreement that provided immunity from federal prosecution in the Southern District of Florida not only to Epstein, but also to "any potential coconspirators of Epstein." Thus, Dershowitz helped negotiate an agreement with a provision that provided protection for himself against criminal prosecution in Florida for sexually abusing Jane Doe #3. Because this broad immunity wouldhave been controversial if disclosed, Dershowitz (along with other members of Epstein's defense team) and the Government tried to keep the immunity provision secret from all of Epstein's victims and the general public, even though such secrecy violated the Crime Victims' Rights Act. Dershowitz Counterclaim at 1115 (quoting Joinder Motion at 4). Remarkably, having quoted at length from the Joinder Motion in his Counterclaim in this case, Dershowitz now seeks to have that very same language from the Joinder Motion deemed "confidential" and sealed. Compare Counterclaim at ¶15 (block quotation above) with Motion to Determine Confidentiality, Exhibit A at 4 (composite exhibit with proposed "confidential" document that includes paragraph beginning "[o]ne such powerful individual that Epstein forced then-minor Jane Doe #3 to have sexual relations with was former Harvard Law Professor Alan Dershowitz, a close friend of Epstein's . . . ."). Dershowitz cannot come before this Court and file a counterclaim seeking damages from Edwards and Cassell for alleged defamatory statements and then ask to have those very same statements placed under seal as "confidential." See Barron v. Florida Freedom Newspapers, 531 So.2d at 119 ("although generally protected by one's privacy right, medical reports and history are no longer protected Edwards, Bradley vs. Dershowitz Case No.: CACE 15-000072 Edwards and Cassells Response to Dershowitz's Motion to Determine Confidentiality of Court Records Page 6 of 20 when the medical condition becomes an integral part of the civil proceeding, particularly when the condition is asserted as an issue by the party seeking closure" (emphasis added)). H. JUDGE MARRA'S ORDER IN HIS CASE DOES NOT REQUIRE THAT THE RECORDS BE SEALED IN THIS CASE. Dershowitz also appears to contend that Judge Marra's order striking some of the materials from the records at issue somehow requires that these stricken materials be kept confidential in this case. Dershowitz's argument misunderstands both the scope of Judge Marra's order and its effect in this case. His argument rests on a truncated — and misleading -- description of the events surrounding Judge Marra's ruling striking certain documents. A more complete description makes clear that Judge Marra has not determined the documents are somehow "confidential" even in the federal Crime Victims' Rights Act case — much less in this separate state defamation action. Edwards and Cassell filed the federal case pro bono on behalf of two young women who were sexually abused as underage girls by Dershowitz's close personal friend — Jeffrey Epstein. In 2008, Edwards and Casell filed a petition to enforce the rights of "Jane Doe No. 1" and "Jane Doe No. 2" under the Crime Victims' Rights Act (CVRA), 18 U.S.C. § 3771, alleging that the Government had failed to provide them rights with regard to a plea arrangement it was pursuing with Epstein. Jane Doe No. 1 and Jane Doe No. 2 v. United States, No. 9:08-cv-80736 (S.D. Fla.). In the course of that case, on October 11, 2011, the victims filed discovery requests with the Government, including requests specifically seeking information about Dershowitz, Prince Andrew, and others. Further efforts from the Government to avoid any discovery Edwards, Bradley vs. Dershowitz Case No.: CACE 15-000072 Edwards and Cassells Response to Dershowitz's Motion to Determine Confidentiality of Court Records Page 7 of 20 followed (see generally Docket Entry or "DE" 225-1 at 4-5), ultimately leading to a further Court ruling in June 2013 that the Government should produce documents. DE 189. The Government then produced about 1,500 pages of largely irrelevant materials to the victims (DE 225-1 at 5), while simultaneously submitting 14,825 pages of relevant materials under seal to the Court. The Government claimed that these pages were "privileged" for various reasons, attaching an abbreviated privilege log. While these discovery issues were pending, in the summer of 2014, Edwards and Cassell, contacted Government counsel to request their agreement to add two additional victims to the case, including Ms. Virginia Giuffre (who was identified in court pleadings as "Jane Doe No. 3"). Edwards and Cassell sought to have her added to the case via stipulation, which would have avoided the need to include any detailed facts about her abuse. Weeks went by and the Government — as it had done on a similar request for a stipulation to add another victim — did not respond to counsel's request for a stipulation. Finally, on December 10, 2014, despite having had four months to provide a position, the Government responded by email to counsel that it was seeking more time, indicating that the Government understood that victims' counsel might need to file a motion with the court on the matter immediately. DE 291 at 3-5. Rather than file a motion immediately, victims' counsel waited and continued to press the Government for a stipulation. See id. at 5. Finally, on December 23, 2014 — more than four months after the initial request for a stipulated joinder into the case — the Government tersely indicated its objection, without indicating any reason: "Our position is that we oppose adding new petitioners at this stage of the litigation." See DE 291 at 5. Edwards, Bradley vs. Dershowitz Case No.: CACE 15-000072 Edwards and Cassells Response to Dershowitz's Motion to Determine Confidentiality of Court Records Page 8 of 20 Because the Government now contested the joinder motion, Edwards and Cassell prepared a more detailed pleading explaining the justification for granting the motion. One week after receiving the Government's objection, on December 30, 2014, Ms. Giuffre (i.e., Jane Doe No. 3) and Jane Doe No. 4 filed a motion (and later a corrected motion) seeking to join the case. DE 279 and DE 280. (Note: DE 280 is the first of the three documents Dershowitz seeks to have declared "confidential" in this case.) Uncertain as to the basis for the Government's objection, the motion briefly proffered the circumstances that would qualify the two women as "victims" eligible to assert rights under the CVRA. See 18 U.S.C. 3771(e) (defining "crime victim" protected under the Act). With regard to Ms. Giuffre, the motion indicated that when she was a minor, Jeffrey Epstein had trafficked her to Dershowitz and Prince Andrew (among others) for sexual purposes. Jane Doe No. 3 stated that she was prepared to prove her proffer. See DE 280 at 3 ("If allowed to join this action, Jane Doe No. 3 would prove the following .... "). The motion also provided specific reasons why Jane Doe No. 3's participation was relevant to the case, including the pending discovery issues regarding Dershowitz and Prince Andrew. DE 280 at 9-10 (explaining several reasons participation of new victims was relevant to existing issues). After the motion was filed, various news organizations published articles about it. Dershowitz also made numerous media statements about the filing, including calling Jane Doe No. 3 "a serial liar" who "has lied through her teeth about many world leaders." http ://vvww cnn . co m/2015/01/06/us/dershowi tz-sex -all e gati on/. Dershowitz also repeatedly called Edwards and Cassell "two sleazy, unprofessional, disbarable lawyers." Id. On Edwards, Bradley vs. Dershowitz Case No.: CACE 15-000072 Edwards and Cassells Response to Dershowitz's Motion to Determine Confidentiality of Court Records Page 9 of 20 January 5, 2015, Dershowitz filed a motion to intervene to argue to have the allegations stricken. DE 282. Dershowitz also argued that Ms. Giuffre had not provided a sworn affidavit attesting to the truth of her allegations. On January 21, 2015, Edwards and Cassell filed a response for Ms. Giuffre and Jane Doe No. 4. DE 291. (Note: This is the second of the three documents Dershowitz seeks to have kept under seal here.) The response enumerated nine specific reasons why Ms. Giuffre's specific allegations against Dershowitz were relevant to the case, including the fact that Ms. Giuffre needed to establish that she was a "victim" in the case, that pending discovery requests concerning Dershowitz-specific documents were pending, and that Dershowitz's role as a defense attorney in the case was highly relevant to the motive for the Government and defense counsel to conceal the plea deal from the victims. DE 291 at 17-26 & n.17. The response included a detailed affidavit from Ms. Giuffre about the sexual abuse she had suffered from Epstein, Dershowitz, and other powerful persons. DE 291-1. On February 6, 2015, Edwards and Cassell filed a further pleading (and affidavit from Ms. Giuffre, see DE 291- 1) in support of her motion to intervene. (Note: this affidavit is the third of the three documents Dershowitz seeks to have declared confidential.) On April 7, 2015, Judge Marra denied Ms. Giuffi-e's motion to join the case. Judge Marra concluded that "at this juncture in the proceedings" details about the sexual abuse she had suffered was unnecessary to making a determination "of whether Jane Doe 3 and Jane Doe 4 should be permitted to join [the other victims'] claim that the Government violated their rights under the CVRA. The factual details regarding with whom and where the Jane Does engaged in sexual activities are impertinent to this central claim (i.e., that they were known victims of Mr. Edwards, Bradley vs. Dershowitz Case No.: CACE 15-000072 Edwards and Cassells Response to Dershowitz's Motion to Determine Confidentiality of Court Records Page 10 of 20 Epstein and the Government owed them CVRA duties), especially considering that the details involve non-parties who are not related to the respondent Government." DE 324 at 5 (emphasis in original). While Judge Marra struck those allegations, he emphasized that "Jane Doe 3 is free to reassert these factual details through proper evidentiary proof, should [the victims] demonstrate a good faith basis for believing that such details are pertinent to a matter presented for the Court's consideration. Judge Marra then denied Ms. Giuffre's motion to join the case, but allowed her to participate as trial witness: "The necessary 'participation' of [Ms. Giuffre] ... in this case can be satisfied by offering ... properly supported — and relevant, admissible, and non-cumulative — testimony as needed, whether through testimony at trial ... or affidavits supported in support [of] the relevancy of discovery requests." DE 324 at 8 (emphasis deleted). In a supplemental order, Judge Marra stated that the victims "may re-refile these documents omitting the stricken portions." DE 325. The victims have recently refiled the documents. In light of this history, Dershowitz is flatly incorrect when he asserts that "Judge Marra's Order appropriately precludes the unredacted documents from being re-filed in this case on the public docket." Confidentiality Motion at 3. To the contrary, the Order specifically permits factual details about Dershowitz's sexual abuse of Ms. Giuffre to be presented in regard to pertinent matters in the federal CVRA case. And certainly nothing in Judge Marra's Order could render those documents confidential in this state defamation case, where the central issues swirl around Edwards and Cassell's good faith basis for filing the allegations. Indeed, the order is not binding in any way in this case, because it is res judicata only as to Ms. Giuffre (the moving Edwards, Bradley vs. Dershowitz Case No.: CACE 15-000072 Edwards and Cassells Response to Dershowitz's Motion to Determine Confidentiality of Court Records Page 11 of 20 party in that case), not as to her attorneys Edwards and Cassell. See Palm AFC Holdings, Inc. v. Palm Beach County, 807 So.2d 703 (4th DCA 2002) ("In order for res judicata to apply four identities must be present: (1) identity of the thing sued for; (2) identity of the cause of action; (3) identity of persons and parties; and (4) identity of the quality or capacity of the persons for or against whom the claim is made."). III. EDWARDS AND CASSELL WILL BE PREJUDICED IF THEY ARE BARRED FROM QUOTING FROM THE RECORD WHILE DERSHOWITZ IS PERMITTED TO FREELY REFER TO THEM WHENEVER HE FINDS IT CONVENIENT. Dershowitz is also incorrect when he asserts that no prejudice will befall Edwards and Cassell if the records are placed under seal. To the contrary, placing the documents under seal would permit Dershowitz to continue to misrepresent and distort what is contained in those records while preventing Edwards and Cassell from correcting those misrepresentations. Dershowitz has repeatedly referred to details in the records when he has found it convenient to do so — treating the records as not confidential in any away. One clear example comes from Dershowitz's recent deposition, where he gratuitously injected into the record a reference to a portion of Ms. Giuffre's affidavit about him watching Ms. Giuffre perform oral sex on Epstein. And then, having injected that gratuitous reference into the record, he proceeded to try to rebut the reference with confidential settlement discussions — but did so by mispresenting what another attorney (David Boies) had said during the settlement discussions. So that the Court may have the full flavor of the exchange, the narrow question to Dershowitz (by attorney Jack Edwards, Bradley vs. Dershowitz Case No.: CACE 15-000072 Edwards and Cassells Response to Dershowitz's Motion to Determine Confidentiality of Court Records Page 12 of 20 Scarola) and Dershowitz's extended answer are quoted in full — including Dershowitz's reference to the oral sex allegation that he now argues this Court should treat as "confidential": Q. [Y]ou [are] aware that years before December of 2014, when the CVRA pleading was filed, that your name had come up repeatedly in connection with Jeffrey Epstein's abuse of minors, correct? . . . A. Let me answer that question. I am aware that never before 2014, end of December, was it ever, ever alleged that I had acted in any way inappropriately with regard to Virginia [Giuffre], that I ever touched her, that I ever met her, that Ihad ever been with her. I was completely aware of that. There had never been any allegation. She claims under oath that she told you that secretly in 2011, but you have produced no notes of any such conversation. You, of course, are a witness to this allegation and will be deposed as a witness to this allegation. I believe it is an entirely false allegation that she told you in 2011 that she had had any sexual contact with me. I think she's lying through her teeth when she says that. And I doubt that your notes will reveal any such information. But if she did tell you that, she would be absolutely, categorically lying. So I am completely aware that never, until the lies were put in a legal pleading at the end of December 2014, it was never alleged that I had any sexual contact with Virginia Roberts. I know that it was alleged that I was a witness to Jeffrey Epstein's alleged abuse and that was false. I was never a witness to any of Jeffrey Epstein's sexual abuse. And I wrote that to you, something that you have falsely denied. And I stand on the record. The record is clear that I have categorically denied I was ever a witness to any abuse, that I ever saw Jeffrey Epstein abusing anybody. And -- and the very idea that I would stand and talk to Jeffrey Epstein while he was receiving oral sex from Virginia Roberts, which she swore to under oath, is so outrageous, so preposterous, that even David Boies said he couldn't believe it was true. MS. McCAWLEY: I object. I object. I'm not going to allow you to reveal any conversations that happened in the context of a settlement discussion. THE WITNESS: Does she have standing? Edwards, Bradley vs. Dershowitz Case No.: CACE 15-000072 Edwards and Cassells Response to Dershowitz's Motion to Determine Confidentiality of Court Records Page 13 of 20 MS. McCAWLEY: I have a standing objection and, I'm objecting again. I'm not going to THE WITNESS: No, no, no. Does she have standing in this deposition? MR. SCOTT: Let's take a break for a minute, okay? THE WITNESS: I'm not sure she has standing. MR. SCAROLA: Are we finished with the speech? MR. SCOTT: No. If he -- MR. SCAROLA: I'd like him to finish the speech so that we can get to my question and then we can take a break. A. So the question -- the answer to your question is -- MR. SIMPSON: Wait a minute. Wait a minute. Wait a minute. Please don't disclose something that she has a right to raise that objection if she wants to. MR. SCOTT: Exactly. Deposition of Alan Dershowitz (Oct. 15, 2015) at 93-95 (attached as Exhibit 1); see also Deposition of Alan Dershowitz (Oct. 16, 2016) (attached as Exhibit 2) (also containing discussion of Ms. Giuffre's affidavit). The Court should be aware that within approximately two hours of this exchange, Ms. McCawley (David Boies' law partner) released a statement on his behalf, which stated that Dershowitz was misrepresenting what happened: "Because the discussions that Mr. Boies had with Mr. Dershowitz were expressly privileged settlement discussions, Mr. Boies will not, at least at this time, describe what was actually said. However, Mr. Boies does state that Mr. Edwards, Bradley vs. Dershowitz Case No.: CACE 15-000072 Edwards and Cassells Response to Dershowitz's Motion to Determine Confidentiality of Court Records Page 14 of 20 Dershowitz description of what was said is not true." Statement of Ms. McCawley on Behalf of David Boies (Oct. 15, 2015). More broadly, the Court can readily see from this passage how Dershowitz is willing to inject into the record a part of Ms. Giuffre's affidavit whenever it serves his purpose — and, indeed, to characterize the part of the affidavit as "preposterous." But then he asks this Court to place the underlying affidavit under seal, so that the Edwards and Cassell stand accused having filed a "preposterous" affidavit without anyone being able to assess the validity of Dershowitz's attack. Dershowitz has referred to the court records that he now wishes to have the Court declare confidential not only in his deposition, but also in his widely-broadcast media attacks on Edwards and Cassell. For example, Dershowitz appeared on the British Broadcasting Corporation (the BBC) and was asked about the allegations: Well, first of all they were made in court papers that they don't even ask for a hearing to try to prove them. They put them in court papers in order to immunize themselves from any consequences from a defamation suit. The story is totally made up, completely out of whole cloth. I don't know this woman. I was not at the places at the times. It is part of a pattern of made up stories against prominent people and world leaders. And the lawyers in recent statement challenged me to deny the allegations under oath. I am doing that. I am denying them under oath, thus subjecting me to a perjury prosecution were I not telling the truth. I am now challenging them to have their client put these charges under oath and for them to put them under oath. I am also challenging them to repeat them outside of the context of court papers so that I can sue them for defamation. . . . And I will prove beyond any doubt not only that the story is totally false, but it was knowingly false: that the lawyers and the client conspired together to create a false story. That is why I am moving for their disbarment in challenges to be provided to the disciplinary committee. BBC Radio 4 - Sarah Montague (Jan. 3, 2015) (http://www.bbc.co.uk/programmes/p02g7qbc). Edwards, Bradley vs. Dershowitz Case No.: CACE 15-000072 Edwards and Cassells Response to Dershowitz's Motion to Determine Confidentiality of Court Records Page 15 of 20 Similarly, Dershowitz appeared on NBC's Today Show the morning after Edwards and Cassell made a filing for Ms. Giuffre, to say that the Edwards and Cassell — and Ms. Giuffre — were all "lying" in the court documents: Question from Savannah Guthrie: In legal papers from the lawyers, they say you've had, in fact, the opportunity to be deposed. Answer from Alan Dershowitz: They're lying. They're lying. Question: They show letters in which they offered to depose you. Answer: And they didn't show my letters in response saying, (a), if you ask me about my legal relationship with Epstein and I'll be happy to answer. . . . And I responded that I would be happy to be deposed if you could give me any indication that I would be a relevant witness . . . . They will be proved — all of them [i.e., Cassell, Edwards, and Ms. Giuffre] — to be categorically lying and making up this story. And it will be a terrible thing for rape victims. . . . We [Epstein and Dershowitz] had an academic relationship. I was never in the presence of a single, young, underaged woman. When I was with him, it was with prominent scientists, prominent academics. And they're just — again — lying about this. I never saw him doing anything improper. I was not a participant. I was not a witness. Today Show, Jan. 22, 2015 (emphases added). As another example, in Miami Herald, Dershowitz called the Joinder Motion that he seeks to have sealed the sleaziest legal document I have ever seen. They [Edwards and Cassell] manipulated a young, suggestible woman who was interested in money. This is a disbarrable offense, and they will be disbarred. They will rue the day they ever made this false charge against me" — i.e., Edwards and Cassell will "rue the day" they ever filed the Joinder Motion. Miami Herald (Jan. 3, 2015). Edwards, Bradley vs. Dershowitz Case No.: CACE 15-000072 Edwards and Cassells Response to Dershowitz's Motion to Determine Confidentiality of Court Records Page 16 of 20 Most remarkably, Dershowitz took the public airwaves to represent that he wanted all of the information surrounding the allegations to "be made public," while implying that Edwards and Cassell had something to hide. For example, on the BBC he claimed that he wanted"everything to be made public": Q: Would you encourage that it now be made public? A: Of course, of course. I want everything to be made public. I want every bit of evidence in this case to be made public. I want every allegation to be made public. I want to know who else she's accused of these horrible crimes. We know that she accused Bill Clinton of being on Jeffrey Epstein's island and participating in sex orgy with underage girls. The records of the Secret Service will prove that President Clinton never set foot on that island. So that she lied. Now it's possible to have a case of mistaken identification with somebody like me. It's impossible to have a case of mistaken identification with Bill Clinton. My only feeling is that if she has lied about me, which I know to an absolute certainty she has, she should not be believed about anyone else. She's lied clearly about me, she's lied clearly about Bill Clinton. We know that. We know that she's lied about other public figures, including a former prime minister and others who she claims to have participated in sexual activities with. So I think it must be presumed that all of her allegations against Prince Andrew are false as well. I think he [Prince Andrew] should clear the air as well. If you're squeaky clean and if you have never done anything like this, you must fight back with all the resources available to you. And that's what I will do. I will not rest or stop until the world understands no only that I had nothing to do with any of this, but that she deliberately, with the connivance of her lawyer, lawyers, made up this story willfully and knowingly. BBC Radio 4 - Sarah Montague (Jan. 3, 2015) (http://www.bbc.co.uk/programmes/p02g7qbc). In another widely-broadcast interview on CNN, Dershowitz implied that there is no evidence supporting the allegations against him: Edwards, Bradley vs. Dershowitz Case No.: CACE 15-000072 Edwards and Cassells Response to Dershowitz's Motion to Determine Confidentiality of Court Records Page 17 of 20 Ask them [Edwards and Cassell] if they have any evidence . . . . They're doing it for money. She's getting money for having sold her story. She wants to sell the book. They're trying to get into this lawsuit. They see a pot of gold at the end of the rainbow. They're [Edwards and Cassell] prepared to lie, cheat, and steal. These are unethical lawyers. This is Professor Cassell who shouldn't be allowed near a student. This is Professor Cassell, who is a former federal judge, thank God he no longer wears a robe. He is essentially a crook. He is essentially somebody who's distorted the legal profession. . . . Why would he charge a person with a sterling reputation for 50 years on the basis of the word alone of a woman who is serial liar, who has lied about former Prime Ministers, former Presidents, has lied demonstrably. CNN Live (with Hala Gorani) (January 5, 2015). Of course, by placing "the evidence" in this case under seal, Dershowitz will be free to continue to try and insinuate that Edward and Cassell — and their client, Ms. Giuffre — had no evidence supporting the allegations against him, even though a mountain evidence strongly support Ms. Giuffre 's allegations. See Deposition of Paul Cassell (Oct. 16, 2015) at 61-117 (Exhibit 3); see also Depo of Pual Cassell (Oct. 17, 2015) (Exhibit 4). CONCLUSION The Court should deny Defendant/Counterclaim Plaintiff Alan Dershowitz's motion to place documents regarding Ms. Giuffre's allegations against him under seal. I HEREBY CERTIFY that a true and correct copy of the foregoing was sent via E-Serve to all Counsel on the attached list, this 25f-‘' day of November, 2015. /s/ Jack Scarola Jack Scarola Florida Bar No.: 169440 Attorney E-Mail(s): jsxasearcylaw.com and mep@searcylaw.com Primary E-Mail: scarolateamasearcylaw.com Searcy Denney Scarola Barnhart & Shipley, P.A. 2139 Palm Beach Lakes Boulevard West Palm Beach, Florida 33409 Phone:(561) 686-6300 Fax:(561) 383-9451 Edwards, Bradley vs. Dershowitz Case No.: CACE 15-000072 Edwards and Cassells Response to Dershowitz's Motion to Determine Confidentiality of Court Records Page 18 of 20 SEAN D. REYES Utah Attorney General By: JONI J. JONES JOEL A. FERRE Assistant Utah Attorneys General Bradley J. Edwards FARMER, JAFFE, WEISSING, EDWARDS, FISTOS & LEHRMAN, P.L. 425 North Andrews Avenue, Suite 2 Fort Lauderdale, Florida 33301 Telephone (954) 524-2820 Facsimile (954) 524-2822 E-mail: bradapathtojustice.com And Paul G. Cassell Pro Hac Vice Motion Pending S.J. Quinney College of Law at the University of Utah 383 S. University St. Salt Lake City, UT 84112 Telephone:801-585-5202 Facsimile:801-585-6833 E-Mail:cassellp@law.utah.edu Attorneys for Plaintiffs Bradley J. Edwards and Paul G. Cassell COUNSEL LIST Thomas Emerson Scott, Jr., Esquire Thomas. scott@csklegal.com; Steven.safraacsklegal.com Cole Scott & Kissane P.A. 9150 S Dadeland Boulevard, Suite 1400 Miami, FL 33156 Edwards, Bradley vs. Dershowitz Case No.: CACE 15-000072 Edwards and Cassells Response to Dershowitz's Motion to Determine Confidentiality of Court Records Page 19 of 20 Phone: (305)-350-5329 Fax: (305)-373-2294 Attorneys for Defendant Richard A. Simpson (pro hac vice) rsimpsongwileyrein.com Mary E. Borja (pro hac vice) mborjawileyrein.com Ashley E. Eiler (pro hac vice) aeiler@wileyrein.com WILEY REIN LLP 1776 K St. NW Washington, DC 20006 Phone: (202) 719-7000 Fax: (202) 719-7049 Edwards, Bradley vs. Dershowitz Case No.: CACE 15-000072 Edwards and Cassells Response to Dershowitz's Motion to Determine Confidentiality of Court Records Page 20 of 20 COUNSEL LIST Sigrid Stone McCawley, Esquire smccawley@bsfllp.com; sperkins@bsfllp.com; ftleserve@bsfllp.com Boies Schiller & Flexner, LLP 401 E Las Olas Boulevard., Suite 1200 Fort Lauderdale, FL 33301 Phone: (954)-356-0011 Attorneys for Alan M.Dershowitz, Esquire Thomas Emerson Scott, Jr., Esquire Thomas. scott@csklegal.com; Steven.safra@csklegal.com; Renee.nail@csklegal.com; shelly.zambo@csklegal.com Cole Scott & Kissane P.A. 9150 S Dadeland Boulevard, Suite 1400 Miami, FL 33156 Phone: (305)-350-5329/Fax: (305)-373-2294 Attorneys for Alan M.Dershowitz, Esquire Bradley J. Edwards, Esquire staffefile@pathtojustice.com; brad@pathtojustice.com; maria@pathtojustice.com Farmer Jaffe Weissing Edwards Fistos & Lehrman, P.L. 425 N Andrews Avenue, Suite 2 Fort Lauderdale, FL 33301 Phone: (954)-524-2820/Fax: (954)-524-2822 Attorneys for Alan M.Dershowitz, Esquire Ashley Eiler, Esquire AEiler@wileyrein.com Mary E. Borja, Esquire MBorja@wileyrein.com Richard A. Simpson, Esquire RSimpson@wileyrein.com Wiley Rein, LLP 1776 K Street NW Washington, DC 20006 Phone: (202)-719-4252/Fax: (202)-719-7049 Attorneys for Alan M.Dershowitz, Esquire Joni J. Jones, Esquire jonijones@utah.gov Assistant Utah Attorney General 160 E 300 S Salt Lake City, UT 84114 Phone: (801)-366-0100/Fax: (801)-366-0101 Attorneys for Paul Cassell Kenneth A. Sweder, Esquire ksweder@sweder-ross.com Sweder & Ross, LLP 131 Oliver Street Boston, MA 02110 Phone: (617)-646-4466/Fax: (617)-646-4470 Attorneys for Alan M.Dershowitz, Esquire Exhibit 1 1 IN THE CIRCUIT COURT OF THE SEVENTEENTH JUDICIAL CIRCUIT IN AND FOR BROWARD COUNTY, FLORIDA CASE NO.: CACE 15-000072 BRADLEY J. EDWARDS and PAUL G. CASSELL„ vs. Plaintiffs, ALAN M. DERSHOWITZ, Defendant. / VIDEOTAPE DEPOSITION OF ALAN M. DERSHOWITZ VOLUME 1 Pages 1 through 179 Thursday, October 15, 2015 9:31 a.m. - 4:13 p.m. Cole Scott & Kissane 110 Southeast 6th Street Fort Lauderdale, Florida Stenographically Reported By: Kimberly Fontalvo, RPR, CLR Realtime Systems Administrator 93 1 people that abused Virginia? 2 A. I told you I never asked her the question. 11:36:21 3 Q. Are you aware that years before December 11:36:48 4 of 2014, when the CVRA pleading was filed, that your 5 name had come up repeatedly in connection with 6 Jeffrey Epstein's abuse of minors, correct? 7 MR. SCOTT: Objection, form, overly broad. 11:37:16 8 A. Let me answer that question. I am aware 11:37:17 9 that never before 2014, end of December, was it 10 ever, ever alleged that I had acted in any way 11 inappropriately with regard to Virginia Roberts, 12 that I ever touched her, that I ever met her, that I 13 had ever been with her. I was completely aware of 14 that. There had never been any allegation. 15 She claims under oath that she told you 11:37:48 16 that secretly in 2011, but you have produced no 17 notes of any such conversation. You, of course, are 18 a witness to this allegation and will be deposed as 19 a witness to this allegation. I believe it is an 20 entirely false allegation that she told you in 2011 21 that she had had any sexual contact with me. I 22 think she's lying through her teeth when she says 23 that. And I doubt that your notes will reveal any 24 such information. 25 But if she did tell you that, she would be 11:38:24 94 1 absolutely, categorically lying. So I am completely 2 aware that never, until the lies were put in a legal 3 pleading at the end of December 2014, it was never 4 alleged that I had any sexual contact with Virginia 5 Roberts. 6 I know that it was alleged that I was a 11:38:46 7 witness to Jeffrey Epstein's alleged abuse and that 8 was false. I was never a witness to any of Jeffrey 9 Epstein's sexual abuse. And I wrote that to you, 10 something that you have falsely denied. And I stand 11 on the record. The record is clear that I have 12 categorically denied I was ever a witness to any 13 abuse, that I ever saw Jeffrey Epstein abusing 14 anybody. 15 And -- and the very idea that I would 11:39:18 16 stand and talk to Jeffrey Epstein while he was 17 receiving oral sex from Virginia Roberts, which she 18 swore to under oath, is so outrageous, so 19 preposterous, that even David Boies said he couldn't 20 believe it was true. 21 MS. McCAWLEY: I object. I object. I'm 11:39:40 22 not going to allow you to reveal any 23 conversations that happened in the context of a 24 settlement discussion. 25 THE WITNESS: Does she have standing? 11:39:46 95 1 2 3 4 MS. McCAWLEY: I have a standing objection and, I'm objecting again. I'm not going to THE WITNESS: No, no, no. Does she have standing in this deposition? 11:39:47 11:39:49 5 MR. SCOTT: Let's take a break for a 11:39:51 6 minute, okay? 7 THE WITNESS: I'm not sure she has 11:39:54 8 standing. 9 MR. SCAROLA: Are we finished with the 11:39:57 10 speech? 11 MR. SCOTT: No. If he -- 11:39:58 12 MR. SCAROLA: I'd like him to finish the 11:39:59 13 speech so that we can get to my question and 14 then we can take a break. 15 A. So the question -- the answer to your 11:40:02 16 question is -- 17 MR. SIMPSON: Wait a minute. Wait a 11:40:04 18 minute. Wait a minute. Please don't disclose 19 something that she has a right to raise that 20 objection if she wants to. 21 MR. SCOTT: Exactly. 11:40:13 22 THE WITNESS: Okay. 11:40:14 23 MR. SCOTT: Ask your question. 11:40:17 24 MR. SWEDER: Maybe you want to read back 11:40:20 25 the last couple of sentences. Exhibit 2 180 IN THE CIRCUIT COURT OF THE SEVENTEENTH JUDICIAL CIRCUIT IN AND FOR BROWARD COUNTY, FLORIDA CASE NO.: CACE 15-000072 BRADLEY J. EDWARDS and PAUL G. CASSELL„ vs. Plaintiffs, ALAN M. DERSHOWITZ, Defendant. CONTINUED VIDEOTAPE DEPOSITION OF ALAN M. DERSHOWITZ VOLUME 2 Pages 180 through 333 Friday, October 16, 2015 9:18 a.m. - 12:26 p.m. Cole Scott & Kissane 110 Southeast 6th Street Fort Lauderdale, Florida Stenographically Reported By: Kimberly Fontalvo, RPR, CLR Realtime Systems Administrator www.phippsreporting.com (888)811-3408 181 183 1 2 APPEARANCES: 1 2 INDEX 3 4 On behalf of Plaintiffs: SEARCY, DENNEY, SCAROLA BARNHART & SHIPLEY, P.A. 3 4 Examination Page VOLUME 2 (Pages 180 - 333) 5 6 7 2139 Palm Beach Lakes Boulevard West Palm Beach, Florida 33402-3626 BY: JACK SCAROLA, ESQ. jsx@searcylaw.com 5 Direct By Mr. Scarola 184 6 Certificate of Oath 330 Certificate of Reporter 331 7 Read and Sign Letter to Witness 332 8 9 10 i 1 On behalf of Defendant: COLE, SCOTT & KISSANE, P.A. Dadeland Centre II - Suite 1400 9150 South Dadeland Boulevard Miami, Florida 33156 BY: THOMAS EMERSON SCOTT, JR., ESQ. 8 9 10 Errata Sheet (forwarded upon execution) 333 PLAINTIFF EXHIBITS No. Page thomas.scott@csklegal.com 1 Television Interview Transcript 193 12 13 14 15 16 1 7 18 BY: STEVEN SAFRA, ESQ. (Via phone) steven.safra@csklegal.com —and-- SWEDER & ROSS, LLP 131 Oliver Street Boston, MA 02110 BY: KENNETH A. SWEDER, ESQ. ksweder@sweder-ross.com --and-- WILEY, REIN 17769 K Street NW 11 1 2 13 14 15 16 17 18 2 Except from Deposition of Alan M. 193 Dershowitz 3 Photograph - 8x10 - Color 194 4 Photograph - 8x10 - Color 197 5 Flight Log Information Sheet 198 6 Composite - Flight logs 240 7 Composite - Flight manuals 240 8 Photograph - 8x 10 - Color 305 19 20 21 22 Washington, DC 20006 BY: RICHARD A. SIMPSON, ESQ. RSimpson@wileyrein.com BY: NICOLE A. RICIIARDSON, ESQ. nrichardson@wileyrein.com 19 2 0 21 22 23 9 Composite - Calendar entries 10 Composite ,- Calendar entries 11 Composite - Calendar entries 12 Composite - Calendar entries 306 307 307 307 23 24 24 25 25 182 184 1 APPEARANCES (Continued): 1 VIDEOGRAPHER: Going on the record. This 2 On behalf of Jeffrey Epstein: 2 is day two of Alan Dershowitz's deposition. 3 DARREN K. INDYKE, PLLC 3 The date is October 16, 2015, and the time is 575 Lexington Ave., 4th Fl. 4 approximately 9:18 a.m. 4 New York, New York 5 MR. SCAROLA: Would you please reswear the BY: DARREN K. INDYKE, ESQ. (Via phone) 5 6 witness. 6 On behalf of Virginia Roberts: 7 THE COURT REPORTER: Would you raise your 7 BOIES, SCHILLER & FLEXNER, LLP 8 right hand, please? 8 401 E. Las Olas Blvd., Ste. 1200 Fort Lauderdale, Florida 33301 9 1.0 Do you swear or affirm that the testimony you are about to give will be the truth, the BY: SIGRID STONE MCCAWLEY, ESQ. smccawley@bsfllp.com 11 whole truth, and nothing but the truth? 9 10 12 THE WITNESS: Yes. 11 ALSO PRESENT: 13 Thereupon: 12 Joni Jones, Utah Attorney General Office 14 ALAN M. DERSHOWITZ 13 14 Travis Gallagher, Videographer 15 16 having been first duly sworn, was examined and testified as follows: 15 16 17 17 18 DIRECT EXAMINATION BY MR. SCAROLA: 18 19 Q. Mr. Dershowitz, what is rhetorical 19 20 hyperbole? 2 0 21 21 A. Rhetorical means verbal and hyperbole 22 23 22 23 means exaggeration. Q. Something other than the truth, correct? 24 24 A. Truth -- 2 5 25 MR. SCOTT: Objection, form, relevancy. www.phippsreporting.com (888)811-3408 2 (Pages 181 to 184) 185 187 1 A. Truth has many, many meanings and is a 1 transcript of the interview? wed like to see 2 continuum. The Supreme Court has held that 2 it. 3 rhetorical hyperbole cannot be the basis, for 3 MR. SCAROLA: That's exactly what I gave 4 example, of perjury prosecutions or generally of a 4 you, the photocopy. 5 defamation prosecution. 5 MR. SCOTT: Were doing it right now. 6 So it depends on the context. You might 6 Maybe we can move on and come back then. 7 just look at the dictionary and probably get a 7 MR. SCAROLA: No, I would like to proceed. 8 variety of definitions for it. 8 MR. SCOTT: Then let's stop until I get a 9 BY MR. SCAROLA: 9 copy of it. Because he -- I want -- 10 Q. Well, what I'm concerned about, 10 MR. SCAROLA: I don't think that's 11 Mr. Dershowitz, is not a dictionary definition. I 11 necessary because your client has told us that 12 want to know what your understanding of rhetorical 12 he has a superb memory and one of the things I 13 hyperbole is. 13 would like to know is what he's able to recall. 14 And do you agree that pursuant to your 14 If he needs to refresh his memory, the 1.5 understanding of rhetorical hyperbole, it is an 15 transcripts will be here in just a moment, but 16 exaggeration beyond the facts? 16 1 don't want to delay going forward. 17 MR. SCOTT: Objection, argumentative and 17 MR. SCOTT: Do you need the transcript to 18 compound, three questions. 18 refresh your memory? 19 A. No -- 19 THE WITNESS: Well, I have no memory of 20 MR. SCOTT: You can answer. 2 0 what specifically I said on a particular day in 21 A. -- I would not agree with that definition. 21 a particular interview. 22 BY MR. SCAROLA: 22 MR. SCOTT: Since you have a copy in front 23 Q. Okay. Then define it for us, if you 23 of him, why don't you just show him your copy 24 would, please. 24 then? Read the -- ask your question and let 25 A. I think 1 have already. 25 him read it. 186 188 1 Q. I'm sorry, I missed the definition. Could 1 BY MR. SCAROLA: 2 you tell us what rhetorical hyperbole is? 2 Q. Do you recall having been interviewed on 3 MR. SCOTT: Objection, repetitious. He's 3 CNN Tonight by Don Lemon? 4 done it. 4 A. Yes, I do. 5 A. Why don't we just read back my answer. 5 Q. Do you recall having been interviewed on 6 BY MR. SCAROLA: 6 CNN Tonight by Don Lemon in early January of 2015, 7 Q. Because I didn't understand it, so I would 7 where you spoke about matters that have become the 8 like you to try to give us a direct response to that 8 subject of this litigation? 9 question if you're able to. 9 A. Yes, I do. 10 A. I will repeat exactly what I said. A 10 Q. Did you make the following statement 11 rhetorical means verbal and hyperbole means some 11 during the course of that interview: "As to the 12 exaggeration of the facts for political or other 12 airplanes, there are manifests that will prove 13 reasons, but generally it is truthful in a literal 13 beyond any doubt that I was never on a private 14 sense but perhaps -- it all depends on context. 14 airplane with this woman or any other underage 15 And if you tell me the context in which I 15 OW? 16 used it, I will be happy to describe what I meant in 16 MR. SCOTT: You need to see the 17 that context. But I don't think you can really 17 transcript? 18 answer a question about what two words put together 18 THE WITNESS: No. No. 19 mean without understanding the context. 19 A. That is a truthful statement. I would 20 Q. Okay. Well, we're going to talk about 20 repeat it right now. I've reviewed the manifests. 21 some context. 21 First, I know I was never on the airplane 22 Do you recall having been interviewed on 22 with any underage woman. I know that for a fact. I 23 CNN Tonight on January 5, 2015? 23 have absolutely no doubt in my mind about that. And 24 A. I have no current recollection of -- 24 the records that I have reviewed confirm that. 25 MR. SCOTT: Do you have a copy of the 25 They have Virginia Roberts on a number of www.phippsreporting.com (888)811-3408 3 (Pages 185 to 188) 1 airplane flights with Jeffrey Epstein. They have me 2 on a number of flights, none -- let me emphasize, 3 none within the relevant time period, none within 4 the relevant time period. That is, there are no 5 manifests that have me on Jeffrey Epstein's airplane 6 during the time that Virginia Roberts claims to 7 have -- falsely claims to have had sex with me. 8 So, yes, not only recall making that 9 statement, but I repeat it here today. And it is 10 absolutely true. And it just confirms what I know, 11 and that is that Virginia Roberts made up the entire 12 story. 13 BY MR. SCAROLA: 14 Q. Your statement -- 15 MR. SCOTT: What page are you reading 16 from? 17 MR. SCAROLA: Page 5. 189 18 Q. Your statement was that you were never on 19 a private airplane with this woman, which I assume 20 was a reference to Virginia Roberts, correct? 21 A. It is, yes. 22 Q. Or any other underage girl? 23 A. That's right. 24 Q. All right. How many times -- 25 A. Well, let me be very clear. I have no 191 1 to the transcription, the official transcription of 2 that testimony, was that, quote: 3 "Let me emphasize that the manifests that 4 do exculpate me do not show me flying with Virginia 5 Roberts, they do not show me flying with any young 6 women." 7 That was the testimony you gave under 8 oath. Do you stand by that testimony today? 9 A. The manifests that I saw corroborate my 10 own memory -- my own memory is as clear as could 11 be -- that I never saw any inappropriately aged, 12 underaged women on any airplane to my knowledge that 13 were visible to me at any time that l flew. That is 14 my testimony, yes. 15 Q. Well, that's not a response to the 16 question that I asked. Is it your testimony today 17 that you never flew on a private airplane with, 18 quote, "any young women"? 19 MR. SCOTT: Objection, form. 20 A. By young women, I obviously meant in that 21 context underage women. And underage women in the 22 context of sexuality. And, yes, I -- I stand by 23 that statement. 24 BY MR. SCAROLA: 25 Q. All right. So your -- your clarification 190 192 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 idea who was in the front cabin of the airplane with the pilots. Obviously what I intended to say and what I say here now is l never saw an underaged person on an airplane. Now, when l -- when l flew with Jeffrey Epstein to the launch, my recollection is that there may have been a couple on the plane with their child who was going to see the launch. But that was certainly not the context in which I made the statement. I never saw any underage, young person who would be the subject or object of any improper sexual activities. Had l seen Jeffrey Epstein ever in the presence of an underage woman in a context that suggested sexuality, l would have, A, left the scene; B, reported it; and, C, never had any further contact with Jeffrey Epstein. Q. You have also made the statement that you were never on a private airplane with any underage women or any young women, correct? A. The context was underage women in a sexual context. If it was a -- you know, a four-year-old child being carried by her mother, that would not be included in what I intended to say. Q. Your sworn testimony yesterday, according 1 of your earlier testimony is that you never saw any 2 young women in a sexual context? 3 A. That's not clarification. I think that's 4 what I initially said. That's what 1 initially 5 intended. And that's the way any reasonable — any 6 reasonable person would interpret what my original 7 testimony was. So I don't believe my original 8 testimony required any clarification. 9 Q. So what you meant to convey by the 10 statement that you made when you said you never flew 11 with any underage girl or any young women was you 12 never flew with any underage girl or young women in 13 a sexual context? 14 MR. SCOTT: Objection, form. 15 BY MR. SCAROLA: 16 Q. Is that correct? 17 A. Let me simply repeat the fact and that is, 18 to my knowledge, I never flew on an airplane or was 19 ever in the presence on an airplane with any 20 underage woman who would be somebody who might be in 21 a sexual context. l say that only to eliminate the 22 possibility that some four-year-old was on the lap 23 of a mother or somebody was on the airplane with 24 family members. 25 But, no, l do not recall -- and I'm very 4 (Pages 189 to 192) www.phippsreporting.com (888)811-3408 193 195 1 firm about this -- being on an airplane with anybody 1 A. I don't remember that I flew with her or 2 who I believed could be the subject of Jeffrey 2 not. I may have. But I don't recall necessarily. 3 Epstein or anyone else's improper sexual activities. 3 But I did meet -- I remember meeting a woman named 4 MR. SCAROLA: All right. Let's mark the 4 Tatiana. This does not look like Tatiana, like the 5 transcript that we've been referring to as 5 woman I met. 6 Exhibit Number 1, please. That's the 6 Q. Okay. So that's a — that's a different 7 transcript of the television interviews that 7 Tatiana? 8 well be discussing. 8 A. No, I don't know. 9 (Thereupon, marked as Plaintiff Exhibit 9 MR. SCOTT: Objection, form, 10 1.) 10 argumentative. 11 MR. SCOTT: This is actually 2, right? We 11 A. I have no idea. I do not recognize this 12 had one yesterday, an article from the British 12 woman. She's not familiar to me at all. 13 newspaper? 13 I can tell you this: Without any doubt, 1 14 MR. SCAROLA: No. It was not marked as an 14 never met anybody dressed like this on any airplane 15 exhibit. This is the first exhibit that's been 15 or in the presence of Jeffrey Epstein or in any 16 marked. 16 context -- 17 MR. SCOTT: No, I know that, but I thought 17 BY MR. SCAROLA: 18 we were going to mark that one. Maybe 1 was -- 18 Q. Did she have — 19 I asked for that. Okay. 19 A. -- related to this case. 20 It was an answer and counterclaim about 20 Q. -- more clothes on or less clothes on when 21 the allegation shown to the witness. 21 you met her? 22 MR. SCAROLA: And Exhibit Number 2 will be 22 MR. SCOTT: Objection, form. He said he 23 the transcript from yesterday's proceedings 23 never met her. Misrepresent -- 24 that I have just referenced. 24 BY MR. SCAROLA: 25 (Thereupon, marked as Plaintiff 25 Q. When you met the woman that you're 194 196 1 Exhibit 2.) 1 referencing, did she have more clothes on or less 2 MR. SCOTT: You don't have a copy of that, 2 clothes on than that woman? 3 do you, of the transcript? 3 A. Every woman that I met in the presence of 4 MR. SCAROLA: No. Got sent to you. I 4 Jeffrey Epstein was properly dressed, usually in 5 assume you have it. 5 suits and dresses and -- and appropriately covered 6 BY MR. SCAROLA: 6 up. I never met any women in the context of Jeffrey 7 Q. I'm going to hand you what we'll now mark 7 Epstein who were dressed anything like this. 8 as Exhibit Number 3. 8 Q. Would you agree that that is a young woman 9 (Thereupon, marked as Plaintiff 9 in that photograph? 10 Exhibit 3.) 10 A. I have no idea what her age is. 11 MR. SCOTT: There's no question. 11 Q. So you don't know whether she was underage 12 MR. SWEDER: Yes. 12 or overage or a young woman or not a young woman? 13 BY MR. SCAROLA: 13 A. I don't -- 14 Q. Do you recognize that young woman, 14 MR. SCOTT: Objection, form. 15 Mr. Dershowitz? 15 A. -- know this woman, so I have no idea how 16 A. No. 16 old a woman in a picture is. She could be -- she 17 Q. Never saw her? 17 could be 30. She could be 25. I have no idea. 18 A. Not that I know of. 18 BY MR. SCAROLA: 19 Q. Never flew on an private airplane with 19 Q. Or she could be 15 or 16? 20 her? 20 A. I don't think so. 21 A. Not that I know of. 21 Q. But you don't know? 22 Q. Do you recognize the name Tatiana? 22 A. This doesn't -- well, I don't know how old 23 A. I do recall that Jeffrey Epstein had a 23 you are. This does not strike the -- 24 friend named Tatiana. 24 Q. Old enough to know that — 25 Q. That you flew with? 25 MR. SCOTT: You're cutting -- www.phippsreporting.com (888)811-3408 5 (Pages 193 to 196) 197 199 1 BY MR. SCAROLA: 1 photographs. The photographs identify the woman as 2 Q. -- that's a young woman. 2 Tatiana Kovylina, correct? 3 MR. SCOTT: Objection. You're cutting the 3 A. Yes, but -- 4 witness off. You're not letting him finish. 4 MR. SCOTT: Mr. Dershowitz, take your 5 A. This looks like a picture out of a Playboy 5 time -- 6 or Penthouse magazine. It does not look to me like 6 THE WITNESS: Yeah. 7 a person who is under the age of 16 or 17 or 18. 7 MR. SCOTT: -- review the exhibits. Don't 8 But I don't think you can tell anything from the 8 be rushed by Mr. Scarola. 9 picture. I think you can tell much more from 9 A. Yes, it's a different -- different 10 meeting somebody and being with them and having a 10 spelling of the name. The Tatiana on the manifest 11 conversation with them. 3.1 is spelled T-A-1-T-A-N-N-A. 12 MR. SCAROLA: Let's mark this photograph, 12 The Tatiana in the photograph is 13 if we could, as Exhibit Number 4. 13 T-A-T-I-N -- I-A-N-A. I have no idea whether -- 14 (Thereupon, marked as Plaintiff 14 BY MR. SCAROLA: 15 Exhibit 4.) 15 Q. The last name — 16 BY MR. SCAROLA: 16 A. -- they are the same person. 17 Q. Does Exhibit Number 4 help you at all to 17 Q. — is the same, Kovylina, right? 18 recognize this young woman? 18 A. There's no last name. 19 A. I've never -- I have no -- no recollection 19 Q. Well, read down a little bit further, if 20 of this young woman at all. 20 you would, Mr. Dershowitz. 21 Q. All right. Would you describe for us, 21 A. You mean as to a different flight? 22 please, the Tatiana that you flew with Jeffrey 22 Q. Yes, sir. Identifying the return flight 23 Epstein on November 17, 2005? 23 for the same Tatiana. 24 A. First, I want to emphasize that that's 24 A. I have no idea that it's a retum flight. 25 three years later than any of the issues involved in 25 I have nothing on the record that suggests that it's 198 200 1 this case. I have no recollection of flying with 1 a return flight. And it has different people on it. 2 this woman. I saw the name Tatiana on a manifest. 2 So I have no reason to believe its a return flight. 3 And my recollection of Tatiana -- 1 have 3 Q. Is the last -- the question that I asked 4 no recollection of flying with her, but my 4 you, Mr. Dershowitz, is: Is the last name spelled 5 recollection of Tatiana is that she was a serious, 5 exactly the same as the last name is spelled in the 6 mid 20s woman friend ofJeffrey Epstein, who 1 may 6 two photographs I have shown you? 7 have met on one or two or three occasions when he 7 A. Let me look. So, on the 20th of 8 was with her in -- perhaps at Harvard University 8 November -- 9 where he was meeting with academics and scholars, or 9 Q. Is the last name -- 10 perhaps -- I think that's probably the context 10 MR. SCOTT: Whoa, whoa -- 11 where -- where she might have been. 11 BY MR. SCAROLA: 12 Q. But you never flew with her? 12 Q. -- spelled the same way on both the flight 13 A. I have no recollection of flying with her. 13 log and the two photographs I have shown you? 14 Q. Okay. Well, let me see if this helps to 14 A. On -- you mean on a flight log that I was 15 refresh your recollection, Mr. Dershowitz. 15 not on the flight? Is that right? You're talking 16 MR. SCAROLA: Lees mark this as Exhibit 16 about a flight log that I was not on the flight, 17 Number 5, please. 17 right? 18 THE WITNESS: Uh-huh, yes. 18 Q. That flight log shows you on multiple 19 (Thereupon, marked as Plaintiff 19 flights, does it not? 20 Exhibit 5.) 20 A. It shows me not on that flight. It shows 21 BY MR. SCAROLA: 21 me on a number of flights, but not on that flight. 22 Q. Do you see that the name of the woman in 22 MR. SCOTT: What's the date of the 23 the photographs I have handed you is Tatiana 23 flights? 24 Kovylina, K-O-V-Y-L-I-N-A, a Victoria Secrets model? 24 THE WITNESS: The date of that flight 25 The photographs, sir, look at the 25 is -- looks like November 20th, 2005, more www.phippsreporting.com (888)811-3408 6 (Pages 197 to 200) 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 201 than three years after Virginia Roberts left for -- BY MR. SCAROLA: Q. Mr. Dershowitz -- MR. SCOTT: You're cutting the witness off. MR. SCAROLA: He's not answering my question, Tom. MR. SCOTT: Well -- MR. SCAROLA: I want to know whether the last name is spelled the same or it isn't spelled the same on the flight log marked as an exhibit and on the photographs. That's a very direct question. It calls for a very direct yes or no response. And this witness has demonstrated a clear refusal to respond directly to direct questions, which will result, when we resume this deposition, in our requesting that the Court appoint a special master so that this deposition doesn't take two weeks to complete. MR. SCOTT: You know, Mr. Scarola, that's a nice speech and I appreciate it. MR. SCAROLA: Thank you. MR. SCOTT: I don't agree with your 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 203 1 BY MR. SCAROLA: 2 Q. Is the last name on the photograph spelled 3 exactly the same way as the last name on the flight 4 log? 5 A. If you're talking about a flight log that 6 I was not on that flight, the answer is yes. 7 Q. All right. Thank you very much, sir. 8 Now, that flight log also shows you flying 9 repeatedly in the company of a woman named Tatiana, correct? A. I've only seen one reference to Tatiana on November 17. If you want to show me any other references, I'd be happy to look at them. Q. All right, si•. Thank you. Let's go back to the — MR. SCOTT: Are we done with this exhibit? MR. SCAROLA: We are done with the exhibit. MR. SCOTT: Okay. Then let's collect the exhibits so that we don't have a big -- then we'll turn them over to the court reporter to keep safekeeping. There you go, young lady, don't lose those, don't get them wet. And we'll proceed. 202 204 1 characterization. And if you recall, months 2 ago I suggested a special master for this 3 deposition, for your clients' depositions and 4 for Virginia Roberts' and your response to me 5 was: I'll consider it, I won't pay for it. If 6 your client wants to pay for it -- so basically 7 you blew me off. 8 So, I appreciate you finally come around. 9 And your clients. 10 MR. SCAROLA: Your client's misconduct has 11 clearly convinced me, having now considered it, 12 that it is absolutely necessary. 13 MR. SCOTT: Okay. Now -- 14 BY MR. SCAROLA: 15 Q. So now could 1 get an answer to my 16 question -- 17 MR. SCOTT: Now that we have -- 18 BY MR. SCAROLA: 19 Q. -- whether the last name on the flight log 20 is spelled exactly the same way as the last name in 21 the photographs? 22 MR. SCOTT: Now that all the lawyers' 23 speeches arc done, read the question back and 24 the witness will answcr it. 25 MR. SCAROLA: I will repeat the question. 1 BY MR. SCAROLA: 2 Q. Did you state during the same interview, 3 the CNN Don Lemon interview: "She has said that 4 Bill Clinton was with tier at an orgy on Jeffrey's 5 island"? 6 A. I did state that, yes. 7 Q. Was that statement intended as fact, 8 opinion, or was it intended as rhetorical hyperbole? 9 MR. SCOTT: Do you understand the 10 question? 11 THE WITNESS: Yes, I do. 12 A. It was a statement based on what I 13 believed were the facts at the time I said them. 14 Various newspapers and blogs had placed 15 Bill Clinton on, quote, "orgy island" on -- in the 16 presence of Jeffrey Epstein when there were orgies. 17 And at the time I made that statement, I had a 18 belief that she had accused Bill Clinton of 19 participating or being -- as being a part of or an 20 observer or -- or a witness or a participant in 21 orgies on what was called Jeffrey Epstein's orgy 22 island. That was my state of belief, honest belief 23 at the time I made that statement. 24 BY MR. SCAROLA: 25 Q. Yes, sir. And what I want to know is what www.phippsreporting.com (888)811-3408 7 (Pages 201 to 204) 205 207 1 the source of that honest belief was? Identify any 1 Clinton on orgy island, things of that kind. I 2 source that attributed to Virginia Roberts the 2 would be happy to provide them for you. I don't 3 statement that Bill Clinton was with her at an orgy 3 have them on the top of my head. 4 on Jeffrey's island. 4 Q. There's a big difference between saying 5 A. We can provide you about, I think, 20 5 that Bill Clinton was on Jeffrey's island and saying 6 newspaper articles and blogs which certainly raise 6 that Bill Clinton was at an orgy on Jeffrey's 7 the implication that Bill Clinton had improperly 7 island, isn't there? 8 participated in sexual activities on the island 8 MR. SCOTT: Objection -- 9 either as an observer or as a participant. The 9 BY MR. SCAROLA: 10 issue was raised on Sean Hannity's program. The 10 Q. Do you recognize a distinction between 11 headlines in various British media had suggested 11 those statements? 12 that. 12 MR. SCOTT: Form. 13 Its my belief that Virginia Roberts 13 A. I don't think that distinction was clearly 14 intended to convey that impression when she was 14 drawn by the media. 15 trying to sell her story to various media, which she 15 BY MR. SCAROLA: 16 successfully sold her story to in Britain, that she 16 Q. I'm asking whether you recognize the 17 wanted to keep that open as a possibility. 17 distinction? 18 And then when I firmly declared, based on 18 A. Oh, I -- I certainly recognize a 19 my research, that Bill Clinton had almost certainly 19 distinction. 20 never been on that island, she then made a firm 20 Q. Oh, so -- 21 statement that she -- which was a -- which was a 21 A. Let me finish. I certainly recognize a 22 perjurious statement, a firm perjurious statement 22 distinction between Bill Clinton being on the 23 saying that although Bill Clinton had been with her 23 island, which I believe she perjuriously put in her 24 on the island and had had dinner with her, the 24 affidavit, and Bill Clinton participating actively 25 perjurious statement was that Bill Clinton had been 25 in an orgy. I also think its a continuum. 206 208 1 on the island with her. 1 And there is the possibility, which I 2 The lie was that she described in great 2 don't personally believe to be true, that he was on 3 detail a dinner with Bill Clinton and two underaged 3 the island. There was the possibility, which I 4 Russian women who were offered to Bill Clinton for 4 don't believe to be true, that he was on the island 5 sex but that Bill Clinton turned down. 5 when orgies were taking place. There was the 6 So she then put in her affidavit that 6 possibility that he was on the island and observed 7 although -- perjuriously, although she had seen Bill 7 an orgy, and there was the possibility that he was 8 Clinton on that island, she then stated that she had 8 on the island and participated in an orgy. 9 not had sex with Bill Clinton. To my knowledge, 9 Newspapers picked up those stories. I'll 10 that was -- to my knowledge at least, that was the 10 give you an example of a newspaper that actually 11 first time she stated that -- that she not had sex 11 said that that she had placed or that I was on the 12 with Bill Clinton. She had certainly implied, or at 12 island and -- that I participated in an orgy along 13 least some of the media had inferred from her 13 with Stephen Hawkings [sic], the famous physicist 14 statements that she may very well have observed Bill 14 from Cambridge University, that was a newspaper 15 Clinton in a sexually compromising position. 15 published in the Virgin Islands, which falsely 16 So, when 1 made that statement to Don 16 claimed that I was at an orgy with Stephen Hawkings. 17 Lemon, I had a firm belief, based on reading 17 So, many newspapers were suggesting, 18 newspaper accounts and blogs, that it was true. 18 implying, and I inferred from reading those 19 Q. Can you identify a single newspaper that 19 newspapers that that's what she had said to the 20 attributed to Virginia Roberts the statement that 20 media. 21 Bill Clinton was with her at an orgy on Jeffrey's 21 If I was wrong about that based on 22 island? 22 subsequent information, I apologize. But I 23 A. I think there -- I don't have them in my 23 certainly, at the time I said it, believed it and 24 head right now. But I do recall reading headlines 24 made the statement in good faith in the belief that 25 that talked about things like, sex slave places 25 it was an honest statement. www.phippsreporting.com (888) 811-3408 8 (Pages 205 to 208) 209 211 1 Q. Okay. So you now are withdrawing the 1 Your client is doing everything he can to avoid 2 statement that you made that Virginia Roberts said 2 giving direct answers to these questions. 3 that Bill Clinton was with her at an orgy on 3 I would appreciate it if you would take a 4 Jeffrey's island; that was wrong? 4 break, counsel your client that the speeches 5 A. I don't know whether she ever said that. 5 are not helpful to anyone, and especially not 6 I would not repeat that statement and have not 6 helpful to him. 7 repeated that statement based on her denial. As 7 MR. SCOTT: If you want to take a break, 8 soon as she denied it, I never again made that 8 I'll take a break and I will advise my client 9 statement and would not again make that statement. 9 whatever I feel is appropriate, not what you 10 Q. You — 10 instruct me to do. 11 A. But I did reiterate the fact that she 11 MR. SCAROLA: Okay. Well, if you think it 12 committed perjury when she said she was on the 12 might help at all in the progress of this 13 14 15 16 17 18 19 20 21 22 23 24 25 island with Bill Clinton. MR. SCAROLA: Move to strike the nonresponsive -- A. That was the perjurious statement. MR. SCAROLA: Move to strike the nonresponsive portions of the answer. BY MR. SCAROLA: Q. You have made a reference during that same CNN interview to this woman, referring to Virginia Roberts, having a criminal record? A. That's right . Q. Okay. What -- what is a criminal record? A. Well, the way I used the term is that she 13 14 15 16 17 18 19 20 21 22 23 24 25 deposition, then I do want to take a break. If you don't think taking a break would be helpful, Idon't want to take a break. MR. SCOTT: Do you want to take a break or not? THE WITNESS: I'm going to leave it to your judgment. I'm happy to proceed -- MR. SCOTT: Okay. I'll be glad to take a break. MR. SCAROLA: Thank you. MR. SCOTT: I can't say -- MR. SCAROLA: Five minutes. MR. SCOTT: -- it will help you or 210 212 1 committed a crime and legal -- some kind of 1 anything but -- 2 proceedings resulted from her committing a crime. 2 MR. SCAROLA: 1 can understand that you 3 The crime she committed was stealing money from a 3 don't -- you don't have that control, but if 4 restaurant that she worked at while she was also 4 there's any reasonable -- 5 working for Jeffrey Epstein. And it was my 5 MR. SCOTT: You know, Counsel -- 6 information that there was a criminal record of her 6 MR. SCAROLA: -- prospect that it might 7 theft. 7 help, let's give it a try. 8 Q. How old was she at the time this alleged 8 MR. SCOTT: You know, I really don't 9 offense occurred? 9 appreciate the comments about my abilities as 10 A. I don't know. But old enough to be held 10 an attorney, like I don't have that control and 11 criminally responsible in the State of Florida, to 11 things of nature. It really is -- 12 my knowledge. To my knowledge, 1-- I recall a case 12 MR. SCAROLA: 1 don't have the control 13 where a 14-year-old boy was sentenced as an adult 13 either. 14 for -- 14 MR. SCOTT: It's not -- 15 MR. SCAROLA: Mr. Scott -- 15 MR. SCAROLA: I'm not trying to disparage 16 A. -- a serious -- 16 you at all in any respect. I'm just suggesting 17 MR. SCAROLA: -- did my question ask 17 that -- 18 anything about a 14-year-old boy? 18 MR. SCOTT: Okay. 19 A. You asked if -- 19 MR. SCAROLA: -- there is reason to doubt 20 MR. SCAROLA: Do we really need to listen 20 that it will do any good. But I want to give 21 to this? 21 it a try. 22 MR. SCOTT: You're asking questions, my 22 MR. SCOTT: Okay. Fine. Thank you. 23 client is providing his response. 23 MR. SCAROLA: Thank you. 24 MR. SCAROLA: No, your client is not 24 VIDEOGRAPHER: Going off the record. The 25 responding. Your client is filibustering. 25 time is approximately 9:49 a.m. www.phippsreporting.com (888)811-3408 9 (Pages 209 to 212) 213 215 1 (Recess was held from 9:49 a.m. until 10:01 a.m.) 1 Q. That would certainly have been prior to 2 VIDEOGRAPHER: Going back on the record. 2 February 23rd of 2015, correct? 3 The time is approximately 10:01 a.m. 3 A. Yes. 4 MR. SCOTT: If you've finished your bagel, 4 MR. SCOTT: Are you going back to the 5 were ready to proceed, I think. 5 exhibit now with the newspapers and -- 6 MR. SCAROLA: I think we are. I was 6 MR. SCAROLA: Not yet. 7 actually ready to proceed a little bit earlier, 7 MR. SCOTT: Okay. 8 but we'll proceed now. 8 BY MR. SCAROLA: 9 BY MR. SCAROLA: 9 Q. Having reviewed the available airplane 10 Q. Mr. Dershowitz, do you agree with the 10 flight logs, you are aware that Bill Clinton flew on 11 basic concept that one is presumed to be innocent 11 at least 15 occasions with Jeffrey Epstein on his 12 until proven guilty? 12 private plane, correct? 13 A. Yes. 13 A. Yes. 14 Q. Has Virginia Roberts ever been proven to 14 Q. Have you ever attempted to get flight log 15 be guilty of any crime at any time, anywhere, at any 15 information with regard to Former President 16 age? 16 Clinton's other private airplane travel? 17 A. I don't know the answer to that question, 17 A. No. 18 but I do know that she was brought into the legal 18 Q. Never made a public records request — 19 system for stealing money from her employer and I 19 A. Yes. 20 think it's fair to characterize that as her having a 20 Q. — under the Freedom of Information Act 21 criminal record, yeah. 21 with regard to those records? 22 Q. To the extent that anyone might interpret 22 A. Well, we have made a Freedom of 23 your comment that Virginia Roberts was ever 23 Information request. My -- my attomey in New York, 24 convicted of a crime, they would be drawing a false 24 Louis Freeh, the former head of the FBI, has made a 25 conclusion as far as you know, correct? 25 FOIA request for all information that would 214 216 1 A. As far as I know, I don't know of her 1 conclusively prove that Bill Clinton was never on 2 having convicted of any crime. But I do know that 2 Jeffrey Epstein's island, yes. 3 she was proceeded against for having stolen money. 3 Q. And you were denied those records, 4 And I don't think she contested that. I don't think 4 correct? 5 there's any dispute about the fact that she stole 5 A. No, no, no. 6 money and engaged in other crimes as well. 6 Q. Oh, you got them? 7 Q. When did you find out about this alleged 7 MR. SCOTT: Well, wait a minute. Let's 8 crime? 8 take it slow. Ask a question. 9 A. As soon as the false allegation against me 9 A. As any lawyer knows, FOIA requests take a 10 was made public, I got call after call after call 10 long, long period of time. So they were neither 11 from people telling me about Virginia Roberts, about 11 denied nor were they given to us. They are very 12 your 22 clients. The calls just kept coming in 12 much in process. 13 because there was such outrage at this false 3.3 BY MR. SCAROLA: 14 allegation being directed against me. 14 Q. When was -- 15 MR. SCAROLA: Move to strike the 15 A. While we're talking about -- may I 16 unresponsive portion of the answer. 16 complete -- I want to amend one answer I gave 17 BY MR. SCAROLA: 17 previously. 18 Q. You found out as soon as the CVRA 18 While were talking about the plane logs, 19 complaint was -- the CVRA allegations referencing 19 I must say that during the recess, my wife Googled 20 you were filed; is that correct? 20 Tatiana and found out that she was, in fact, 24 21 A. I didn't say that. I said as soon as they 21 years old in 1995, at the time she flew on that 22 were made public and as soon as the newspapers 22 airplane. So that my characterization of her as 23 carried these false stories, I received phone calls 23 about 25 years old is absolutely correct. 24 and I teamed about -- I learned about her encounter 24 And the implication that you sought to 25 with the criminal justice system. 25 draw by showing me those pictures was not only www.phippsreporting.com (888)811-3408 10 (Pages 213 to 216) 217 219 1 demonstrably false, but you could have easily 1 she has a history of lying, knowing that she is 2 discovered that the implication you were drawing was 2 easily suggestible, and they basically pressured 3 demonstrably false by simply taking one second and 3 her, according to my sources, into including me when 4 Googling her name as my wife did. 4 she didn't want to include me, because by including 5 BY MR. SCAROLA: 5 me, they could make a claim, false as it was, could 6 Q. And so at 25 years old, she wasn't a young 6 make a false claim that a person who negotiated the 7 woman? 7 NPA was also criminally involved with her. 8 A. She was not the kind of woman that I was 8 They also lied -- lied unethically and 9 describing as underage. She was a mature, serious, 9 unprofessionally by saying that I negotiated that 10 I think I said in my public statements a model. I 10 provision of the NPA, which gave me, myself, any 11 wasn't aware at the time that see was working for 11 kind of immunity from prosecution had I had improper 12 Victoria's Secrets, but Google demonstrates that. 12 sex with Virginia Roberts, which, of course, I did 13 And I described her exactly, in exactly the right 13 not. And that was one of the bases on which I was 14 terms, a serious person. 14 certain that they had engaged in unprofessional, 15 I always saw her dressed when I saw her -- 15 disbarrable and unethical conduct by including that 16 I saw her maybe on two or three occasions, dressed 16 provision, as well as including a provision that 17 appropriately. She was a serious adult worker and I 17 Prince Andrew was included because he, Prince 18 think you insult and demean her when you suggest 18 Andrew, pressured a United States attorney to try to 19 that anything other than that she was a serious 19 get a good deal for Jeffrey Epstein. 20 adult when she flew on that airplane. 20 That is so laughable. How any lawyer 21 Q. You were asked on the occasion of that 21 could put that in a pleading, it doesn't pass even 22 same Don Lemon CNN interview what possible motive 22 the minimal giggle test. And I'm embarrassed for 23 the attorneys, Brad Edwards and Paul Cassell, could 23 Professor Cassell that he would have signed his name 24 have had to have identified you in the pleading that 24 to a pleading that alleges that Prince Andrew would 25 was filed in the Crime Victim's Rights Act case. 25 pressure the United States attorney for the Southern 218 220 1 Do you remember that? 1 District of Florida into giving Jeffrey Epstein a 2 A. That's right, yes. 2 good deal. 3 Q. And your response was, quote -- 3 MR. SCAROLA: Move to strike the 4 MR. SCOTT: Here's your transcript if you 4 unresponsive portions of the answer. And 5 need to refer to it. 5 obviously the break didn't do any good. 6 BY MR. SCAROLA: 6 MR. SCOTT: Let's proceed. 7 Q. — "They want to be able to challenge the 7 MR. SCAROLA: We're going to. 8 plea agreement and I was one of the lawyers who 8 BY MR. SCAROLA: 9 organized the plea agreement. I got the very good 9 Q. You stated, quote: "If they," referring 10 deal for Jeffrey Epstein." 10 to Bradley Edwards and Paul Cassell, "could find a 11 Did you make that response? 11 lawyer who helped draft the agreement" -- 12 A. Yes. 12 A. Right. 13 Q. So, you recognized as of January 5, 2015, 13 Q. -- "who also was a criminal having sex, 14 that the reason why the statements were filed in the 14 wow, that could help them blow up the agreement." 15 Crime Victim's Rights Act case was because the Crime 15 Did you make that statement on -- 16 Victim's Rights Act case had, as an objective, 16 A. Yes. I just repeated it now, yes, under 17 setting aside the plea agreement that you had 17 oath, yes. 18 negotiated for Jeffrey Epstein, correct? 18 Q. Did you state the following in that same 19 MR. SCOTT: Objection, form. Go ahead if 19 interview: "So they," referring to Bradley Edwards, 20 you can answer it. 20 Paul Cassell and Virginia Roberts, "sat (town 21 A. There were multiple motives. One of the 21 together, the three of them, these two sleazy, 22 motives was crassly financial. They were trying to 22 unprofessional disbarrable lawyers" -- 23 line their pockets with money. But as I also said, 23 A. Uh-huh, uh-huh. 24 and I said this over and over again, they profiled 24 Q. -- "they said" -- 25 me. They sat down with their client, knowing that 25 MR. SCOTT: Let him ask the question. www.phippsreporting.com (888)811-3408 11 (Pages 217 to 220) 221 223 1 1 who made transcripts of them. 2 BY MR. SCAROLA: 2 Q. Did you turn them over to opposing 3 Q. -- "who would fit into this description? 3 counsel -- 4 They and the woman got together and contrived and 4 MR. SCOTT: The transcripts -- 5 made this up." 5 BY MR. SCAROLA: 6 Did you make that statement on national 6 Q. -- in the course of discovery? 7 television? 7 MR. SCOTT: The transcripts we consider to 8 A. Yes, and I just repeated it under oath. I 8 be work product. If you make a request to 9 believe that to be the case. 1 think that's exactly 9 produce, we'll provide them. 10 what happened. And I think that my source has 10 MR. SIMPSON: Just for completeness, they 3.1 corroborated that. 11 were also after your discovery request. 12 By the way, can I add at this point -- I 12 MR. SCOTT: Request to produce, we'll 13 don't mean to distract you, but I think the record 13 consider providing them. 14 would be more complete if I indicated that I did get 14 BY MR. SCAROLA: 15 a phone call last night from Michael, who told me 15 Q. Is there an entry in any privilege log 16 that he had received numerous phone calls and texts 16 that identifies these allegedly privileged work 17 from Virginia Roberts trying to persuade her not to 17 product documents? 18 talk to me or cooperate with me and offering the 18 MR. SIMPSON: We will -- the lawyers will 19 help of a lawyer. 19 address the document production issues. But 20 And I also -- although you didn't ask the 20 two things, Mr. Scarola, first, they postdate 21 question, Mr. Scarola, I think for completeness and 21 your request and you have said several times 22 fullness, I do want to say that you asked me whether 22 there's no duty to supplement. And second, 23 24 25 or not I knew about what could be taped and what couldn't be taped. I did tape record some of what Virginia Roberts [ sic.] told me, with her 23 24 25 they're work product. MR. SCAROLA: Well, sir, if they postdated a full and complete production, which we are 222 224 1 permission, and I have those tape recordings. 1 now told they do not, then you wouldn't be 2 Q. Well, you're getting a little bit 2 obliged to supplement the production that had 3 overexcited, Mr. Dershowitz, because you never tape 3 already been completed. But it is not the date 4 recorded anything that Virginia Roberts told you. 4 of the request that matters, it is the date of 5 A. Did I say Virginia Roberts? 5 the production that matters. 6 Q. You misspoke. 6 And what we're now being told is there are 7 A. I misspoke. You wouldn't know that. But, 7 allegedly highly relevant transcripts of a 8 in fact, let me be clear. 8 telephone conversation that occurred months ago 9 I tape recorded, with her permission, 9 when the last production that we received, 10 Rebecca's statements to me about what Virginia 10 which we are told still is not complete, 11 Roberts had told her. And I just want to make sure 11 occurred approximately two weeks ago. 12 that for completeness, even though you didn't ask 12 So, there's no privilege log entry. 13 the question yesterday, that's part of the record. 13 There's no production of these documents. And 14 Q. Well, I actually did ask the question and 14 there is clearly a very significant discovery 15 my recollection is that you said you didn't even 15 violation if, in fact, such documents exist. 16 think about tape recording anything -- 16 MR. SIMPSON: I'm not going to debate it 17 MR. SCOTT: No, that's not accurate. You 17 here, Mr. Scarola, but your assertions are not 18 never asked that. 18 accurate. 19 BY MR. SCAROLA: 19 MR. SCAROLA: All right. There also was a 20 Q. But can you tell us, please, did you turn 20 subpoena duces tecum that was responded to 21 over those tape recordings in the discovery that you 21 tomorrow -- I'm sorry, yesterday. Can you tell 22 were required to make in this case? 22 us whether the documents that are now being 23 A. The discovery -- these events occurred 23 described are included in response to the 24 after April of 2015. And I certainly tamed over 24 subpoena duces tecum on the flash drive that 25 the recordings and the -- recordings to my lawyers, 25 you provided to us? www.phippsreporting.com (888)811-3408 12 (Pages 221 to 224) 225 227 1 MR. SIMPSON: The flash drive is the same 1 A. I know what you know because I'm a logical 2 as the document production. 2 person and I know that Virginia -- I know that 3 MR. SCAROLA: So the answer is no, they're 3 Virginia Roberts repeatedly called this -- this 4 not there; is that correct? 4 woman and her husband, repeatedly text her, and 5 MR. SIMPSON: Correct. 5 knows her name. And you and Virginia Roberts' 6 MR. SCAROLA: Okay. And what's the 6 lawyers are operating in privity here. You're 7 explanation for that? 7 whispering to each other, you're passing notes. You 8 MR. SIMPSON: I'm not going to debate this 8 are part of a joint legal team. 9 on the record with you, Mr. Scarola. 9 And if you want to know her name, all you 10 MR. SCAROLA: All right. Thank you. 10 have to do is ask Sigrid McCawley and she'll tell 11 BY MR. SCAROLA: 11 you her name. Pm sure you know her name. And if 12 Q. Which conversation with Rebecca did you 12 you don't know her name, it's because you haven't 13 tape record? 13 asked. 1.4 A. I tape recorded a conversation with her 14 Q. Okay. Well, I'm asking you — 15 permission where she told me that she was pressured, 15 A. Pm not going to tell you -- 16 she didn't -- where Rebecca told me that Virginia 16 Q. -- and I'm telling you I don't know her 17 was pressured and that she didn't want to name me 17 name. 18 but she was pressured to name me, that she had never 18 A. Okay. 19 previously named me. 19 Q. Okay? As an officer of the court, I am 20 By the way, I told this to Virginia 20 telling you I don't know her name. And you are 21. Roberts' lawyer. 21 under oath and obliged to answer material and 22 MS. McCAWLEY: Objection. To the extent 22 relevant questions, and I want to know what her name 23 you're going to reveal anything that was said 23 is. 24 during settlement discussions, I'm moving for 24 MR. SCOTT: I will provide you the name 25 sanctions, period. We're not doing this today. 25 off the record, but Pm not -- if he feels its 226 228 1 Please instruct the witness. 1 inappropriate because of what -- he's not going 2 MR. SCOTT: Avoid that. We discussed that 2 to answer the question. I will provide you the 3 yesterday. 3 name. 4 THE WITNESS: That's fine. 4 BY MR. SCAROLA: 5 BY MR. SCAROLA: 5 Q. Okay. She has still insisted that her 6 Q. What was the date of the phone 6 name not be revealed; is that correct? 7 conversation that you tape recorded? 7 A. Her husband asked me to do whatever I 8 A. 1 don't recall. But it's on the 8 could not to put her name in front of the press, in 9 transcript. 9 front of the media. 10 Q. And does it also reflect that the 10 Q. There's no — there's no one from the 11 recording is being made with her permission? 11 press here today. 12 A. Uh-huh. 12 MR. SCOTT: Yeah, but they're going to 13 Q. That's a yes? 13 order the transcript and they're going to see, 14 A. Yes. Yes, that's a yes. 14 so that's the same thing. And I've already 15 Q. What is Rebecca's last name? 15 told -- 16 A. You know Rebecca's last name and she has 16 A. You will have her name in five -- 17 asked me not to reveal it to the press. And so I 17 MR. SCOTT: I will give you her name -- 18 would like to comply with that -- with that request. 18 A. -- minutes. All you have to do is -- 19 For purposes of discovery, you know her name, you 19 MR. SCOTT: And, Jack, if you want to take 20 know her husband's name, you know her phone number, 20 a break now -- 21 and she has been called. But there's no reason for 21 THE REPORTER: I-Iold on. Hold on, 22 me to reveal it so that it appears in the press that 22 gentlemen. You can't talk at the same time. 23 she would be called by newspapers and by the media. 23 MR. SCOTT: Let me do the talking at this 24 Q. Mr. Dershowitz, how do you know what I 24 point. 25 know if you haven't told me? 25 THE WITNESS: Please. www.phippsreporting.com (888)811-3408 13 (Pages 225 to 228) 229 231 1 BY MR. SCAROLA: 1 more accomplished. 2 Q. What's her phone number? 2 MR. SCAROLA: Let's take it easy and slow. 3 A. Her phone number is known to Virginia 3 BY MR. SCAROLA: 4 Roberts and presumably -- and to Virginia Roberts' 4 Q. How did Michael tell you he knew these 5 lawyers because she received phone calls from 5 people he didn't speak to were lawyers? 6 Virginia Roberts' lawyers. So all you have to do is 6 A. He told me that he received a phone call 7 ask your colleagues and you will get that. But I 7 from Virginia Roberts. That then his wife received 8 think there's no reason to put her phone number in 8 numerous phone calls and texts from her all through 9 the public record so that she will receive massive 9 the night. And that they received phone calls as 10 amounts of phone calls from the media. Seems to me 10 well from her lawyers. One of them had a Miami 11 that any -- that a judge would try to prevent that 11 phone number. 12 from happening. I would hope so. And I'm -- you 12 And I don't know how he knew they were 13 can get the name and the phone number from my lawyer 13 lawyers. But that's what he conveyed to me. All I 14 as long as it's -- 14 can tell you is what he told me, and I'm telling you 15 MR. SCOTT: We'll provide that. 15 that. 16 A. -- done off the record, not so that the 16 Q. Did you ask him for the phone number? 17 media can see it. 17 A. I did not. 18 BY MR. SCAROLA: 18 Q. Why not? 19 Q. You just swore under oath that lawyers 19 A. l didn't think it was appropriate or 20 contacted Rebecca; is that correct? 20 necessary. 21 A. I swore under oath that I was told by 21 Q. What was inappropriate about asking for 22 Michael that lawyers contacted Rebecca, yes. 22 the phone number to find out who was attempting to 23 Q. Which lawyers? 23 contact this witness? 24 A. I don't know the answer to that. 24 A. I was not particularly interested in that. 25 Q. Did you ask him? 25 All I was interested in was getting the truth from 230 232 1 A. I did. 1 the witness and trying to prevent her from having a 2 Q. And he said, I — 2 media barrage that would interfere with their lives. 3 A. He wouldn't answer that. 3 Q. You told Don Lemon on CNN that the flight 4 Q. -- refuse to tell you? 4 manifests would exonerate you, prove that you were 5 A. No, he didn't know the answer to that 5 not in the same place at the same time as Virginia 6 either because he didn't return the phone calls. He 6 Roberts, correct? 7 said -- 7 A. That's right. And that's true. 8 Q. How did he know they were lawyers if he 8 Q. You also told Don Lemon, quote, "I am 9 didn't return the phone calls? 9 waiving the statute of limitations or any immunity." 10 A. Because they left messages, presumably. 10 A. That's right. 11 Q. With names that identified them as 11 Q. You were then subsequently asked to waive 12 lawyers; is that right? 12 the statute of limitations and refused to, correct? 13 MR. SCOTT: You're arguing with the 13 A. Absolutely false. 14 witness -- 14 I waived the statute of limitations by 15 A. I don't know the answer to that. 15 submitting a statement under oath. Had I not 16 MR. SCAROLA: No, I'm trying to find out 16 submitted that statement under oath, the statute of 17 whether there's any logical basis for the 17 limitations would have been long gone. But by 18 stories that the witness is telling. 18 stating under oath categorically that I did not have 19 MR. SCOTT: And I think he's trying to 19 any sexual contact with her, I waived the statute of 20 explain it. And I think he's trying to do it 20 limitations and could be prosecuted for the next 21 in an easy, slow format. So, you know -- 21 five or so years for perjury in what I said was 22 MR. SCAROLA: Okay. Well, let's take it 22 false. 23 easy -- 23 But what I said was true, so I have no 24 MR. SCOTT: -- if we all take -- if we all 24 fear of any statute of limitations or any criminal 25 take the tension down here, maybe we can get 25 prosecution. So, yes, I did waive the statute of www.phippsreporting.com (888)811-3408 14 (Pages 229 to 232) 233 235 1 limitations, yes. 1 Q. And by dropping the dime on the media when 2 Q. You refused to waive the statute of 2 they filed it, you intended to convey the message 3 limitations with regard to sexual crimes, correct? 3 that Paul Cassell and Bradley Edwards intentionally 4 A. I didn't refuse anything. I didn't feel I 4 generated the focus of press attention on that 5 had any obligation to respond to you. And I did 5 filing; is that correct? 6 not. 6 A. Absolutely. Absolutely without any doubt. 7 Q. So, you were asked to waive the statute of 7 Why else would they have brought Prince Andrew into 8 limitations with regard to your sexual crimes and 8 this filing? Prince Andrew had no connection to the 9 you refused to respond? 9 NPA, no relevance at all. But they knew that by 10 A. I was asked by you, utterly 10 including Prince Andrew, this would drag my name 11 inappropriately, and what I had said -- and if you 11 into every single newspaper and media outlet in the 12 check what I said, I said if any reasonable 12 world. 13 prosecutor were to investigate the case and find 13 It was outrageous for them to do this. 14 that there was any basis, I would then waive the 14 Particularly because they did so little, if any, 15 statute of limitations. I didn't waive the statute 15 investigation, which will, of course, be determined 16 of limitations because you, a lawyer, for two 16 when they're deposed. And -- and -- 17 unprofessional, unethical lawyers asked me to do so, 17 Q. Well, you've already made that 18 what obligation do I have to respond to you? 18 determination, right? 19 Q. Well, you have no obligation to respond to 19 MR. SCOTT: Wait. 20 me at all, Mr. Dershowitz, except now while you arc 20 A. I'm convinced that -- that they did little 21 under oath and I am asking you questions and I would 21 or no investigation. They never even bothered to 22 greatly appreciate you responding to the questions 22 call me. That would have been -- 23 that I ask. 23 BY MR. SCAROLA: 24 MR. SCOTT: I think he's trying. 24 Q. We'll get to that in just a moment. 25 25 A. -- a simple basic thing. 234 236 1 BY MR. SCAROLA: 1 Q. But right now — right now could you 2 Q. You made the further statement in that 2 please tell us was there anything other than your 3 same interview, "They dropped the diine on the media 3 inferring that they must have contacted the media to 4 when they filed it," referring to the CVRA 4 support your conclusion that either Paul Cassell or 5 pleading -- 5 Brad Edwards did, in fact, alert the media at the 6 A. Right. 6 time of the filing of this pleading? 7 Q. — in which were you named? 7 A. Yes. 8 A. Right. 8 Q. What else besides your inference? 9 Q. What is the basis for that statement? 9 A. When the BBC came to see me, the BBC 10 A. The basis for that statement was that the 10 reporter showed me an e-mail from Paul Cassell, 11 filing was done virtually on the eve of New Year's 11 which urged him, the BBC reporter, to ask me a 12 on a day that the press was completely dead. And 12 series of questions. So I knew that Paul Cassell 13 nonetheless, immediately upon the filing, I got a 13 was in touch with the British media and was trying 14 barrage of phone calls that led me to conclude, and 14 to stimulate and initiate embarrassing questions to 15 led many, many, many other lawyers who called me to 15 be asked of me. 16 conclude that obviously somebody tipped somebody off 16 And when I spoke to a number of reporters, 17 that they didn't just happen to file -- to find in 17 they certainly -- obviously reporters have 18 the middle of an obscure pleading which didn't even 18 privilege, but they said things that certainly led 19 have a heading that indicated that I was involved or 19 me to infer that they had been in close touch with 20 anybody else was involved. 20 your clients or representatives on their behalf. 21 So, I'm certain that a dime was dropped to 21 Q. What was the date of the e-mail — 22 somebody saying, by the way, you want an interesting 22 A. I don't know. 23 story, there's -- Prince Andrew of Great Britain and 23 Q. -- that you referenced in that response? 24 Alan Dershowitz have been accused of sexual 24 A. I don't know. 25 misconduct. I still believe that. 25 Q. Well -- www.phippsreporting.com (888)811-3408 15 (Pages 233 to 236) 237 239 1 A. It was whenever -- I'm not sure I ever saw 1 MR. SCOTT: I think he's answered that 2 the date. He just quickly showed me the e-mail and 2 twice. 3 1 quickly looked at it. 3 A. It came after. It came after. 4 Q. The e-mail that you are referencing, in 4 BY MR. SCAROLA: 5 fact, occurred after you had begun all of your media 5 Q. Thank you, sir. On January 5, you made 6 appearances with respect to this filing -- 6 another CNN Live appearance in an interview with 7 A. Let me be very clear about -- 7 Hala Gorani. Do you recall that? 8 Q. — didn't it, sir? 8 A. I do not recall the name of the person -- 9 A. Let me be very clear about my media 9 Q. Take a look at the transcript, if you 10 appearances so that I -- 10 would, please, page 15. 11 Q. How about just answering the questions? 11 MR. SCOTT: Take a moment to review the 12 A. Pm trying to answer the question. All of 12 transcript, please, Mr. Dershowitz. 13 my media appearances -- 13 THE WITNESS: Page 15. 14 Q. The question is: Did it occur before or 14 MR. SCOTT: Take your time to review that. 15 after your media -- your media appearances? That 15 A. Yeah, that name is not familiar to me but, 16 doesn't call for a speech — 16 of course, I remember doing an interview, yes. 17 A. It came -- 17 BY MR. SCAROLA: 18 Q. — it calls for before or after. 18 Q. All right, sir. And during the course of 19 A. It came before some and after some. It 19 that interview, you said: "There are flight 20 came, for example, before my appearance on the BBC 20 manifests. They will prove I was never on any 21 because they showed me the e-mail before they 21 private airplane with any young woman." Correct? 22 interviewed me for the BBC. So some occurred -- it 22 A. Yes. 23 occurred before some and it occurred after some. 23 Q. Go to page 17, if you would. 24 Q. All right. So it is your assertion that 24 A. Uh-huh. 25 this single e-mail that you have made reference to 25 Q. At line 4 of transcript of that same 238 240 1 where Paul Cassell says "asks Dershowitz these 1 interview, you said: "She made the whole thing up 2 questions" occurred before your -- your media 2 out of whole cloth. I can prove it by flight 3 appearances and after your media appearances; is 3 records. I can prove it by my travel records." 4 that correct? 4 Did you make those statements? 5 MR. SCOTT: Objection, form, argumentative 5 A. Yes, and they're absolutely true. 6 and repetitious. 6 Q. Okay. I am going to hand you every flight 7 A. It occurred before some of the media 7 record that has been produced in connection with 8 appearances, and it occurred after some of media 8 this litigation. 9 appearances, yes. 9 A. Uh-huh. 10 BY MR. SCAROLA: 10 MR. SCAROLA: Could we mark that as the 11 Q. Did it occur before your first media 11 next composite exhibit, please? 12 appearances? 12 (Thereupon, marked as Plaintiff 13 A. My first media appearances came as the 13 Exhibit 6.) 14 result of phone calls I received from -- 14 MR. SCAROLA: And mark this as the next 15 Q. That's nonresponsive to my question, sir. 15 composite exhibit, which will be 7. 16 A. -- newspapers -- 16 MR. SCOTT: These are all the flight 17 Q. I didn't ask you anything about what your 17 manuals? 18 first media appearances occurred -- 18 MR. SCAROLA: As far as I know. 19 A. Yes, you did. 19 MR. SCOTT: Okay. 20 Q. -- as a result of. I asked you -- 20 MR. SCAROLA: They're the only ones that 21 MR. SCOTT: Let him ask his question. 21 have been produced in discovery. If there are 22 BY MR. SCAROLA: 22 more, I'm going to be interested to hear about 23 Q. -- whether the c-mail that you claimed to 23 it. 24 have seen was sent before or after your first media 24 (Thereupon, marked as Plaintiff 25 appearance? 25 Exhibit 7.) www.phippsreporting.com (888)811-3408 16 (Pages 237 to 240) 241 243 1 (Discussion off the record.) 1 exonerated by any flight logs that were innocent -- 2 THE WITNESS: What's Number 6 then? I'm 2 that were complete and accurate, of course. 3 confused, there were two. 3 Q. So you made the public statements 4 BY MR. SCAROLA: 4 repeatedly that the flight logs would exonerate you 5 Q. Have you ever seen Exhibit Number 6 5 without having examined the flight logs to see 6 before? 6 whether they were accurate or not; is that correct? 7 A. Exhibit Number 6. I don't believe so. It 7 A. Well, I knew -- I knew that -- 8 doesn't look familiar to me. 8 Q. Did you say those things without having 9 Q. No? 9 examined the flight logs? 10 A. It does not look familiar to me. 10 A. I said those things having looked at some 11 Q. Did you bother at any time to review 11 of the flight logs at some point in time. But I 12 discovery that was produced by Bradley Edwards and 12 knew for sure that the flight logs would exonerate 13 Paul Cassell responding to requests for information 13 me because I knew I was never on Jeffrey Epstein's 14 that supported the allegations of Virginia Roberts? 14 plane with Virginia Roberts or any other young 15 A. I'm not clear what you're asking. 15 underage girls. So, I knew that to an absolute 16 Q. I want to know — 16 certainty. And I was prepared to say it. I'm 17 A. In which case? In which case are we 17 prepared to say it again under oath here. 18 talking? 18 And if your clients had simply called me 19 Q. This case. This case. 19 and told me they were planning to do this, we 20 A. Right. 20 wouldn't be here today because I could have shown 21 Q. Did you ever bother to review the 21 them in one day that it was impossible for me to 22 discovery produced in this case responding to 22 have had sex with their client on the island, in the 23 requests for all of the information that supported 23 ranch, on the airplanes, in Palni Beach. And they 24 their belief in the truthfulness of Virginia 24 would have, if they were decent and ethical lawyers, 25 Roberts' allegations against you? 25 not filed that. 242 244 1 A. I don't know if I reviewed everything. 1 And there are cases, legal ethics cases 2 But I certainly, in preparation for this deposition, 2 that say that lawyers are obliged to make that phone 3 reviewed some of the documents that were produced in 3 call. Lawyers are obliged to check if it's easy to 4 discovery. But I can't say I reviewed them all. 4 check. Lawyers are obliged to, particularly when 5 Q. Well, having placed such substantial 5 they're making extremely heinous charges against a 6 emphasis during the course of your public 6 fellow lawyer, do very, very, detailed 7 appearances on the flight logs exonerating you, it 7 investigations. And they didn't do that in this 8 would certainly seem logical that one of the things 8 case. 9 that you would want to review would be all of the 9 Q. I will represent to you that I have handed 10 available -- all of the available flight logs, 10 you all of the available flight logs produced in the 11 right? 11 discovery of this case. Could you show me, please, 12 A. No. 12 which of these flight logs exonerates you? 13 MR. SCOTT: Objection, argumentative. 13 A. The absence of evidence is evidence of 14 A. No. 14 absence. None of the flight logs have me on an 15 BY MR. SCAROLA: 15 airplane with Virginia Roberts. None of the flight 16 Q. No? 16 logs have me on an airplane during the relevant 17 A. No. Look, I knew I was never on a plane 17 period of time when Virginia Roberts claims that she 18 with any underage females under any circumstances. 18 had sex with me in the presence of another woman. 19 I knew that. I knew that as certainly as I'm 19 So, the flight logs clearly exonerate ine. 20 sitting here today. So, I knew absolutely that if 20 There's absolutely no doubt about that. 21 the manifests and the flight logs were accurate, 21 Q. Well, the flight logs, in fact, confirm 22 they would, of course, exonerate me because I am 22 that you were in the same places at the saine time as 23 totally, completely, unequivocally innocent of any 23 Virginia Roberts, don't they? 24 of these charges. 24 A. No, they do not. 25 So of course I knew that I would be 25 Q. Do you -- do you deny that they confirm www.phippsreporting.com (888)811-3408 17 (Pages 241 to 244) 245 247 1 that you were in the same place at the same time — 1 I would be very anxious to see any timeframes when 2 A. First -- 2 Virginia Roberts claims she was with me on the 3 Q. — as Virginia Roberts? 3 island, claims she was with me on -- at the ranch, 4 MR. SCOTT: Let him ask the question. 4 claims she was with me on the airplanes, claims she 5 THE WITNESS: Okay. 5 was with one in Palin Beach. And they will all 6 MR. SCOTT: Then you answer the question. 6 conclusively -- 7 And Mr. Scarola will try to, you know, keep the 7 Q. You forgot -- 8 emotion down, I'm sure, so we can get through 8 A. -- prove -- 9 this with less acrimony between everybody here. 9 Q. — New York. Didn't you mean New York 10 A. Your client has adamantly refused, as well 10 also? 11 as the lawyer -- 11 A. No, I did not mean New York -- 12 BY MR. SCAROLA: 12 Q. Oh, okay. 13 Q. No, sir, that's nonresponsive to my 13 A. -- because New York is very different. I 14 question. 14 was, in fact, in New York for large periods of time. 15 MR. SCOTT: Wait a minute. 15 I was not, in fact, on the island during the 16 BY MR. SCAROLA: 16 relevant timeframe. I was not in the airplane in 17 Q. My question is: Do you deny that the 17 the relevant timeframe. I was not in Jeffrey 18 flight logs corroborate that you were in the same 18 Epstein's Palm Beach home in the relevant timeframe. 19 place at the same time as Virginia Roberts? 19 And I was once in the ranch but under circumstances 20 A. So the question includes the word "time" 20 where it would have been absolutely impossible for 21 and, therefore, I must answer in this way. Your 21 me to have had any contact with her. 22 client -- 22 So if you will give me the timeframe, I 23 Q. How to build a watch? 23 will be happy to answer your question. But without 24 MR. SCOTT: Wait a minute, you're cutting 24 timeframes, that question is an absolutely 25 him off. He's been trying to answer the 25 inappropriate question. And the answer to it is no. 246 248 1 question. 1 Q. Well, Mr. Dershowitz, it might be 2 A. Your client has adamantly refused, and her 2 inappropriate if you had not repeatedly made the 3 lawyers and your clients have refused to give me any 3 public statements that the flight logs exonerate 4 timeframes, any timeframes when your client claims 4 you. 5 that she had improper -- falsely claims, 5 A. They do. 6 perjuriously claims that she had improper sexual 6 Q. So what I am attempting to find out is the 7 encounters with me. 7 basis upon which you can contend that the flight 8 So how can you possibly ask me a question 8 logs exonerate you if you are now telling us you 9 that includes the word "timcframcs" when your client 9 don't even know when it is that you are alleged to 10 has refused -- when Virginia Roberts has refused to 10 have been in the same place at the same time as 11 give any timcframcs? How can it be possible that 11 Virginia Roberts. 12 the flight logs show me being in the same time and 12 A. Okay. 13 same place with her when she has refused to describe 13 Q. So how -- how can you make both those 14 any of the times that she claims to have been in 14 statements? 15 thosc places? 15 A. Very simple, because I know the timeframe 16 So the answer to the question is 16 that Virginia Roberts, A, knew Jeffrey Epstein. And 17 categorically no, sir. 17 during that timeframe, I can conclusively prove that 18 BY MR. SCAROLA: 18 I was never on Jeffrey Epstein's island where she 19 Q. What is the question that you are 19 claimed to have sex with me. That the only time I 20 answering no to? 20 was at the ranch was with my wife, with the Ashe 21 A. Whether or not the timeframe shows that I 21 family, with my daughter, the house was under 22 could have been in the same place at the same time 22 construction, we just simply stayed outside the 23 as your client. Absolutely not. Because we don't 23 house and looked around. That the manifests show I 24 know what times your client -- now, if you know 24 was never on Jeffrey Epstein's plane during that 25 that, you should have produced them in discovery and 25 period of time. And the manifests show that I never www.phippsreporting.com (888)811-3408 18 (Pages 245 to 248) 249 251 1 flew down to Palm Beach during that relevant period 1 Q. Which of the manifests are you referring 2 of time. 2 to when you claim what you have claimed about the 3 So 1 have a timeframe not that was 3 manifests, Exhibit Number 6 or Exhibit Number 7? 4 provided by your client but that was provided by the 4 A. I can only tell you that I have reviewed 5 externalities of the case. And that timeframe 5 the manifests and they show, to me, that I was never 6 coupled with the manifests clearly exonerate me 6 on Jeffrey Epstein's airplane during the relevant 7 without any doubt. 7 period of time. That's all I can tell you now. 8 Q. 1 want to make sure that I understood what 8 I'm not in a position where I look at all 9 you just said. "I never flew down to Palm Beach 9 these documents now. If you point me to any 10 during the relevant timeframe"? 10 particular trip that shows that I was on Jeffrey 11 A. I never flew down and stayed at Jeffrey's 11 Epstein's plane, I would be happy to respond to 12 house in Palm Beach during that relevant period of 12 that. 13 time. 13 Q. There are two separate collections of 14 Q. Okay. So you want to withdraw the 14 documents purporting to be flight manifests for 15 statement that you never flew down to Palm Beach — 15 Jeffrey Epstein's plane. When you made the public 16 MR. SCOTT: Objection. 16 statements that you made regarding the flight logs 17 BY MR. SCAROLA: 17 or manifests exonerating you, were you referring to 18 Q. — during that relevant period of time -- 18 Exhibit Number 6 or Exhibit Number 7? 19 A. Let me be -- 19 A. I have no recollection as to which 20 MR. SCOTT: Objection. 20 particular exhibits, which are fonned for purposes 21 BY MR. SCAROLA: 21 of the legal case, I had reviewed. I know I had 22 Q. — and what you want to say is, "I never 22 reviewed the manifests. Not only had I reviewed the 23 flew down to Palm Beach and stayed at Jeffrey 23 manifests, but others reviewed the manifests and 24 Epstein's house during that timeframe period," 24 have conclusively told me that their review of the 25 correct? 25 manifests shows that I was right. 250 252 1 MR. SCOTT: Objection, argumentative -- 1 Q. Who else — 2 A. Let me be -- 2 MR. SCOTT: Avoid any attorney-client 3 MR. SCOTT: -- mischaracterization. 3 communications either with Ms. -- you know, 4 A. Let me be clear. A, I never flew down on 4 with your current lawyers, please. 5 Jeffrey Epstein's plane during the relevant period 5 THE WITNESS: Okay. 6 of time. 6 BY MR. SCAROLA: 7 BY MR. SCAROLA: 7 Q. Who told you that they had reviewed the 8 Q. Flew down to where? 8 manifests and they confirmed your position? 9 A. To Palm Beach or anywhere else. I was 9 MR. SCOTT: Objection, work product. 10 never on Jeffrey Epstein's plane, according to the 10 MR. SCAROLA: Well, you know, Mr. Scott, 11 flight manifests and according to my own records, 11 he can't have it both ways. He can't insert 12 during the relevant period of time. 12 into the record the gratuitous statements that 13 I have independent records of my travel 13 he inserts into the record regarding others 14 which demonstrate that I was not in Jeffrey 14 having corroborated his inaccurate testimony, 15 Epstein's house during the relevant period of time. 15 and then refuse to tell us who those othcrs 16 And -- but the -- talking about the manifests, the 16 arc. It constitutes a waiver of whatever 17 manifests conclusively prove that I was never on the 17 privilege might exist. 18 airplane during the relevant period of time. 18 MR. SCOTT: He can -- he can tell who they 19 So I don't know how you can claim that the 19 arc. I'm just saying he can't go into 20 manifests show that I was with Virginia Roberts 20 communications with them. 21 during the relevant period of time. They do not do 21 MR. SCAROLA: Well, he's already said what 22 that. And if you would testify under oath to that, 22 the communication was. The communication was 23 I think you could be subject to pretty -- pretty 23 these manifests prove your position. 24 scathing cross examination. So your statement is 24 MR. SCOTT: And he's answered that because 25 categorically false, sir. 25 based on his review of them, Mr. Scarola. www.phippsreporting.com (888)811-3408 19 (Pages 249 to 252) 253 255 1 BY MR. SCAROLA: 1 MR. INDYKE: Objection. This is Darren. 2 Q. Who told you that the manifests confirm 2 Anything that relates to your conversations 3 the accuracy of your public statements? 3 with Jeffrey -- 4 MR. SCOTT: If it involves lawyer-client 4 THE REPORTER: He's going to have to speak 5 privilege, don't answer it. 5 up. 6 THE WITNESS: Okay. 6 MR. SCOTT: You're going to have to speak 7 BY MR. SCAROLA: 7 up a little bit more, Counsel. 8 Q. You're refusing to answer? 8 MR. INDYKE: Objection. This is Darren 9 A. No, I would like -- 9 Indyke. Anything that Alan might have to say 10 MR. SCOTT: Instruct you not to answer. 10 to that, to the extent they are covered under 11 A. -- to answer. But I've been instructed 11 conversations with Jeffrey Epstein, privileged 12 not to answer. I would like to answer. 12 under attorney-client privileges as well as 13 You've made a statement -- 13 common interest privileges. 14 MR. SCOTT: There's no question pending. 14 MR. SCOTT: Do you understand? 15 THE WITNESS: But he made a statement -- 15 THE WITNESS: I do. 16 MR. SCOTT: But there's no question 16 BY MR. SCAROLA: 17 pending, sir. 17 Q. To which your response was: "Sure, sure, 18 BY MR. SCAROLA: 18 certainly I have been his lawyer and I did speak to 19 Q. What does it mean to make something up out 19 him about it. I wanted to make sure that his memory 20 of whole cloth? 20 and mine coordinated about when I was at his island. 21 A. It means that Virginia Roberts and your 21 He was able to check. I was able to check. 1 22 clients -- 22 checked with my friends who went with me." 23 Q. No, sir, I haven't asked you anything 23 Did you make that answer to that question? 24 about Virginia Roberts. I haven't asked you 24 A. Yes. 25 anything about my clients. 25 Q. Disclosing the contents of your 254 256 1 1 want to know what the words "making 1 communication with Jeffrey Epstein, correct? 2 something up out of whole cloth" mean. 2 A. I disclosed that I had spoken to him to 3 A. l said thosc words in the context of 3 find out whether he had any records of when I was on 4 Virginia Roberts. 4 his island. And, yes. 5 MR. SCOTT: That's -- that's fine. Go 5 MR. INDYKE: Again, this is Darren Indyke. 6 ahead. 6 Jeffrey does not waive any attorney-client 7 BY MR. SCAROLA: 7 privileges here. 8 Q. What do the words mean? 8 BY MR. SCAROLA: 9 A. That there was absolutely no basis for 9 Q. Well, the reason why you were able to 10 Virginia Roberts' claim that she had any sexual 10 answer that question and discuss with the press what 11 contact with me. That the story was entirely false. 11 Jeffrey Epstein was telling you was because you 12 I don't know where the metaphor derives about whole 12 weren't his lawyer at that time, right? 13 cloth, but certainly that's the common 13 A. No, I was his lawyer at that time. Pm 14 understanding. And I repeat under oath that 14 still his lawyer. 15 Virginia Roberts made up the entire story about 15 Q. Oh, what were you representing him on 16 having sexual contact with me out of whole cloth. 16 then -- 17 Q. During the course of the same interview 17 A. The ongoing -- 18 that we have been referencing with Hata Gorani — 18 Q. — that is, on January' -- 19 for the record, that's H-A-L-A, G-0-R-A-N-1. 19 MR. SCOTT: Whoa. 20 A. What page? 20 BY MR. SCAROLA: 21 Q. Page 19. 21. Q. -- on January 5,2015? 22 You were asked: "I'm wondering, have you 22 A. The ongoing -- 23 spoken to Jeffrey Epstein about this since these 23 MR. INDYKE: My objection stands. 24 allegations came out in this suit in the United 24 MR. SCOTT: You can answer what you were 25 States? Have conversations happened there?" 25 representing him on, I think. www.phippsreporting.com (888)811-3408 20 (Pages 253 to 256) 257 259 1 A. The ongoing issues -- 1 Q. — the last 10 years? 2 MR. SCOTT: But nothing about 2 A. I would say 15 -- 3 communications. 3 Q. Last 15 -- 4 A. Right. The ongoing issues relating to the 4 A. -- years. 5 NPA, which continue to this day. And I regard 5 Q. -- how about the last 20 years? 6 myself as his lawyer basically on all those -- all 6 A. I have -- I don't think so. 7 those issues. 7 Q. Okay. 8 BY MR. SCAROLA: 8 A. As I stand here today, I have no 9 Q. So, when the pleadings were filed in the 9 recollection of ever being in New Mexico except to 10 Crime Victims Rights Act regarding your conduct in 10 visit the Ashes in January of 2000. 11 relationship to Virginia Roberts and Jeffrey 11 I'm 77 years old. I've lived a long life. 12 Epstein, you were and still are his lawyer in the 12 It is certainly possible that at some earlier point 13 Crime Victim's Rights Act case; is that correct? 13 in my life -- I mean, I've been in most of the 14 A. I certainly am bound by lawyer-client 14 states. But I have no recollection of ever being in 15 privilege and communications, yes. 15 New Mexico. 16 Q. Okay. You go on to say in that same 16 And I can tell you unequivocally the only 17 interview: "Only once in my life have I been in 17 time I was ever at Jeffrey Epstein's ranch was that 18 that area," referring to New Mexico. 18 one time with my wife with the Ashes, with my 19 A. Yes. 19 daughter. And we only stayed there for an hour and 20 Q. "Only once in my life did my travel 20 the house was not completed. It was under 21 records show I was in New Mexico." 21 construction. And I certainly did not have any 22 A. Uh-huh. 22 sexual encounter or any encounter with Virginia 23 Q. Is that an accurate statement? 23 Roberts during that visit. 24 25 A. To the best of my knowledge. I have no recollection of being in New Mexico other than 24 2 5 MR. SCAROLA: Move to strike the unresponsive portions of the answer. 258 260 1 during that visit to the Ashes, which was not during 1 MR. SCOTT: We don't agree on that point, 2 the -- the narrower timeframe. 2 so let's go ahead. 3 The narrower timeframe, remember, is 3 MR. SCAROLA: It's of any help, I can 4 Virginia Roberts meets Jeffrey Epstein in the late 4 agree that you don't agree to any of my 5 summer, the summer just before she's turning 16, of 5 objections. 6 1999. She says she didn't commence having sexual 6 MR. SCOTT: No, that's not true. I mean, 7 activities with any of Epstein's friends until nine 7 I'm trying to work with you, sir. 8 months later. That would put it in March or April 8 I have to tell you, this -- this is 9 of 2000. This visit occurred in January of 2000. 9 obviously one of the most acrimonious 10 It's the only time I recall having been in 10 depositions I've sat through in my 40 plus 11 New Mexico. 11 years because of the personalities involved 12 Q. Okay. I want to be sure now. You're not 12 here and because of the personal issues. And 13 just saying that you were only at Jeffrey Epstein's 13 it's quite difficult for everybody in this 14 ranch in New Mexico once; you are confirming your 14 room. 15 statement on national television that you have only 15 MR. SCAROLA: I agree. 16 been in New Mexico one time? 16 MR. SCOTT: And all I'm saying, and my 17 A. My recollection right now is that I was 17 client is -- who's 77, is trying to defend his 18 only there once. I have no -- no other recollection 18 life. And I understand you're trying to 19 of -- it's conceivable when I was a very young man, 19 vigorously -- and you're a great lawyer -- 20 I could have been there. But I have no recollection 2 0 represent your clients. And it's -- this is 21 of having been there. It certainly -- certainly I 21 not the typical deposition. And we're trying 22 haven't been there recently. And during the 22 our very best, both of us. 23 relevant time period, I know I haven't been there. 23 MR. SCAROLA: Thank you. And you're 24 Q. "Recently" means — 24 right, you and 1 do agree on something. 25 A. Fifteen -- 25 MR. SCOTT: As you said yesterday, more www.phippsreporting.com (888)811-3408 21 (Pages 257 to 260) 261 263 1 often than we usually say. 1 A. Where? Where? Can you point to that? 2 MR. SCAROLA: Yes, sir. 2 BY MR. SCAROLA: 3 BY MR. SCAROLA: 3 Q. Well, I'm asking you, sir, based upon your 4 Q. In interviews on January 4 and January 5, 4 superb memory whether you remember having said - 5 you claim to have completed the necessary work to 5 MR. SCOTT: No, we're going to do -- 6 identify documents exonerating you within an hour 6 BY MR. SCAROLA: 7 after learning of the accusations that were made, 7 Q. -- on Jan -- 8 correct? 8 MR. SCOTT: He's going to take a moment to 9 A. I don't remember having said that. But 9 review the transcript and -- and that's -- any 10 11 within a minute, I had clear knowledge that every document in the world would exonerate me because I 3.0 11 witness is entitled to do that. So why don't we take a break, hell review transcript and 12 knew for absolute certainty that every aspect of her 12 we'll come back? We've been going an hour -- 13 allegation was totally false. That's why I 13 MR. SCAROLA: Because I haven't asked him 14 challenged the other side to produce videos, to 14 a question about the transcript. 15 produce photographs. I knew that there could be no 15 MR. SCOTT': You've asked -- 16 evidence inculpating me because I knew I was 16 MR. SCAROLA: I'm asking him a question 17 innocent. So I knew that all of my records would 17 about his recollection. 18 prove that. 18 MR. SCOTT: Based upon what he said in the 19 Facts are facts. And I just wasn't in any 19 transcript. 20 contact or any sexual contact with Virginia Roberts, 20 MR. SCAROLA: No, I'm asking him whether 21 and I knew with absolute certainty that the facts 21 he has a recollection of having made public 22 would completely exonerate me. And if your clients 22 statements that within an hour, he had gathered 23 had just called me, at the courtesy of simply 23 the documents that proved his innocence, 24 calling me, I would have been able to point them to 24 exonerated him. 25 Professor Michael Porter of the Harvard Business 25 262 264 1 School. I would have been able to -- to alert them 1 BY MR. SCAROLA: 2 to the Ashes. I would have been able to tell them 2 Q. Do you remember having made those 3 that I keep little black books which have all of my 3 statements? 4 travel information. Although they were in the 4 A. I do not, but its true. I was able to 5 basement of Martha's Vineyard, I would have been 5 gather documents literally within an hour. I was 6 happy to go up and get them. 6 able to call Tom Ashe. He was able to access his 7 If they had just simply called me, I would 7 daughter's journal notes that I had taught his 8 have been able to persuade them without any doubt 8 daughter's class. I was able to find out where my 9 that these allegations were false. If they needed 9 other documents were. 10 any persuading because I believe, as I sit here 10 My wife made some phone calls immediately. 11 today, that they knew they were false at the time -- 11 We called the Canyon Ranch. We called and 12 certainly should have known, but I believe knew they 12 determined the dates of when I was in Florida. We 13 were false at the time that they leveled them. 13 called the Porters. We very, very, very quickly 14 Q. My question related to your gathering 14 were able to gather information that conclusively 15 documents that you claim exonerated you -- 15 would prove that she was lying about me having had 16 A. That's right. 16 sex with me on the island, in the ranch, 17 Q. -- and your public statements were that 17 particularly those two I was able to prove 18 within an hour, you -- 18 conclusively. 19 A. Can you -- 19 And when a woman lies deliberately and 20 Q. -- had gathered the documents -- 20 willfully about two instances where she in great 21 MR. SCOTT: Listen to the question. 21 detail claims she had had sex, I think you can be 22 BY MR. SCAROLA: 22 clear that you should discount any other -- any 23 Q. -- you had gathered the documents that 23 other false allegations. 24 exonerated you, correct? 24 MR. SCOTT: We've been going for an hour. 25 MR. SCOTT: You can refer. 25 Let's take a break for a few minutes. Then we www.phippsreporting.com (888)811-3408 22 (Pages 261 to 264) 265 267 3. have another hour. 1 and then explained it but now you have it 2 MR. SCAROLA: I'm almost ready to take a 2 directly answered. So we're -- we're at a 3 break. 3 brcak point. 4 MR. SCOTT: Okay. 4 MR. SCAROLA: Thank you. 5 MR. SCAROLA: Could you read back the last 5 VIDEOGRAPHER: Going off the record. The 6 question, please? 6 time is approximately 11:01 a.m. 7 First of all, I move to strike the 7 (Recess was held from 11:01 a.m. until 11:23 a.m.) 8 =responsive speech. 8 VIDEOGRAPHER: Going back on the record. 9 And now read back the last question, if 9 The time is approximately 11:23 a.m. 10 you would. 10 BY MR. SCAROLA: 11 (Requested portion read back as follows:) 11 Q. When did you last travel from outside the 12 THE REPORTER: "Do you remember having 12 State of Florida to arrive in Florida? 13 made those statements?" 13 A. The day before yesterday, 1 think. 14 Do you want me to read prior to that? 14 Q. And where did you travel from? 15 MR. SCAROLA: No, that's fine. That's the 15 A. New York. 16 question that I asked. 16 Q. When were you last in Boston, in the 17 BY MR. SCAROLA: 17 Boston area? 18 Q. Is the answer yes? 18 A. About two weeks ago. 19 A. I don't remember specifically. I do 19 Q. So, if anyone had represented that you 20 generally remember having said that your clients 20 were going to be traveling from Boston to Florida 21 could have easily discovered conclusive proof that 21 this past weekend, that would have been a 22 Virginia Roberts was lying about me and that I 22 misrepresentation; is that correct? 23 had -- because I knew, of course, it was false -- 23 A. I have no idea what you're talking about. 24 MR. SCAROLA: Tom -- 24 Q. Well, I'm talking about your personal 25 A. -- been able to uncover such proof. 25 travels. If anyone had represented that you were 266 268 1 MR. SCAROLA: That has nothing to do with 1 going to travel from Boston to Florida and canceled 2 the question I asked -- 2 travel arrangements from Boston to Florida this past 3 MR. SCOTT: Let's take -- let's take a 3 weekend, that would have been a misrepresentation, 4 break like I suggested and we'll come back and 4 correct? 5 then you can ask your question and -- okay? 5 A. I have no idea what you're talking about. 6 MR. SCAROLA: Well, while the question is 6 I'm sorry. 7 pending, I would like an answer to the question 7 Q. Well, what is it that you don't understand 8 before we break. 8 about that question? Either you were in — 9 MR. SCOTT: Did you answer the question? 9 A. The basis -- 10 THE WITNESS: I thought I did. 10 Q. — Boston and were planning on traveling 11 A. But what -- could you repeat the question? 11 from Boston to Florida this past weekend or the last 12 I'll try to answer it in a yes or no if I can. 12 time you were in Boston was two weeks ago, so you 13 BY MR. SCAROLA: 13 couldn't have been planning — 14 Q. Did you make the statement that within an 14 A. I -- 15 hour of learning of these allegations, you had 15 Q. — on traveling from Boston to Florida. 16 gathered documents that completely exonerated you? 16 A. I was actually in Boston -- now that I 17 A. I don't recall those specific words -- 17 checked any calendar, I was actually in Boston -- 18 Q. Thank you, sir. 18 here, 1 have -- aha. It says -- and my calendar 19 A. -- but the truth -- 19 says I was in Boston. Then it says leave for 2 0 MR. SCOTT: That's it, and I think he 20 Florida, but that got changed. Yes, that got 21 indicated that before. 21 changed, right. 22 MR. SCAROLA: That would be very helpful 22 Q. May I see that, please? 23 if we said that and then we stopped and we can 23 A. No, this is my personal calendar. 24 take a break. 24 Q. Yes, I'm sorry, but if you refer to 25 MR. SCOTT: He previously had said that 25 anything to refresh your recollection -- www.phippsreporting.com (888)811-3408 23 (Pages 265 to 268) 269 271 1 A. I have -- 1 Cassell had done in the course of their 2 Q. -- during the course of the deposition,1 2 investigation of the credibility of the accusations 3 am permitted to examine it. 3 made by Virginia Roberts against you? 4 A. I have lawyer-client privileged 4 A. Well, first and foremost, the most 5 information in here, so I can't give it to you. I 5 important piece of infonnation I had was my firm and 6 can give it to you in a redacted form. I have a 6 complete knowledge and memory that I had never had 7 quote from David Boies in here, which I'm sure -- 7 any sexual contact with Virginia Roberts ever under 8 MR. SCOTT: Don't — 8 any circumstances or any other underage girls. So I 9 A. — nobody is going to want to sec -- 9 knew -- 10 MR. SCOTT: We'll make a copy and give it 10 Q. The question I'm asking, sir -- 11 to you. 11 A. -- this information -- 12 MR. SCAROLA: Thank you. Would you hand 12 Q. -- focuses on what knowledge you had 13 it to your counsel, please? 13 regarding what Bradley Edwards and Paul Cassell did 14 MR. SCOTT: On that note, hold on to that. 14 in the course of their investigation of the 15 TFIE WITNESS: But I need that back. 15 credibility of the accusations against you made by 16 MR. SCOTT: Of course. Don't worry. 16 Virginia Roberts? 17 MR. SIMPSON: Hold on to it. 17 A. That was the first and most important bit 18 MR. SCOTT: That's why I gave it to him 18 of infonnation; namely, that I couldn't have done it 19 because I'd lose it. 19 and didn't do it. So I knew for sure that they 20 BY MR. SCAROLA: 20 could not have conducted any kind of valid 21 Q. Before January 21,2015, what information 21 investigation. 22 did you have regarding what Bradley Edwards and Paul 22 Second, I knew from -- that they also had 23 Cassell had gathered in the course of investigating 23 a letter from Mr. Scarola that said that multiple 24 the accuracy of Virginia Roberts' accusations 24 witnesses had placed me in the presence of Jeffrey 25 against you? 25 Epstein and underage girls and I knew that 270 272 1 A. Well, first, I knew that anything they 1 Mr. Scarola's letter was a patent lie. And they had 2 gathered -- 2 access to that letter and that information. 3 MR. INDYKE: Objection to the extent that 3 I also knew they were relying on 4 requires -- 4 depositions of two house people of Jeffrey Epstein. 5 MR. SCOTT: Whoa. 5 And I've read these two depositions. And I'm sure I 6 MS. McCAWLEY: -- you to disclose anything 6 knew of other -- other information as well. 7 you gave -- 7 I knew that they had stated -- I knew that 8 THE COURT REPORTER: I can't hear. 8 they had stated publicly, or you had stated publicly 9 I'm sorry, Mr. Indyke, can you repeat your 9 on their behalf as a witness, that you had stated 10 objection? 10 publicly that you had tried to depose me on these -- 11 MR. SCOTT: Can you say that a little 11 on this subject. I knew that that was a blatant lie 12 louder? 12 and unethical conduct because nobody ever tricd to 13 MR. INDYKE: Darren Indyke. I would 13 depose me on this subject. 14 object to the extent that your answer would 14 I had never been accused, nor did I have 15 disclose anything you -- you obtained or 15 any knowledge that anybody had ever falsely accused 16 learned or any knowledge you gained in 16 me of having any sexual encounters. And I had a 17 connection with your representation of Jeffrey 17 great deal of infonnation about the paucity or 18 Epstein. 18 absence of any legitimate investigation. And I also 19 MR. SCOTT: Do you understand that 19 knew that they hadn't called me, they hadn't tried 20 instruction? 20 to call me, there was no record of an attempt to 21 THE WITNESS: I do, yes. 21 call me or c-mail me. My c-mail is available on my 22 Could you repeat the question? 22 wcbsite. My phone number is available on my 23 BY MR. SCAROLA: 23 website. 24 Q. Yes, sir. I want to know what information 24 The most basic thing they could have done, 28 you had regarding what Bradley Edwards and Paul 25 as courts have said, when you're accusing somebody www.phippsreporting.com (888)811-3408 24 (Pages 269 to 272) 273 275 1 of outrageous, horrible, inexcusable misconduct, at 1 your assertion that the testimony of these two 2 least call the person and ask them if they can 2 individuals completely exculpates you. 3 disprove it before you file a -- a statement. Not 3 A. Uh-huh. 4 even asking for a hearing on it, not even basically 4 Q. The following question was asked of -- 5 seeking to prove it, just -- just putting it in a 5 MR. SCOTT: What you arc reading from? 6 pleading as if scrolling on a bathroom stall. 6 MR. SCAROLA: I'm reading from the 7 So, yes, I had -- I had a great basis for 7 deposition transcript. 8 making that kind of statement and I repeat it here 8 BY MR. SCAROLA: 9 today. And we will find out in depositions what 9 Q. The following question was asked of — 10 basis they actually had. And I'm anxiously awaiting 10 MR. SCOTT: The deposition transcript -- II Mr. Cassell's deposition this afternoon. 11 BY MR. SCAROLA: 12 MR. SCAROLA: Move to strike the 12 Q. -- of Mr. Juan — Mr. Juan Alessi and -- 13 non-responsive portion of that answer. 13 MR. SCOTT: Let me object to the -- first 14 Could I have a standing objection to 14 of all, let me object to this format because he 15 unresponsive -- 15 has not been provided a part of the deposition. 16 MR. SCOTT: Sure. 16 You're reading portions from the deposition -- 17 MR. SCAROLA: -- answers? That would be 17 MR. SCAROLA: Yes, I am. 18 helpful. Thank you. I appreciate that. That 18 MR. SCOTT: -- which can be taken out of 19 will save us -- 19 context. He has not had the ability to review 20 MR. SCOTT: Absolutely. No, any time. 20 the deposition. This is improper. 21 MR. SCAROLA: -- save us some time. 21 MR. SCAROLA: Okay. 22 MR. SCOTT: Thank you, sir. 22 MR. SCOTT: Cross-examination. 23 BY MR. SCAROLA: 23 BY MR. SCAROLA: 24 Q. The one portion of what you just said that 24 Q. Do you recall the following questions 25 directly responded to my question was you knew in 25 having been asked of Mr. Alessi and the following 274 276 1 early January of 2015 that Bradley Edwards and Paul 1 answers have been given during the course of this 2 Cassell had the sworn testimony of two -- did you 2 deposition which you contend completely exonerates 3 refer to them as house -- 3 you? 4 A. House people. 4 "Question: Do you have any recollection 5 Q. House staff? 5 of VR, referring to Virginia Roberts, coming to 6 A. /louse staff. 6 the house when Prince Andrew was there? 7 Q. House staff of Jeffrey Epstein's -- 7 "Answer: It could have been, but I'm not 8 A. That's right. 8 sure. 9 Q. — correct? 9 "Question: When Mr. Dershowitz was 10 And those two individuals are Juan Alessi 10 visiting -- 11 and Alfredo Rodriguez, correct? 11 "Answer: Uh-huh. 12 A. That's right. 12 "Question: -- how often did he come? 13 Q. And you, in fact, were aware of the 3.3 "Answer: He came pretty -- pretty often. 14 existence of that testimony from shortly after the 14 I would say at least four or five times a year. 15 time that the testimony was given, weren't you? 15 "Question: And how long would lie stay 16 A. Well, I was certainly aware of it at the 16 typically? 17 time I made these statements. 17 "Answer: Two to three days. 18 Q. Yes, sir. But you also knew as far back 18 "Question: Did he have massages sometimes 19 as 2009, when this sworn testimony was given, that 19 when he was there? 20 you were specifically identified by name in the 20 "Answer: Yes. A massage was like a treat 21 sworn testimony of Jeffrey Epstein's house staff 21 for everybody. If they wanted, we call the 22 members, right? 22 massage, and they get -- excuse me — and they 23 A. I was identified by name in a manner that 23 have a massage. 24 completely exculpated me, yes. 24 "Question: You said that you set up the 25 Q. Okay. Well, let's -- let's take a look at 25 massage tables, and would you also set up the www.phippsreporting.com (888) 811-3408 25 (Pages 273 to 276) 277 279 1 oils and towels? 1 is a third-year student at Harvard, were all there 2 "Answer: Yes, ma'am. 2 with me. That was the only time that I stayed over 3 "Question: And did you ever have occasion 3 more than one night. And I never stayed even one 4 to go upstairs and clean up after the massages? 4 night during the relevant timeframe. 5 "Answer: Yeah, uh-huh. 5 But most importantly, he gives no 6 "Question: Did you ever find any 6 timeframe. And clearly his reference to the sex 7 vibrators in that area? 7 toys is a reference to the part of the house that 1 8 "Answer: Yes. I told him yes. 8 was never permitted in and never entered. 9 "Question: Would you describe for me what 9 Q. What is the question that you think you 10 kinds of vibrators you found? 10 were answering? 11 "Answer: I'm not too familiar with the 11 A. Whether -- 12 names, but they were like big dildos, what they 12 MR. SCOTT: He was explaining to you 13 call the big rubber things like that 13 exactly why he felt that that was 14 (indicating). And I used to go and put my 14 inappropriatc, which is exactly what you asked 15 gloves on and pick them up, put them in the 15 him. 16 sink, rinse it off and put it in Ms. Maxwell — 16 MR. SCAROLA: No, it is not. 17 Ms. Maxwell had in her closet, she had like a 17 MR. SCOTT: Well, it is my recollection, 18 laundry basket. And you put laundry in. She 18 so I don't know -- 19 have full of those toys." 19 MR. SCAROLA: Well, thcn -- 20 Is that testimony that exonerates you, 20 MR. SCOTT: I think he was defending -- 21 Mr. Dershowitz? Is that what you were referring to? 21 MR. SCAROLA: Let me try the same question 22 MR. SCOTT: Let me -- objection to the 22 over again. 23 form, improper cross examination by taking 23 MR. SCOTT: I think he was defending 24 excerpts out of depositions of witnesses. 24 his -- his position. 25 25 THE WITNESS: Right. 278 280 1 BY MR. SCAROLA: 1 BY MR. SCAROLA: 2 Q. Is it your contention that that testimony, 2 Q. The question was: Is that part of the 3 under oath, of your friend, Mr. Epstein's staff 3 time that you claim exonerates you? 4 person, exonerates you? 4 A. Well, I think if you read the whole 5 A. First, a little background. Mr. Alessi 5 testimony, it clearly exonerates me and I think that 6 was fired for theft of material from Mr. Epstein, so 6 part of the testimony in no way inculpates me and no 7 Mr. Alessi was not on a friendly basis with Jeffrey 7 reasonable person reading that could use that as a 8 Epstein. 8 basis for making allegations that I had sexual 9 Second, the description of the dildos and 9 encounters or misconduct with Virginia Roberts. 10 sex toys clearly refers to the area of the house 10 So, when -- if that's the best testimony 11 that I was never in, the area of Ms. Maxwell's room, 11 that your unprofessional clients relied on, then 12 rather than the area of the room that I stayed in. 12 clearly that exonerates me. 13 Third, he gives no timeframe for the 13 Again, the absence of evidence is evidence 14 visits. 14 of absence. And the very idea that this is seen as 15 And, fourth, he certainly didn't in any 15 some basis for concluding that I had sexual 16 way confirm that I was there while Virginia Roberts 16 encounters with -- with Virginia Roberts, why wasn't 17 was there. His answer was simply that l was there 17 he asked did he ever sec ine have a massage by 18 from time to time. He's wrong about that. During 18 Virginia Roberts? Did he ever see me have a sexual 19 the relevant timeframe, I was never in the house. 19 encounter with Virginia Roberts? Did he ever go to 20 And even taking outside the relevant 20 the room I was staying in and find any sex toys? 21 timeframe, the only time I was in the house for more 21 The answers to all those questions, if 22 than one day was when my family, my wife, my son, my 22 truthful, would be no. 23 daughter-in-law, my then probably seven or 23 Q. What was Mr. Alessi's motive against you? 24 eight-year-old granddaughter, who just graduated 24 You've told us he was fired by Jeffrey Epstein, so 25 Harvard, and my probably four-year-old grandson, who 25 he may have had some motive against Mr. Epstein. www.phippsreporting.com (888)811-3408 26 (Pages 277 to 280) 281 283 1 What was his motive against you? 1 A. Yes. 2 A. 1 was Jeffrey Epstein's friend and lawyer 2 Q. A man who would never undertake to advance 3 and, in fact -- well, I can't get into this. But I 3 the cause of a client whom he believed to be 4 can say this, I gave advice -- 4 incredible, right? 5 MR. SCOTT: Be careful about anything 5 A. Yes. And a man who told me and a man 6 involving -- 6 who -- 7 THE WITNESS: Okay. 7 MR. SCOTT: That's it. 8 MR. SCOTT: -- Mr. Epstein, please. 8 A. Okay. And a man who believes I'm 9 A. He could easily have believed that I was 9 innocent. 10 one of the causes of his firing. 10 BY MR. SCAROLA: 11 BY MR. SCAROLA: 11 Q. You know that Bob Josefsberg would never 12 Q. So, he was -- he may have been angry at 12 file charges on behalf of a client alleging that she 13 you because you assisted in getting him fired? 13 was lent out by Jeffrey Epstein for purposes of 14 A. It's -- 14 sexual abuse while she was a minor to academicians 15 MR. SCOTT: Objection, 15 unless he absolutely had confidence that those 16 mischaracterization. 16 statements were true -- 17 A. Its conjecture. It's possible. But in 17 MR. SCOTT: Let me object -- 18 any event, even -- 18 BY MR. SCAROLA: 19 BY MR. SCAROLA: 19 Q. — right? 20 Q. It's conjecture, is that what you were 20 MR. SCOTT: -- that this is completely 21 about to say? 21 irrelevant to the issues in this case. 22 A. I'm saying I have -- I don't know what he 22 Whatever Mr. Josefsberg thinks has nothing to 23 was thinking, but there is a basis for him believing 23 do with this lawsuit. This is all your effort 24 that. But most -- most important, even if you take 24 to try to put Josefsberg into this case to try 25 everything he says as true, which its not, its 25 to give some justification to your position. 282 284 1 exculpatory because it has no suggestion that I ever 1 A. I'll answer that question. 2 had any sexual encounter with Virginia Roberts. 2 BY MR. SCAROLA: 3 And if I were a lawyer reading that -- 3 Q. Thank you. 4 MR. SCOTT: Its okay? 4 A. And I also know Bob Josefsberg and know 5 A. -- I certainly would not base this heinous 5 that he would never maintain a friendship, as he has 6 accusation on that flimsy read. 6 with me, if he believed that I was one of the, 7 BY MR. SCAROLA: 7 quote, academicians -- 8 Q. You know the context in which that 8 Q. Well, how about — 9 deposition was taken, don't you? 9 A. -- with whom -- 10 A. I don't recall it as Pm sitting here 10 Q. -- answering my question -- 11 today. 11 MR. SCOTT: Wait a minute. No, no, no. 12 Q. Do you remember that the lawsuit in which 12 A. You're going to let me finish. 13 that deposition was taken was a lawsuit in which 13 BY MR. SCAROLA: 14 Virginia Roberts was being represented by Bob 14 Q. I know I'm going to go, but I don't have 15 Josefsberg? 15 to like it — 16 A. No. 16 MR. SCOTT: Yeah, but -- 17 Q. You know Bob Josefsberg, don't you? 17 BY MR. SCAROLA: 18 A. We -- we were classmates at law school. 18 Q. — when you're not being responsive to the 19 Q. You know Bob Josefsberg to be an extremely 19 questions that are being asked. 20 ethical, highly professional and extraordinarily 20 MR. SCOTT: Yeah, but you're 21 well-respected lawyer, right? 21 interjecting -- 22 A. Absolutely, yes. 22 BY MR. SCAROLA: 23 Q. Absolutely? 23 Q. And -- 24 A. Yeah. 24 MR. SCOTT: You're interjecting questions 25 Q. A man of impeccable honesty and integrity? 25 that are irrelevant utilizing Bob Josefsberg's www.phippsreporting.com (888)811-3408 27 (Pages 281 to 284) 285 287 1 relationship with him and he has an ability to 1 the people who the FBI had put on the -- the list. 2 justify and explain his position in response -- 2 I just don't know what his responsibility was. 3 MR. SCAROLA: If its responsive to the 3 I can say with confidence that he would 4 question. 4 only act ethically and would, A, not represent -- 5 A. Its responsive. And as far as the 5 not make any false statements the way your clients 6 filibustering is -- 6 made them, and that I wish your clients had the 7 BY MR. SCAROLA: 7 ethics of Bob Josefsberg. 8 Q. Do you remember what the question is? 8 Q. You then agree that if Bob Josefsberg 9 A. -- is concerned, I was here -- 9 advanced the claims that I have described in a 10 Q. Do you remember what the question was? 10 complaint on behalf of a client, he would not have 11 A. Yes. Yes. 11 done so unless he believed those allegations to be 12 Q. What is the question? 12 true, having conducted a fair and reasonable 13 A. The question is -- no, why don't you 13 investigation, correct? 14 repeat the question. 14 MR. SCOTT: Objection, asked and answered 15 Q. Yes, sir. 15 several times. 16 A. So -- 16 A. I don't know the answer to that question 17 Q. You know that Bob Josefsberg would not 17 because I don't know the context in which he made 18 advance allegations on behalf of a client that that 18 these arguments. All do know is that he never 19 client had been lent out by Jeffrey Epstein to 19 would maintain a friendship with me if he believed 20 satisfy the sexual desires of friends of Jeffrey 20 in any way that I was one of the people that she had 21 Epstein, including academicians, unless Bob 21 accused. 22 Josefsberg believed those allegations to be true, 22 BY MR. SCAROLA: 23 right? 23 Q. Did Alfredo Rodriguez, another one of your 24 A. I believe that -- I know that Bob 24 friend's staff persons, have a motive to lie against 25 Josefsberg would never maintain a friendship with 25 you? 286 288 1 me, as he has, if he believed that I was one of 1 A. Alberto Rodriguez -- 2 those academicians. Bob Josefsberg knows that I was 2 Q. No, sir, Alfredo Rodriguez. 3 not one of those academicians, and the inference of 3 A. Alfredo Rodriguez, I never knew him by 4 your question is beneath contempt, sir. 4 name. He was, of course, there out -- well outside 5 Q. Could we try to answer the question now? 5 of the timeframe of the alleged events in this case. 6 A. The answer is that Bob Josefsberg would 6 And so anything that he would be able to testify to 7 never maintain a friendship with me if he believed 7 would bear no relationship whatsoever to the -- the 8 that there was any possibility that I was among the 8 allegations here. 9 academicians who she was accusing of sexual 9 He was criminally prosecuted, to my 10 misconduct. I do not believe that she ever accused 10 memory, for having stolen material and turned it 11 me of sexual misconduct to Bob Josefsberg, to the 11 over to Bradley Edwards is my recollection. And as 12 FBI, to the U.S. attorney, or even, sir, to you and 12 the result of that clearly had a motive to lie. And 13 Bradley Edwards, as she says in 2000, I think, '11. 13 the same with Mr. Alessi, clearly would have a basis 14 I think she made up this story on the eve of the 14 for believing that I may have played a role as 15 filing in 2014. 15 Jeffrey Epstein's lawyer in seeking to do harm to 16 Q. You do agree that Bob Josefsberg would not 16 him. 17 have advanced the claims that he advanced if he did 17 But again, there's nothing in 18 not have confidence that they were true, correct? 18 Mr. Rodriguez's testimony which is in any way 19 A. 1 have no idea what he believed or knew at 19 inculpatory of me. I think he has me sitting and -- 20 the time. I would say this: I know Bob Josefsberg 20 and reading a book and drinking a glass of wine. 21 is an extraordinarily ethical lawyer. Idol* know 21 Q. In the presence of young women? 22 what his responsibilities were in the case. I don't 22 A. No. 23 know whether his responsibilities were to make those 23 Q. No? 24 kinds of judgments or whether his responsibility was 24 A. I don't -- 25 simply to make sure that money was paid to each of 25 Q. Do you -- www.phippsreporting.com (888)811-3408 28 (Pages 285 to 288) 289 291 1 A. -- believe that. 1 that testimony? 2 Q. -- recall the following testimony -- 2 A. Yes. 3 A. It wouldn't be true if he said it. 3 MR. SCOTT: Objection. This is totally 4 Q. Yes, sir. Well, do you recall the 4 improper cross examination of a witness by 5 following testimony having been given by Mr. Alfredo 5 trying to use a deposition. The only purpose 6 Rodriguez in a deposition that was taken on 6 of doing this is to interject this into the 7 August 7, 2009? 7 record, which has no relevance and would not be 8 "Question: Mr. Rodriguez, you stated last 8 admissible at trial. And in any case, he never 9 time that there were guests at the house, 9 actually has my client doing any of the things 10 frequent guests from Harvard. Do you remember 10 that you've accused him of. 11 that testimony? 13. Go ahead, let's go ahead and do it. 12 "Answer: Yes, ma'am. 12 Answer the question. Answer the question. 13 "Question: Was there a lawyer from 13 MR. SCAROLA: He did. 14 Harvard named Alan Dershowitz? 14 A. Yes, I remember that. 15 "Answer: Ycs, ma'am. 15 MR. SCAROLA: He said yes. 16 "Question: And are you familiar with the 16 A. Yes, I remember that, yes. 17 fact that he's a famous author and famous 17 BY MR. SCAROLA: 18 lawyer? 18 Q. And do you know why it was that back in 19 "Answer: Yes, ma'am. 19 19 -- excuse me, back in 2009, August of 2009, four 20 "Question: How often during the six 20 and a half years before you allege that this story 21 months or so that you were there was 21 about you was being made up out of whole cloth, that 22 Mr. Dershowitz there? 22 lawyers representing Jeffrey Epstein's victims, 23 "Answer: Two or three times. 23 including Katherine Ezell, E-Z-E-L-L front Bob 24 "Question: And did you have any knowledge 24 Josefsberg's office, who had filed the complaint 25 of why he was visiting there? 25 alleging that you had -- excuse me, that Virginia 290 292 1 "Answer: No, ma'am. 1 Roberts had been lent out for sexual purposes to 2 "Question: You don't know whether or not 2 academicians, were asking specific questions about 3 he was a lawyer acting as a lawyer or whether 3 you? Do you know why it was in 2009 they were doing 4 he was there as a friend? 4 that? 5 "Answer: 1 believe as a friend. 5 A. l have no idea that it happened. And I 6 "Question: Were there also young ladies 6 imagine that they had a list of every academic that 7 in the house at the time he was there? 7 was in the house. Probably included -- 8 "Answer: Yes, ma'am. 8 MR. SCOTT: I want to object to this whole 9 "Question: And would those have included, 9 procedure because you're taking pieces out of 10 for instance, Sarah Kellen, Nada Marcinkova? 10 the record and not reading other pieces that 11 "Answer: Yes, ma'am. 11 totally absolve my client. For example, 12 "Question: Were there other young ladies 12 there's testimony by him that says -- 13 there when Mr. Dershowitz was there? 13 MR. SCAROLA: Is this an objection? 14 "Answer: Yes, ma'am. 14 MR. SCOTT: Yes, it's a statement into the 15 "Question: Do you have any idea who those 15 record just like you're putting into the 16 young women were? 16 record. There's -- I want to show this to my 17 "Answer: No, ma'am. 3.7 client and refresh his memory as to some other 18 "Question: Were there any of these — 18 testimony by this witness -- 19 excuse me. Were any of these young women that 19 MR. SCAROLA: There's no question pending 20 you have said came to give massages? 20 as to what you can -- as to what you can 21 "Answer: Yes, ma'am." 21 refresh your client's memory. What you are 22 Do you recall that testimony having been 22 doing is coaching him. 23 given -- 23 MR. SCOTT: No, lin not. 24 A. Yes. 24 MR. SCAROLA: Improperly. 25 Q. — and those answers having been given to 25 MR. SCOTT: And you are improperly reading www.phippsreporting.com (888)811-3408 29 (Pages 289 to 292) 293 295 1 excerpts out of a deposition to try to imply 1 Do you remember that testimony having been 2 something when there's other parts that totally 2 given? 3 arc inconsistent with that. And if you're 3 A. I assume that when your clients used the 4 going to do that, then he has the ability under 4 transcript as a basis for their false conclusion 5 our rules to review the entire transcript of 5 that I was guilty, they read the whole transcripts, 6 the deposition and that's what I'm permitting 6 not just the -- 7 him to do, just like when we're in court. 7 BY MR. SCAROLA: 8 MR. SCAROLA: What I am doing, 8 Q. Every word. 9 Mr. Scott -- what I am doing, Mr. Scott -- 9 MR. SCOTT: Don't interrupt him. 10 MR. SCOTT: Have you read that now, sir? 10 BY MR. SCAROLA: 11 MR. SCAROLA: -- is reviewing the evidence 11 Q. You don't need to assume that. I will 12 that was relied upon by Bradley Edwards and by 12 stipulate they read every word. 13 Paul Cassell in corning to the conclusion that 13 MR. SCOTT: Mr. Scarola, he's speaking. 14 the allegations that had been made by Virginia 14 You don't have a right to do this. 15 Roberts were, in fact, credible allegations. 15 A. And if you read every word, you will see 16 MR. SCOTT: And I'm -- 16 that it's totally exculpatory, that I have no idea 17 MR. SCAROLA: Because your own client has 17 whether there were any young women in one part of 18 acknowledged that this is information that was 18 the house when I was in another part of the house. 19 available to both him and to them back in 2009. 19 It's completely consistent with my testimony that I 20 MR. SCOTT: And what I am doing is showing 20 have never seen any underage women. Let's see. 21 him portions of the same deposition that 21 And if you read the whole transcript, 22 totally take a different position from this 22 you'll see, I think: 23 witness from what you have read, so that this 23 "Was Dershowitz ever there when one of the 24 record is a complete record and not a partial 24 woman gave a massage? 25 record with your inference only. And I feel 25 "I don't remember that. 294 296 1 that that's totally appropriate. If we were in 1 "Were you in -- were you in any way 2 a courtroom, a judge would permit him to do it. 2 attempting in your response to imply that 3 So you have your position and I have mine. 3 Mr. Dershowitz had a massage by one of these 4 MR. SWEDER: Can we have the witness read 4 young ladies? 5 that? 5 "I don't know, sir. 6 BY MR. SCAROLA: 6 "You have no knowledge? 7 Q. Do you recall the following testimony 7 "No, sir. 8 having been given in that same deposition? 8 "And you certainly weren't implying that 9 "Question: All right. This is follow-up 9 that occurred; you just have no knowledge, 10 to questioning by Ms. Ezell. Ms. Ezell asked 10 correct? 11 you about Mr. Dershowitz being present in 11 "Answer: I don't know." 12 Mr. Epstein's home, and I think you said -- I 12 And I would hope that your clients would 13 think you said Mr. Epstein and he and 13 be reading the whole thing in context, unlike what 14 Mr. Dershowitz were friends? 14 you've tried to do to try to create a false 15 "Answer: Yes. 15 impression that this testimony in any way exculpates 16 "Question: She also, I think, asked was 16 me. 17 Mr. Dershowitz ever there when one of the young 17 I have to say if this is what they relied 18 women who gave a massage was present in the 18 on, my confirmation of their unethical and 19 home. 19 unprofessional conduct has been strongly 20 "Answer: I don't remember that. 20 corroborated by that and you're helping my case. 21 "Question: That's where l want to clear 21 BY MR. SCAROLA: 22 up. Is it your testimony that Mr. Dershowitz 22 Q. Would it have been reasonable for Bradley 23 was there when any of the women came to 23 Edwards and Paul Cassell to have relied upon the 24 Mr. Epstein's home to give a massage? 24 detailed reports of Palm Beach police department? 25 "Answer: Yes." 25 A. I don't know. I don't know what the Pahn www.phippsreporting.com (888)811-3408 30 (Pages 293 to 296) 297 299 1 Beach police department says. 1 this. 2 Q. You never read those reports? 2 A. Excuse me one second. 3 A. I don't know which reports you're 3 MR. SCOTT: You know, you think this is 4 referring to. 4 funny and I think this man's -- and I think 5 Q. All of the reports about Jeffrey Epstein. 5 this man's -- 6 MR. SCOTT: Asked and answered yesterday 6 MR. SCAROLA: I think its improper for 7 on this whole line. 7 you to be coaching the witness in the middle of 8 A. I probably did not read all the reports on 8 examination. If you think that there's 9 Jeffrey Epstein. I'm sure I've read some of them. 9 something that needs to be brought out, you do 10 I do not recall -- 10 that in cross examination. You don't feed him 11 MR. SCOTT: Be careful about any work -- 11 information that you want him to be reading in 12 attorney-client privilege. 12 the middle of my examination of this witness. 13 THE WITNESS: Right. 13 MR. SCOTT: No. But it's also true that 14 A. I don't remember my name coming up. I was 14 under our rules, when you read portions of a 15 the lawyer during that period of time. 15 deposition, he has the ability to read other 16 17 18 19 BY MR. SCAROLA: Q. To the extent that Bradley Edwards and Paul Cassell relied upon detailed reports from the Palm Beach police department in order to assess the 16 17 18 19 portions of the deposition which clarify the answers. That's done in every courtroom on every time a witness -- you have selected portions of it that are not accurate based on 20 credibility of Virginia Roberts, would it be 20 other portions and I am having him review them 21 22 23 24 25 reasonable for them to rely upon police reports? A. I would hope that they would rely on all the police reports, including the ones that showed that she was involved in criminal actions, including the ones that would show that she took money as an 21 22 23 24 25 since you did not offer him the deposition to review. MR. SCAROLA: And that's what you do -- MR. SCOTT: And I think that's totally proper -- 298 300 1 adult to provide sexual services to people. 1 MR. SCAROLA: -- in cross examination. It 2 I would hope they would look at all the 2 is -- 3 reports, not just selected portions of those 3 MR. SCOTT: -- to do. No -- 4 reports. 4 MR. SCAROLA: -- improper. 5 Q. Would that include the reports of the 5 MR. SCOTT: No. 6 Federal Bureau of Investigation? 6 MR. SCAROLA: There's no question pending 7 A. I would hope so. 7 as to which that's relevant. But let's take a 8 Q. Would that include the information 8 look at what you're showing him. 9 provided by the U.S. Attorney's Office? 9 MR. SCOTT: Surc. Why don't you read it 10 A. I would sure hope so, and I could tell you 10 into the record? 11 that the -- 11 THE WITNESS: I've read it. 12 Q. Would that include — 12 MR. SCOTT: Read it into the record so 13 A. Let one just say that the U.S. Attorney's 13 that Mr. Scarola is advised. 14 Office has told me unequivocally that my name never 14 A. "Okay. When Alan Dershowitz was in the. 15 came up in any context of any accusation against me 15 house, I understand you to say that these local 16 during the negotiations. 16 Palm Beach girls would come over to the house 17 Q. Is this part of your work product that 17 while he was there, but you're not sure if he 18 you're waiving right now? 18 had a massage from any of these girls? 19 MR. SWEDER: No, no. 19 "Exactly. 20 A. My conversation with Jeffrey Slotnan is not 20 "And what would he do while these girls 21 work product. 21 were in the house? 22 MR. SCOTT: Here's a -- 22 "He would read a book with a glass of 23 BY MR. SCAROLA: 23 wine by the pool, stay inside. 24 Q. What is the work product — 24 "Did he ever talk to any of the girls? 25 MR. SCOTT: Excuse me. Please review 25 "I don't know, sir. www.phippsreporting.com (888)811-3408 31 (Pages 297 to 300) 301 303 1 "Certainly he knew they were there? 1 A. Let me answer. "Rely" connotes to me that 2 "I don't know, sir." 2 they would place a heavy emphasis on that to the 3 That's the best you can do? That's really 3 exclusion of other things and that it would be 4 the best you can do? You think a professional 4 enough. And so my answer is, yes, they certainly 5 lawyer would make these allegations based on "I 5 should have read all the reports. They certainly 6 don't know, sir." 6 should have read all the transcripts. But they also 7 MR. SCAROLA: Is there a question pending, 7 should have called me, they should have made other 8 Mr. Scott? 8 inquiry, and they should have made sure that they 9 MR. SCOTT: He's reading -- you asked him 9 read all of these depositions and reports in 10 what he was reading -- 10 context. 11 MR. SCAROLA: Yes, sir. 11 And if you're implying that there are FBI 12 MR. SCOTT: -- from and I had him publish 12 reports that in any way inculpate me, that's 13 it. 13 inconsistent with the information I have from Former 14 MR. SCAROLA: Yeah, I know, and then he 14 Chief of Assistant Jeffrey Sloman, who was prepared 15 went on to make a speech. So I know I don't 15 to file an affidavit saying that that wasn't the 16 have to do it, but I'm compelled to move to 16 case but was prevented from doing so by the Justice 17 strike the unresponsive speeches. 17 Department. 18 MR. SCOTT: And I consider these to be a 18 MR. SCOTT: It's about noon now. So I 19 response to the interrogation that you did 19 guess were heading -- were wrapping this up? 20 taking excerpts improperly and not having the 20 MR. SCAROLA: Not quite yet. 21 entire record in front of him, which he's 21 BY MR. SCAROLA: 22 entitled to do to make that the record is 22 Q. You do agree that the allegations that 23 complete. And I intend to protect him in that 23 Virginia Roberts made against Prince Andrew were 24 way. 24 well-founded allegations, correct? 25 25 A. I have absolutely no idea. I've met 302 304 1 BY MR. SCAROLA: 1 Prince Andrew on a number of occasions in a public 2 Q. So we have agreed that it was reasonable 2 context. He came and spoke in my class at Harvard 3 for Bradley Edwards and Paul Cassell, in assessing 3 law school. The dean then had a dinner in his -- or 4 the credibility of Virginia Roberts, to rely upon 4 lunch in his honor. I was then invited to a dinner 5 police reports, FBI reports, U.S. Attorney's Office 5 at the British Consulate. 6 information, and information from the Palm Beach 6 I've never seen him in the presence of any 7 County State Attorney's Office, correct? 7 underaged women, so I have absolutely no basis for 8 A. No. 8 reaching any conclusion whatsoever about 9 Q. No? 9 Prince Andrew. 10 A. No. It would not be enough for them to do 10 Q. So you don't know one way or another 11 that -- 11 whether those allegations are true or false? 12 Q. I didn't ask you whether it was enough. 12 A. Neither do you. Nobody would know except 13 A. You said it was -- 13 two people, I imagine. But I don't know. Of course 14 Q. I asked you: Would it reasonable for them 14 not. 15 to rely upon those sources of information in 15 Q. All right. 16 assessing the credibility of Virginia Roberts? 16 A. But I presume -- 17 A. Not alone, not without looking at -- 17 Q. You say you have never seen him -- 18 Q. That wasn't my question. 18 A. -- people innocent -- 19 A. -- other sources of information. 19 Q. — in the presence of any underaged women, 20 MR. SCOTT: Wait a minute. 20 but you've seen photographs of him in the presence 21 BY MR. SCAROLA: 21 of an underaged woman, correct? 22 Q. Well, what he's relying upon — 22 A. I have, yes. 23 MR. SCOTT: You're not the judge here. 23 MR. SCAROLA: May we mark this as the next 24 Let him -- ask a question and let him answer it 24 numbered exhibit, please. 25 and not cut him off, please. 25 A. And I want to note -- www.phippsreporting.com (888)811-3408 32 (Pages 301 to 304) 305 307 1 THE REPORTER: Hold on. Hold on. 1 THE WITNESS: Excuse me, I need to a take 2 A. -- the absence of any -- 2 a very quick bathroom break. 3 MR. SCOTT: She can't take it down. 3 MR. SCAROLA: That's fine. 4 THE WITNESS: Sorry. 4 THE WITNESS: Probably be two minutes or 5 (Thereupon, marked as Plaintiff 5 less than two minutes. 6 Exhibit 8.) 6 VIDEOGRAPHER: Going off the record. The 7 THE REPORTER: It's okay. Go ahead. 7 time is approximately 12:03 p.m. 8 A. And I want to note the absence of any 8 (Sidebar held off the record.) 9 photograph of me with Virginia Roberts. 9 MR. SCAROLA: While we're waiting, let me 10 BY MR. SCAROLA: 10 mark the ncxt numbered exhibits as well. That 11 Q. That's the photograph that you were 11 will save us some time. 12 referring to? 12 MR. SCOTT: What is this? 13 A. I've seen this photograph in the 13 MR. SCAROLA: Her calendar, his calendar. 14 newspapers. 14 MR. SCOTT: Who's calendar is this, 15 Q. Yes, sir. And the woman on the far right 15 Carolyn's? 16 of that photograph, who is that? 16 MR. SCAROLA: Okay. This is Numbcr 10. 17 A. Ghislaine Maxwell. 17 MR. SCOTT: Carolyn's calendar. 18 Q. The woman that you and your friend Jeffrey 18 (Thereupon, marked as Plaintiff 19 Epstein have traveled with repeatedly, correct? 19 Exhibit 10.) 20 A. No. A woman who I may have traveled with 20 MR. SCAROLA: This is Number 11. 21 on two or three occasions. I can't think of more 21 (Thereupon, marked as Plaintiff 22 times than that that I traveled with her, but its 22 Exhibit 11.) 23 possible. But not -- I wouldn't say repeated 23 MR. SCAROLA: This is Number 12. 24 occasions. I've -- 24 (Thereupon, marked as Plaintiff 25 Q. Well -- 25 Exhibit 12.) 306 308 1 A. -- probably been in her presence fewer I. BY MR. SCAROLA: 2 than a dozen timcs. 2 Q. Mr. Dershowitz, I have handed you a 3 Q. I'm going to hand you -- 3 composite exhibit that is marked as Number 9. 4 A. But just to be clear, what I knew about 4 A. Yes. 5 Ghislainc Maxwell was that she was the daughter of a 5 Q. The first document in that composite is a 6 prominent British publisher -- 6 page from -- 7 Q. I haven't asked you what you knew about 7 MR. SCOTT: Here's Number 9. 8 Ghislaine Maxwell. I asked you -- 8 BY MR. SCAROLA: 9 A. Well, you askcd -- 9 Q. — is a page from your wife's calendar; is 10 Q. -- whether or not you recognized her in 10 that correct? 11 the photograph? 11 A. Yes. 12 A. Ycs. Ycs. 12 MR. SCOTT: Take a moment to review the 13 Q. Thank you very much, sir. 13 exhibit, please. 14 I'm going to hand you an airport codes log 14 A. Yes, it looks like -- I'm looking at the 15 that identifies the airports that are identified by 15 first page. It looks like my wife's -- my wife's 16 abbreviations in the case -- in case that is of some 16 handwriting, yes. 17 assistance to you in answering the next series of 17 BY MR. SCAROLA: 18 questions that I'm about to ask you. 18 Q. And the second page is another page from 19 A. Right. 19 your wife's calendar; is that correct? 20 Q. And I'm going to hand you this composite 20 A. Looks like it, yes. 21 exhibit, which we will mark as the next numbered 21 Q. And — 22 composite. 22 MR. SCOTT: Take the time to review it 23 A. Uh-huh, right. 23 before you answer questions, please. 24 (Thereupon, marked as Plaintiff 24 A. Right. 25 Exhibit 9.) 25 www.phippsreporting.com (888)811-3408 33 (Pages 305 to 308) 309 311 1 BY MR. SCAROLA: 1 December. 2 Q. And can you determine from the calendar 2 Q. One shows the subsequent two months and 3 entries here where your wife is during the period of 3 the -- 4 time that's covered by these calendar entries? 4 A. Okay. 5 A. 1 would have to look at a particular 5 Q. — other one shows -- 6 entry. If it describes where she is, yes. 6 A. Yes. 7 Q. Okay. Well, tell me where she is. 7 Q. -- the preceding and following month, 8 A. What day? 8 correct? 9 MR. SCOTT: Which one? What point? 9 A. Ycs, that does look like it's December of 10 BY MR. SCAROLA: 10 2000, ycs. 11 Q. The period covered by this calendar 11 Q. Okay, sir. So look at the calendar and 12 between December 7 and December 13. 12 tell me where it appears your wife is during this 13 A. What year? 13 period of time. 14 Q. You know what, I can't tell you what year 14 A. The whole period of time? 15 it is from these calendars. So you tell me. 15 MR. SCOTT: Please read the exhibit, all 16 I suggest to you that this is a calendar 16 the pages, thoroughly, so that you have a full 17 from December of 2000, since the next two months at 17 context. 18 the top of the calendar are January 2001 and 18 A. It says, A.D. in Boston. That means I was 19 February 2001. So let's assume that since it is a 19 in -- in Boston. 20 page from a calendar that appears to be December of 2 0 It says Charleston, Ncw York. It says 21 2000, that it's December of 2000. 21 book fair. It says book fair. It says A.D. in 22 That would be a reasonable conclusion, 22 Boston. 23 wouldn't it? 23 It then says the Halbreiches arrive. 24 A. I have no idea. 24 They -- they were probably our guests. 25 Q. You don't know? 25 310 312 1 A. I don't know. I mean, I don't know -- you 1 BY MR. SCAROLA: 2 said you don't -- you can't tell what the year is, 2 Q. Your guests at home in Cambridge, 3 so -- 3 Massachusetts, right? 4 Q. Well, I'm telling — 4 A. No, I don't know. I don't know. 5 A. -- I can't tell what the year is. 5 Halbreiches arrive. 6 Q. — you that it appears to be December 2000 6 And I can't really tell from here where 7 because the next two months at the top of the 7 Carolyn is. McDonalds -- let's see, this is 2000 8 calendar are January of 2001 and February of 2001. 8 and what year? 2001. 2000. Yeah, yeah. 9 A. I only see -- I'm sorry, were probably 9 So tell me what you're looking for. I'll 10 looking at different things. I see November 2000, 10 try to -- 11 December 2000. I don't see January or anything like 11 Q. I want to know where your wife was during 12 that. Maybe you can show them to me. Oh, it's on 12 this period of time if you can tell from the 13 the first page. 13 calendar entries. 14 Q. First page, yes, sir. 14 A. Well, she may have been in -- there's 15 A. So it's in reverse order. 15 something about Charleston. There's something about 16 Yeah, so the pages are in reverse order. 16 New York. There's something about me being in 17 The first page says on top January 2001, 17 Boston. I really can't tell much beyond that. 18 February 2001 and the second page says 18 Q. Okay. So you don't know one way or 19 November 2000, December 2000, yeah. 19 another from these calendar entries where your wife 20 Q. So it appears we're looking at 20 was during this period of time; is that correct? 21 December 2000, correct? 21 A. I can't tell that from this entry, no. 22 A. When were looking at which page? When 22 Q. What we can tell from the entry in the 23 we -- 23 bottom right-hand corner -- 24 Q. Both pages. 24 MR. SCOTT: Which page? 25 A. Well, one is January/February and one is 25 A. Which page? www.phippsreporting.com (888)811-3408 34 (Pages 309 to 312) 1 BY MR. SCAROLA: 2 Q. Of the first page of this composite is 3 that there is a notation that says Alan Dershowitz 4 11:45 a.m., New York City, right? 5 A. Eleven -- A.D. 11:45 and then there's a 6 word that I can't read. 7 Q. How about a.m.? 8 A. Oh, 5:00 a.m., New York City, yes. 9 Q. Okay. Thank you, sir. 10 And the next page, where did — where did 11 your wife have opera instructions? 12 A. I have no idea. We go to the opera in 313 13 Boston, we go to the opera in New York, we go to the 14 opera in Florida. We do a lot -- a lot of opera. I 15 don't know what "opera instructions" means. 16 Maybe it would be best if you asked my 17 wife about these things. It's her calendar. 18 Q. I -- I intend to, sir, but -- 19 A. Sure. 20 Q. -- these are calendars that you produced 21 as part of the evidence that you contend exonerates 22 you. So, I assumed that you had some knowledge of 23 the meaning of these pages. 24 A. No. 25 Q. But I may be wrong. 1 BY MR. SCAROLA: 2 Q. And you would appear in New York -- 3 A. Well, no -- 4 Q. — for those Court TV appearances -- 5 A. I would appear -- 6 Q. -- on a regular basis, correct? 7 A. I would appear wherever I was. So when I 8 was in New York, I appeared in New York, but they 9 would do it by remote when I was in a different 315 10 city. And I clearly did some remotes for Court TV. 11 Q. In fact, you took an apartment in New York 12 for purposes of convenience to facilitate your 13 New York Court TV appearances, correct? 14 A. Totally false. 15 Q. Did you have an apartment in New York 1.6 during this period of time in December of 2000? 17 A. I had an apartment for -- I've had an 18 apartment in New York for 30 -- 30 years or more. 19 But I certainly didn't take an apartment for 20 purposes of Court TV, no. 21 Q. On Tuesday, December n, the entry is 22 1:30, Jeff, correct? 23 A. Right. Yeah. 24 Q. And that's a reference to Jeffrey Epstein, 25 correct? 1 A. We have -- 2 Q. So you're telling me that you don't know 3 where she was and that's -- 4 A. We just -- we just gave you everything we 5 had -- 6 MR. SCOTT: We provided hundreds and 7 hundreds of pages. You're picking out one. 8 BY MR. SCAROLA: 9 Q. Let's go -- let's go to the next page, if 10 we could, please, the third page in this composite. 11 A. The third, okay. Third, okay. 12 Q. And can we agree that this is a calendar 13 from December of 2000? 14 A. Yes. 15 Q. Can we agree it's your calendar from 16 December of 2000? 17 A. That's right, yeah. 18 Q. And can we also agree that during this 314 19 period of time, you were making regular appearances 20 in New York on Court TV? 21 MR. SCOTT: Review the document before you 22 answer the question, please. 23 A. It says 12/30, Court TV, yes. There was a 24 period of time where I had a contract with Court TV 25 and I would appear when they asked me to, yeah. 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 316 A. I don't -- I don't know. Q. Well, what other Jeff might it be? A. 1 know -- I know many, many Jeffs. Q. Tell me which other Jeffs it might have been a reference to -- A. I have no idea. Q. -- on this calendar page. A. I just have no idea. I would be speculating. Q. During the same period of time on December 12 when there's a calendar entry that reflects 1:30, Jeff, we know from the flight logs that Jeffrey Epstein traveled on December 11 from Palm Beach International Airport to Teterboro Airport, which is the private plane facility that services the New York Metropolitan area. A. I have no idea. You don't know? A. No, I have no idea whether he was on that plane. 1 haven't seen the flight log. Q. Well, I'm calling your attention to the flight log. It's the next page. A. It's the next page here? Q. Yes, sir. A. Okay. 35 (Pages 313 to 316) www.phippsreporting.com (888)811-3408 1 Q. December 11, 2000, PBI to Teterboro, 2 passengers, Jeffrey Epstein -- 3 A. Wait a second. I have to find it. 4 MR. SCOTT: Well, let him -- let him read 5 the exhibit. 6 A. What -- what's the date? 7 BY MR. SCAROLA: 8 Q. December 11. 9 A. December 11. Yes, 1 see that. 10 Q. Palm Beach International Airport to 317 11. Teterboro? 12 A. Right, yeah. 13 Q. Passengers, Jeffrey Epstein? 14 A. Right. 15 Q. GM, a reference to Ghislaine -- excuse me, 16 Ghislaine Maxwell. 17 A. Uh-huh. 18 Q. And ET and Virginia, right? 19 A. That's what it says, yes, sir. 20 Q. And then we see three of the same four 21 passengers leaving the New York area. 22 A. Uh-huh. 23 Q. To fly to another destination three days 24 later on December 14, correct? 25 A. Yes. 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 319 that, but that you were in New York at the same time Jeffrey Epstein -- A. And that Carolyn -- Q. — and Virginia were in Ncw York and you were -- A. And that Carolyn arranged for a massage. Q. -- having a massage. A. And that my wife arranged for a massage. Q. No, 1 didn't say that at all, sir? MR. SCOTT: Well, that's what he's saying that the record reflects. A. The record -- MR. SCOTT: Don't cut him off. A. -- reflects that Carolyn -- Carolyn always wanted me to have massages because she thought it would relax me. ldon't like massages particularly, but when Carolyn arranged massages, almost always we had them together at the same time. We would have the same masseuse, sometimes a man, sometimes a woman, come to the house and give us massages together. The idea that my wife would arrange for me to have a massage with an underage girl for sexual purposes is so bizarre and absurd as to defy any kind of credibility, but go on. 318 1 Q. And let's look at the next page of your 2 wife's diary for December 13, the period of time 3 when the flight log shows Jeffrey Epstein and 4 Virginia in New York -- 5 A. Uh-huh. 6 Q. -- at the same time when it would appear 7 that you were in New York. And at the bottom of 8 this calendar, Wednesday, December 13, A.D., 9 massage, right? 10 A. 10:00 a.m. it says? What is it? 11 Q. It says 10, 10-A.D. massage? 12 A. Yeah. 13 Q. Okay. 14 Let's go to the next composite. 15 A. I don't have -- there's another page after 16 that. Oh, the next composite. 17 Q. Yes, sir. 18 A. Yeah. 19 Q. Composite Number 10. 20 A. Uh-huh. But -- but I just want to be 21 clear. So you're saying Carolyn was with me in 22 Ncw York during that period of time. 23 Q. No, I'm not saying that at all, sir. I 24 suggest that when we take a close look at the 25 calendar, it's going to reveal something other than 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 BY MR. SCAROLA: Q. Yes. Thank you very much, sir. A. Go on. Q. 1 intend -- MR. SCOTT: Since you're both smiling, there seems to be some humor that I'm missing here. I guess I -- too. MR. SCAROLA: Well, I'm missing the humor BY MR. SCAROLA: Q. Lees go to Composite Exhibit Number 10. A. Yeah. Q. The first page of that composite exhibit 320 is a photocopy of pages from your personal calendar in January 2001, correct? A. That's right, yes. Q. Another Court TV appearance on January 11, correct? A. January 11. Q. Yes, sir. Thursday, January 11, entry in the left-hand column, Court TV. A. Entry on -- yes, January -- I see it as -- I see it on January 12. Idon't see it on January l 1, but... 36 (Pages 317 to 320) www.phippsreporting.com (888)811-3408 3 2 1. 323 1 BY MR. SCAROLA: 1 MR. SCOTT: Wait a minute. Let him get to 2 Q. I'm sorry, maybe it is January 12, but 2 it. 3 some time between the Ilth and 12th, either on the 3 A. 2 of the composite. Page 2, and what- 4 11th or on the 12th, it's Court TV, correct? 4 what day are we on? 5 A. No, no, no. You're just totally -- 5 MR. SWEDER: Do we even have it? 6 Q. It's the 12th — 6 MR. SCOTT: I'm sorry. Excuse me. Do we 7 A. -- wrong -- its the 12th, yes. 7 have copies of this exhibit? 8 Q. Okay. Good. Thank you. 8 MR. SCAROLA: I've given you copies of 9 A. Its clearly stated on the 12, yeah. 9 everything -- 10 Q. Okay. And then on Friday, the 19th, a 10 THE WITNESS: Were these produced in 11 week later, another Court TV appearance, correct? 11 discovery? 12 A. 19th. Yes. 12 MR. SCOTT: I assume. 13 Q. Okay. And on the 26th on Friday, 13 A. Okay. What are we up to? What page? 14 another Court TV appearance, correct? 14 BY MR. SCAROLA: 15 A. That's what it says, yes. These were 15 Q. Page 2 of Composite Exhibit Number 10. 16 all -- 16 MR. SCOTT: Okay. Now, stop. 17 Q. During this period of time -- 17 BY MR. SCAROLA: 18 MR. SCOTT: Whoa. Let -- let him finish 18 Q. Tuesday, the 16th. 19 his answer. 19 MR. SCOTT: What year arc we talking about 20 A. These are all scheduled appearances. 1 20 now? 21 assume that I did them. These -- these were -- when 21 MR. SCAROLA: 2001, the only year covered 22 they requested ine to -- to do them, I would do them, 22 in this composite exhibit. 23 yes. 23 A. Yeah, dimmer foreign policy Epstein, that 24 BY MR. SCAROLA: 24 was dinner we had at Jeffrey Epstein's house with a 25 Q. Okay. And it looks like you're appearing 25 group of very distinguished foreign policy experts, 1 on a scheduled basis every Friday during this period 1 yes. 322 324 2 of time? 2 BY MR. SCAROLA: 3 A. I don't think that was right. Yeah,1 3 Q. All right, sir. Lees go to the next 4 don't think that was right. I think that they 4 page. I've just focused on this period of time in 5 called me when they wanted me. And it may have been 5 January 2001 and on Friday, January 12 — 6 several Fridays in a row, but I think it depended on 6 A. So we're going back to Friday, January 12. 7 breaking news at the -- 7 Yeah. 8 Q. What is "scheduled appearance" -- 8 Q. Your wife is in Cambridge, correct? 9 MR. SCOTT: Well, wait a minute. Let him 9 A. No, I don't think so. My wife was living 10 finish his questions [sic]. 10 in New York with me at the time. 1 don't see any 11 A. It would depend very much on whether there 11 record of her being in Cambridge. 12 was a particular trial because I would be the 12 She was -- we were living together in 13 commentator on the trial, along with other lawyers. 13 New York at NYU downtown. I was a visiting scholar. 14 And there were some days when there were trials and 14 Having been appointed by John Sexton of NYU to be a 15 some days when there weren't and I would be 15 visiting scholar, we were there for the year. And 16 available because t was living in New York at the 16 my wife was with me during the year. Our daughter 17 time. 17 was in school in New York. She went to Little Red 18 BY MR. SCAROLA: 18 Schoolhouse in New York. And we had -- our life was 19 Q. On Tuesday, the 16th, there is an entry 19 in New York for a period of one year. 20 that says Epstein, right? 20 Q. And on Friday, January 12, you had another 21 A. On Tuesday, the l6th? 21 massage, right? 22 Q. Yes, sir. 22 A. I don't see anything on my record that -- 23 A. Where are we? Which calendar now? 23 Q. Massage, A.D.? 24 Q. Page 2. Page 2 of the composite, Tuesday, 24 A. We must be looking at the different pages. 25 the 16th, Epstein. 25 Q. Friday, January 12, page 4 -- www.phippsreporting.com (888)811-3408 37 (Pages 321 to 324) 325 327 1 A. Who's -- 1 A. Uh-huh. 2 Q. — of Composite Exhibit 10. 2 Q. Okay. Or from 3:30 to 4:15, that would be 3 MR. SCOTT: Let me see the page you're 3 a playing time for you in Cambridge; is that 4 talking about so he can -- 4 correct? 5 MR. SCAROLA: I've given you the entire 5 A. You'd be asking me to speculate. I can't 6 calendar. 6 speculate based on my wife's calendar. It says 7 MR. SCOTT: Come on, Jack. 7 utility bill, Reservoir address. That suggests 8 MR. SCAROLA: I've given you the entire 8 Cambridge. Reservoir is our house in Cambridge. 9 composite -- 9 Q. So, it would appear that this is another 10 THE WITNESS: So you're talking about my 10 massage that you got somewhere? 11 wife's -- 11 A. But I would like to also say one thing. I 12 MR. SCAROLA: Fourth page -- fourth page 12 don't -- I at least wonder were these records 13 of Exhibit 10. You have Exhibit 10, I've given 13 available to your clients at the time they made the 14 a copy of that. 14 false accusations against me or arc they 15 MR. SCOTT: I understand it and he has it 15 after-the-fact constructs designed to simply try to 16 front of him and I'm trying to get him to the 16 find excuses to justify their false allegations? It 17 right page. Thank you. Please take it down. 17 seems to me the latter is probably the case. 18 BY MR. SCAROLA: 18 Q. And you are going to have an opportunity 19 Q. Fourth page, Composite Exhibit 10. 19 through your counsel to ask those questions. 20 A. Yes. 20 A. And we will. 21 Q. Friday, January 12. 21 Q. And my clients are anxious to be able to 22 A. Okay. That's very simple. We were both 22 answer those questions. 23 in Cambridge and I had a massage in Cambridge. How 23 A. Not as anxious as I am to hear their 24 do I know that? Because it had basketball. And 24 answers. 25 that's where I play and watch basketball was in 25 Q. Okay. 326 328 1 Cambridge. So probably I was in Cambridge if it 1 MR. SCOTT: Okay. Let's wrap it up. 2 says B ball 3:30, 4:15 and says Cambridge with Ella, 2 MR. SCAROLA: Not quite. 3 so I'm sure I was in Cambridge. 3 MR. SCOTT: Yeah, it's 12:30. I'm ending 4 Q. All right. So -- 4 this. That gives you three and a half hours. 5 A. But I'm -- I'm looking at my wife's 5 We take a lunch break and then we have three 6 calendar. I can't tell you and nor can you tell me 6 and a half. 7 where I was at that period of time. 7 MR. SCAROLA: We don't need three and a 8 Q. So, the basketball entries are references 8 half hours for lunch. 9 to your watching basketball in Cambridge? 9 MR. SCOTT: No, I didn't say that. I said 10 A. No. They could be playing basketball. I 10 we take an hour break and then we have three 11 played basketball in those days -- 11 and a half hours with your client, just like... 12 Q. Watching or playing basketball? 12 MR. SCAROLA: If -- if that's what you 13 MR. SCOTT: Let him finish his answer, 13 want to do -- 14 please. 14 MR. SCOTT: That's the fair thing to do 15 A. I either watched basketball or played 15 because that's why we're dividing it equally 16 basketball, yeah. I did not go to basketball games 16 and I suggested that -- 17 in New York, to my recollection, unless the Celtics 17 MR. SCAROLA: I will state -- I will state 18 were in New York and maybe we can check -- 18 for the record that Exhibits 2, 3 and 4 -- 19 MR. SCOTT: You've got about five minutes, 19 excuse me, Exhibits 9, 10, 11 and 12, 20 Counsel. 20 composite exhibits, directly conflict with the 21 BY MR. SCAROLA: 21 witness's assertion -- 22 Q. The Celtics didn't play from 4:15 to 5:00, 22 MR. SCOT 1: This is all a speech on your 23 did they? 23 part. 24 A. No, but I did. 24 MR. SCAROLA: It is a speech. 25 Q. You did? 25 MR. SCOTT: It is a speech and -- www.phippsreporting.com (888)811-3408 38 (Pages 325 to 328) 329 331 1 MR. SCAROLA: I'm giving you notice as to CERTIFICATE OF REPORTER 2 what you can do to do your homework. Okay? 3 They directly conflict with the witness's STATE OF FLORIDA 4 assertion that the flight logs exonerate him. COUNTY OF BROWARD 5 In fact -- 6 MR. SCOTT: Wait a minute. I, KIMBERLY FONTALVO, Registered 7 8 9 10 11 12 13 14 1.5 16 17 MR. SCAROLA: -- the flight logs -- the flight logs corroborate Virginia Roberts' assertions. MR. SCOTT: And I thank you very much for that explanation and we look forward to resuming this at the appropriate time and responding to that. THE WITNESS: And that is a false statement. MR. SCOTT: Thank you. Professional Reporter, do hereby certify that 1 was authorized to and did stenographically report the foregoing videotape deposition of ALAN M. DERSHOWITZ; pages through 145; that a review of the transcript was requested; and that the transcript is a true record of my stenographic notes. I FURTHER CERTIFY that I am not a relative, employee, attomey, or counsel of any of the parties, nor am I a relative or employee of any of the parties' attorneys or counsel VIDEOGRAPHER: Going off the record. The connected with the action, nor am I financially 18 time is approximately 12:26 p.m. interested in the action. 19 (The proceedings ADJOURNED at 12:26 p.m.) Dated this 16th day of October, 2015. 20 21 22 KIMBERLY FONTALVO, RPR, FPR, CLR 23 24 25 CERTIFICATE OF OATH October 16, 2015 330 332 COLE, SCOTT & KISSANE, P.A. Dadcland Centre II - Suite 1400 STATE OF FLORIDA 9150 South Dadcland Boulevard Miami, Florida 33156 COUNTY OF BROWARD BY: THOMAS EMERSON SCOTT, JR., ESQ. Re: Edwards v. Dcrshowitz Please take notice that on the 16th day of October, 2015, you gave your deposition in the above cause. I, the undersigned authority, certify At that time, you did not waive your signature. that ALAN M. DERSHOWITZ personally appeared The above-addressed attorney has ordered a copy of this transcript and will make arrangements with you before me and was duly sworn on the 16th day of to read their copy. Please execute the Errata October, 2015. Sheet, which can be found at the back of the Signed this 16th day of October. 2015. transcript, and have it returned to us for distribution to all parties. 14.4.i. -44".„4-0- KIMBERLY FONTAL‘v u, &PR, FPR, CLR Notary Public, State of Florida My Commission No. EE 161994 Expires: 2/0 l /16 If you do not read and sign the deposition within a reasonable amount of time, the original, which has already been forwarded to the ordering attorney, may be filed with the Clerk of the Court. If you wish to waive your signature now, please sign your name in the blank at the bottom of this letter and return to the address listed below. Very truly yours, KIMBERLY FONTALVO, RPR, FPR, CLR Phipps Reporting, Inc. 1615 Fon= Place, Suite 500 West Palm Beach, Florida 33401 1 do hereby waive my signature. ALAN M. DERSHOWITZ www.phippsreporting.com (888)811-3408 39 (Pages 329 to 332) 333 ERRATA SHEET DO NOT WRITE ON TRANSCRIPT - ENTER CHANGES HERE In Re: EDWARDS V. DERSHOWITZ ALAN M. DERSHOWITZ October 16, 2015 PAGE LINE CHANGE REASON Under penalties of perjury, I declare that I have read the foregoing document and that the facts slated in it are true. Date ALAN M. DERSHOWITZ 40 (Page 333) .phippsreporting.com (888)811-3408 Exhibit 3 1 APPEARANCES CONTINUED 3 2 Also on behalf of the Defendant: 1 2 IN THE CIRCUIT COURT OF THE SEVENTEENTH JUDICIAL CIRCUIT IN AND FOR BROWARD COUNTY, FLORIDA 3 SW EDER & ROSS, LLP BY: KENNETH A. SW EDER, ESQUIRE 4 131 Oliver Street 3 CASE NO. CACE 15-000072 Boston, Massachusetts 02110 4 5 Tel: 617.646.4466 Fax: 617.646.4470 5 BRADLEY J. EDWARDS and PAUL G. CASSELL, 6 E-mail: ksweder@sweder-ross.com 6 7 Plaintiffs/Counterclaim Defendants, 7 On behalf of the Witness: vs. 8 8 UTAH ATTORNEY GENERAL'S OFFICE, P.A. 9 ALAN M. DERSHOWITZ, 9 BY: JONI J. JONES, ASSISTANT ATTORNEY GENERAL, Litigation Division 10 10 160 East 300 South Defendant/Counterclaim Plaintiff. Heber Wells Building - 6th Floor 11 / 11 Salt Lake City, Utah 84114 12 12 Tel: 801.366.0100 Fax: 801.366.0101 13 E-mail: jonijones@utah.gov 14 VIDEOTAPED DEPOSITION OF 13 15 PAUL G. CASSELL 14 Telephonically on behalf of Jeffrey Epstein: 16 TAKEN ON BEHALF OF THE DEFENDANT 15 DARREN K. I N D Y K E, P L L C 17 VOLUME I, PAGES 1 to 151 16 BY: DARREN K. INDYKE, ESQUIRE 575 Lexington Avenue 18 4th Floor 17 New York, New York 10022 19 Tel: 212.971.1314 20 Friday, October 16, 2015 18 21 1:33 p.m. - 4:31 p.m. 19 Also Present: 22 23 24 110 Southeast 6th Street 110 Tower- Suite 1850 Fort Lauderdale, Florida 33301 20 21 DON SAVOY, Videographer BRADLEY J. EDWARDS ALAN M. DERSHOWITZ CAROLYN COHEN 22 25 Theresa Tomasel I i , RMR 23 24 ESQUIRE DEPOSITION SOLUTIONS 25 (954) 331 -4400 ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 2 4 1 APPEARANCES OF COUNSEL 1 INDEX OF EXAMINATION 2 On behalf of the Plaintiffs: 2 WITNESS PAGE 3 SEARCY DENNEY SCAROLA 3 PAUL G. CASSELL 4 5 BARNHART & SHIPLEY, P.A. BY: JOHN SCAROLA, ESQUIRE 2 1 3 9 Palm Beach Lakes Boulevard 4 DIRECT EXAMINATION BY MR. SIMPSON 6 West Palm Beach, Florida 33409 5 6 Tel: 561.686.6300 Fax: 561.383.9541 6 7 E-mail: mep@searcylaw.com INDEX TO EXHIBITS 7 8 0 n behalf of Virginia Roberts: 8 EXHIBIT DESCRIPTION PAGE 9 10 11 12 BOIES, SCH ILLER & FLEXN ER, LLP BY: SIGRID STONE McCAW LEY, ESQUIRE 401 East Las 0 las Boulevard Suite 1200 Fort Lauderdale, Florida 33301 Tel: 954.356.0011 9 10 11 Cassell I.D. Exhibit No. 1 - Plaintiff's 21 Response to Motion for Limited Intervention by Alan M. Dershowitz Fax: 954.356.0022 Cassell I.D. Exhibit No. 2 - Jane Doe 22 13 E-mail: sm ccawley@ bsfIlp.com 12 Number 3 and Jane Doe Number 4's Motion Pursuant to Rule 21 for Joinder in Action 14 13 On behalf of the Defendant: Cassell I.D. Exhibit No. 3 - one-page 106 15 14 document produced by the witness WILEY REIN LLP 16 BY: RICHARD A. SIMPSON, ESQUIRE AND: NICOLE A. RICHARDSON, ESQUIRE 15 17 1776 K Street Northwest Washington, DC 20006 16 18 Tel: 202.719.7000 Fax: 202.719.7049 17 19 E-m ail: rsim pson@ w ileyrein.com 18 20 Also on behalf of the Defendant: 19 21 22 23 24 25 COLE, SCOTT & KISSANE, P.A. BY: THOMAS EMERSON SCOTT, JR., ESQUIRE 9150 South Dadeland Boulevard Dadeland Centre II - Suite 1400 Miami, Florida 33156 Tel: 305.350.5329 Fax: 305.373.2294 E-mail: thomas.scott@csklegal.com 20 21 22 23 24 25 (Original Exhibits have been attached to the original transcript.) ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954)331-4400 (954)331-4400 1 of 38 sheets Page 1 to 4 of 151 10/20/2015 01:07:28 PM 61 63 0110:55 1 Q. I would like to know why you alleged "and 01:12:55 1 was your basis for this? 01:10:57 2 other minors" given what you have said about your 01:12:56 2 A. All right. So the initial basis for it 01:11:01 3 knowledge of the factual basis, so to speak, for that 01:1100 3 was -- 01,11:06 4 allegation. 01:1100 4 MR. SCAROLA: First of all, let me object 0111:06 5 A. Okay. There are going to be -- I'm going to 01:1102 5 because Professor Cassell is not here as an 01:11:08 6 end up giving you nine reasons, each of which is 01:13:04 6 expert witness and hypotheticals are 01:11:11 7 complicated, so I just want to -- if -- if -- I don't 01:1106 7 inappropriate. You're calling for speculation on 01:11:13 8 want to be accused of -- of filibustering or anything. 01:1108 8 his part. I'm not going to instruct him not to 01:11:15 9 I just want you to know that you have asked a broad 01:13:10 9 answer, but it is an improper question. 01:11:18 10 question that's going to require a broad and extended 01:1314 10 MR. SIMPSON: I disagree, but you can answer 01:11:20 11 answer. It -- it -- 01:13:14 11 the question. 01:11:21 12 Q. Answer the question. 01:13:14 12 THE WITNESS: Right. So the -- the factual 011122 13 A. Okay. Then I'm going to refer to a -- I have 01:13.17 13 basis would -- we are setting aside 01:11:27 14 a -- well, actually, I don't. 01:13:21 14 attorney/client communications, right? 01:11:28 15 Q. Let me ask you this: Before you refer to 01:13:21 15 BY MR. SIMPSON: 01:11:30 16 something -- 01:13:22 16 Q. I'm asking: What would you tell the judge? 01:11:30 17 A. Yeah. 01:13:2617 A. Right. So that -- I -- I -- that's 01:11:30 18 Q. -- please give me your best recollection of 01.112818 speculative to -- I don't think I can give a fair answer 01:1134 19 what the basis was, the factual basis that you had in 01:13:30 19 at this point because that would have involved going 01:11:37 20 mind. If the court said to you -- let me put it this 01:113220 back to my client and -- and carving out what kinds 01:11:40 21 way. If you went to court and Judge Marra said, 01:1136 21 of things we were going to present to Judge Marra in 01.11:43 22 Professor Cassell, what's your factual basis for this 01:13:30 22 light of the posture of the case at that point. 01:11:46 23 allegation? Tell me. What would you say? 0113,42 23 So it's a speculative question. I would 01:11:48 24 A. Right. 01:1145 24 have -- let me just -- without going into any 01:11:49 25 MS. McCAWLEY: Wait. Outside the context of 01:1348 25 attorney/client privileged communications, I would have ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 62 64 01:11:50 1 anything that's been communicated to you. 01:13:51 1 provided an ample factual basis for those allegations. 01:11:53 2 MR. SCAROLA: Excuse me. You have asked two 01:13:55 2 MR. SIMPSON: I move to strike as 01:11:55 3 different questions now, and I need to understand 01:1156 3 nonresponsive. 01:11:56 4 which question you are asking. 01:13,56 4 BY MR. SIMPSON: 01:1158 5 The question that you posed before just now 01:13:58 5 Q. Let me ask it this way: We have talked 01:12:02 6 was: What was the reason for your including 01:14'00 6 about -- somewhat about the basis for this allegation 01:12:06 7 those allegations in this pleading? 01:14.02 7 about other minors. Putting aside information as to 01.12:08 8 Now you have asked: What is the factual 01:14:09 8 which you're claiming privilege, tell me what you knew 01:12:10 9 basis? And that's going back to questions that 01:14:13 9 as of December 30th, 2014, that formed the factual basis 01:12:14 10 we have already covered, and we have, I think, 01:14:20 10 for your -- for that allegation about other minors. 01'12:17 11 exhausted the ability to respond to that question 01:14:23 11 MR. SCAROLA: And I'll instruct you not to 01:12:20 12 outside of privileged information. 01:14:25 12 answer that question for the same reason, that 01:1213 13 Do you want to go back to the question about: 01:14:27 13 when the same question was asked earlier, I 01:12:26 14 What was your reason for including those 01:14:29 14 instructed you not to answer. 01:12:28 15 allegations? 01:1411 15 MR. SIMPSON: I'm -- I'm -- maybe we are not 01:12:29 16 MR. SIMPSON: I'll ask the question a 01:14:33 16 being clear, Jack. I'm asking him to put 01:1210 17 different way. 01:14:35 17 aside -- I mean, certainly, he -- he filed a 01:12:31 18 MR. SCAROLA: Thank you. 01:14:37 18 pleading. You've asserted privilege as to 01:12:31 19 BY MR. SIMPSON: 01:14:40 19 certain aspects. I'm simply asking him, putting 011213 20 Q. Mr. Cassell, I'm going to ask you: If you're 01:14:43 20 aside whatever you're claiming privilege for, 0t12:37 21 in court and Judge Marra said to you, counsel, what is 01:14:45 21 right, so I'm not -- I'm not asking you right now 0112:42 22 the factual basis for your allegation that Professor 01:14:47 22 to tell me anything you're claiming as 01:1247 23 Dershowitz abused other minors, what would you say? And 01:14,49 23 privileged. 0112:51 24 if you wouldn't say something because it was privileged, 01:14:49 24 BY MR. SIMPSON: 01:12'52 25 then don't include it. What would you tell the judge 01:14:50 25 Q. Tell me whatever is not privileged that ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:07:28 PM Page 61 to 64 of 151 16 of 38 sheets 65 67 0114:53 1 supports that allegation. 01:16:52 1 began, you know, I guess what we would call 01:14:55 2 A. Okay. The privileged information, obviously, 01:16:54 2 knock-and-talks, knocking on doors to try to get to some 01:14:58 3 you're asking me not to reveal at this point. 01:16:57 3 of these girls, and they would get to the girls, and 01:14:59 4 Q. I'm asking you -- I'm asking you to tell me 0116:59 4 many of them initially were -- were afraid to explain 01:75930 5 the nonprivileged information. And I'm not agreeing 0117:02 5 what had happened. 01:15:04 6 with your privilege assertion -- 0117:03 6 But as they -- as they continued talking to 01:15:04 7 A. Sure. 01:17:06 7 them, the girls began to explain that what was happening 01:15:07 8 Q. -- but for purposes of this question -- 0117:09 8 was, they were going over to Epstein's house under the 01:15:07 9 A. For purposes of this question. 01:17:13 9 guise of giving a massage, and when they got there, the 01:1507 10 Q. -- I'm accepting it. 01'1717 10 massage was, in fact, sexual activity. 01:15:07 11 A. All right. 0117:19 11 And for many of the girls, I think, as I say 0115:08 12 Q. Putting aside what you claim is privileged, I 01:17:22 12 around 23, 24, something along those lines, they were 0115:10 13 want to know everything that's the factual basis for 01:1725 13 underage. They were under the age of consent in 01:15:12 14 including the allegation about other minors. 0117:28 14 Florida. 01:15:14 15 A. Okay. Privileged information which I'm not 01.17:28 15 And so each and every one of those events was 0115'17 16 disclosing in any way would have interacted with a vast 01:17:30 16 a crime being perpetrated -- and let's be clear, not 011620 17 body of other information. 01:17:35 17 just being perpetrated by Epstein, but by other people 01:15:22 18 The vast body of other information would have 01:17.36 18 who were involved there at the mansion. 01:15:24 19 started with an 89-page police report from the Palm 01:17:38 19 And so what the -- the Palm Beach Police 0115:29 20 Beach Police Department that showed for about a 0117.40 20 Department was putting together was that this mansion in 01:15:30 21 six-month period in 2005, there was sexual abuse of 01:17:43 21 Florida was the nest of sexual abuse of young girls here 01:15:35 22 minor girls going on on a daily basis, in -- whenever 01:17-48 22 in Florida that involved, literally, in the -- in this 01:15:40 23 Jeffrey Epstein was in his Palm Beach mansion. 01:17:53 23 period of time, more than a hundred events that they 01:15:44 24 And on some cases, it was going on not once, 01:17:57 24 were able to document of sexual abuse. 01:15:48 25 not twice, but three times during the day. That -- let 0117:59 25 And when you put that together with the ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 66 68 01:15:51 1 me just be clear. I mean, I -- I referred to the 01:18:01 1 pattern or practice that was being revealed there, there 01:15:53 2 89-page police report. I have offered to put it into 011803 2 were hundreds of acts of sexual abuse going on in the 01:15:55 3 the record if -- if it would speed things up, but let's 01:1806 3 mansion. 01-15:58 4 just talk about some of the things that are in that 01:18:07 4 But then what becomes -- and this is where I 01:15:59 5 89-page police report. 0118:10 5 indicated that, you know, the answer would continue on. 0116:02 6 This was a -- a very intensive investigation 01:1812 6 The -- the problem was that the evidence was starting to 51:18:05 7 that the Palm Beach Police Department put together. 01:1814 7 show that this was a much broader series of events. For 011607 8 They did, for example, what are called trash covers; 011818 8 example, there were flight logs showing that Mr. Epstein 01:16:09 9 that is when trash came out of the -- of the mansion of 01:18:21 9 was then flying with underaged girls, and those flight 01:16:13 10 Epstein, the police would intercept the trash and then 0118:27 10 logs, you know, as -- as the flight logs began to 01:16.16 11 they would go through the trash and look for 01-18'29 11 develop, for example, we have seen, I know in the last 01:16:17 12 incriminating information. 0118:32 12 day or two here, one underage girl was Virginia Roberts 0116'19 13 And what they began to discover was memo 0118:35 13 who is on the flight, you know, with Epstein, and with 01,1022 14 pads -- and I say "memo pads," let's be clear, pad after 01:18:39 14 Maxwell, and those sorts of things. 01:1026 15 pad after pad, or I guess I should say, sheet after 01:18:41 15 So you start to look at the flight logs and 01:16:28 16 sheet after sheet that had the name of a girl, and then 01:1643 16 you see what's going on is not just events that are 0016:33 17 there was a notation of something to the effect of a 01:18,46 17 occurring in Florida, but it's occurring on a 01:16:35 18 massage. 01:18:50 18 multi-state basis, which now starts to make it a federal 01:16:36 19 And so the Palm Beach Police Department began 01:18:53 19 crime. For example, we are seeing evidence that -- 01:16:39 20 tracking down, well, wait a minute, these -- these are 01:18:56 20 let's just talk about Virginia Roberts since she's 01:16'41 21 girls giving massages and they don't seem to have any 01:1858 21 central to this case. 01:16:44 22 specialized training in massages; they don't seem to be 01,18:59 22 We are seeing Virginia Roberts being flown 01,16.47 23 masseuses in any sense of the term; what's going on 01:19:02 23 from Florida to New York where she's in the clutches of 01:1047 24 here? 01:19.07 24 Jeffrey Epstein who is sexually abusing her, you know, 01:16:50 25 And so the Palm Beach Police Department 011912 25 many times a week. And not just Jeffrey Epstein, but ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 17 of 38 sheets Page 65 to 68 of 151 10/20/2015 01:07:28 PM 69 71 01:19:15 1 other powerful persons. For example, Ghislaine Maxwell 01:21:37 1 particular girl had been sexually abused. 01:19:18 2 is there with him on all of these flights and apparently 01:21:40 2 What the Palm Beach Police Department had 01,19:21 3 being involved in the abuse. 01:21:42 3 discovered was brazen, notorious, repetitive activity 01:1924 4 Indeed -- and so you -- you have -- you 01:2146 4 sometimes occurring as often as three times in a 01:1927 5 have that. You also start to see on the flight logs, 01,21:48 5 particular day. And so that led me to believe that the 01:19:30 6 what to my mind are some very sinister things, 01:21:51 6 sexual activity that was going on in Florida was such 01:19:34 7 suggesting that the pattern is not just confined to sort 01:21:54 7 that someone who was a regular house guest there would 01:19:36 8 of, you know, the girls that are there in Florida, but 01:21:57 8 have immediately come to the conclusion that, well, 01:19:39 9 it -- it is extending more broadly. 0122:00 9 look, gee, there are these underage girls coming in here 01,19A1 10 Like one of the -- to my mind, sinister and 01:22:0310 and they -- they seem to be -- you know, they don't seem 01:1544 11 scary things on the flight logs is, we see, you know, 01:2206 11 to be here to be doing, you know, business activities; 01:19:48 12 Virginia Roberts, who we know has been sexually abused, 0122:0812 they -- they might be here doing other kinds of 01:19:51 13 and we see Jeffrey Epstein, and then we see on the 01:22:11 13 activities. So those would be the kinds of things that 01:19:54 14 flight logs one female. 0122:13 14 would -- would have formed the factual basis. 01:19:55 15 That's kind of an odd notation for a flight 01:22:17 15 There are other things as well, but I'm sure 01:19:59 16 log because, you know, typically, I understand the 0122:18 16 you want to ask other questions in addition to that. So 01:20:02 17 flight logs, the purpose is, well, if something happens 01:22:22 17 I'll stop there, but those -- that's -- I think gives 0120:04 18 with the flight, or there's some question about who was 01:22:24 18 you a small flavor of the kind of evidence that, you 01:20:05 19 on it, you want to know who -- who the person was who 01:22:28 19 know, was form -- undergirding the allegations that were 01:20:07 20 was on the flight. 01:22:32 20 being presented here. 01:20:08 21 So, to my mind, when I started to see on 01:2232 21 Q. It sounds like you quite passionately believe 01,20:10 22 these flight logs entries like one female, I viewed that 012235 22 that there was strong evidence that Mr. Epstein had 01:20:15 23 as a potential device for obscuring the fact that there 01:22:39 23 engaged in sexual misconduct; is that right? 01:20:17 24 was interstate trafficking of underage girls for 01:22:41 24 A. I think "strong" understates it. 01:20:19 25 purposes of sexual activity. Serious federal offenses. 01:2244 25 Q. In the course of that long answer, you didn't ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 70 72 01:20:22 1 But then that evidence extended, you know, 01:22:48 1 mention Professor Dershowitz's name once. 01:2026 2 more broadly than that. The evidence also started to 01:22:51 2 A. I said flight logs. And let's talk about 01:20:28 3 show, again, if we talk just about flight logs, that 01:22:53 3 flight logs. 01,20,31 4 the -- that underage girls such as Virginia Roberts were 01:22:54 4 Q. Let me back up. You didn't answer his 01:20:34 5 being flown internationally from, for example, Teterboro 01:22:57 5 name -- mention his name once; is that -- is that your 01:20:39 6 in New York to -- to locations, just to pick one, you 01:23:00 6 recollection as well? 01:20:42 7 know, for example, in London, where again sexual abuse 01:23:00 7 A. That's correct. We were talking about a 0120:45 8 was occurring. 01:23:02 8 factual basis, and I'll be glad -- I told you that there 0120:47 9 And so you started to put together this 01:23:05 9 were other things if you want, factual basis for -- for 01:20:50 10 pattern of criminality that was started in this -- you 01:23:07 10 Mr. Dershowitz. I'll be glad to add that in. Let me -.- 01:20,54 11 know, I don't know what the right word is here. I don't 01:23:10 11 let's -- let me -- let me -- I would like to supplement 012056 12 want to -- I don't want to -- you know, you've heard 01:2311 12 my answer then if I could. 01:20:58 13 discussions of hyperbole and things like that, but we 01:23:12 13 Q. Do you want to look at a document? 01:21:01 14 have got this nest of -- of -- and I won't say snakes, 01:23:14 14 A. Yes. 0121:04 15 but we have this nest of criminals in Florida, but it -- 01:23:14 15 Q. Let me first -- have we exhausted your 01:21,07 16 it seems to be spreading to Epstein's mansion in New 0123:16 16 recollection without documents of all the evidence that 01:21:10 17 York; it seems to be spreading to Ghislaine Maxwell's 01:23:21 17 you would refer to to support the allegation that 01:21:14 18 flat in London, and -- and -- and it goes on. 01:23:23 18 Professor Dershowitz abused other minors? 01:21:17 19 So those are the kinds of things that would 0123:26 19 A. No. 01:21:19 20 have formed the -- the -- the basis, particularly when 01:23:26 20 MR. SCAROLA: And let me say that you have a 01:2125 21 you -- when you start to add in this fact: What the 0123:28 21 right to refer to whatever documents you choose 0121:28 22 Palm -- going back now to Florida with the Palm Beach 0123:31 22 to refer to, to be sure that you give a complete 01:21:31 23 Police Department. What the Palm Beach Police 0123:35 23 response to the question that has been asked, as 01:21:33 24 Department has -- had discovered was not a one-off kind 0123:38 24 long as you understand that whatever you refer to 01:21:35 25 of event, you know, on one particular day, one 01:23:40 25 is going to be available to the other side, and ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:07:28 PM Page 69 to 72 of 151 18 of sheets 73 75 01:23:43 1 we would be happy to make it available to you. 0125,38 1 Mr. Epstein saying that she had been trafficked, 01:23:45 2 MR. SIMPSON: And -- and I'll give you an 0125:41 2 sexually trafficked, you know, not just abused by 01:23:47 3 opportunity to look at that -- 01:25:44 3 Mr. Epstein, but now being forcibly sent to, you know, 01:23:47 4 THE WITNESS: Sure -- 01,25:48 4 other people to abuse. 01:23:47 5 BY MR. SIMPSON: 012649 5 And in the categories of people that were 01:23.48 6 Q. -- but I'm entitled to ask first about your 0125:52 6 sexually abusing her were academicians, and I knew that 01:23:50 7 recollection. 01:25:58 7 Mr. Dershowitz fell within that category of -- of being 01:23:51 8 A. Okay. 0126:00 8 an academician. The -- that complaint also indicated 0123:51 9 Q. Based on your recollection -- 0126:05 9 that there might be flight logs that would show that 0123:51 10 A. Right. 01:26.08 10 Virginia Roberts had been sexually abused in these 0123:52 11 Q. -- I want to know all the evidence -- 0126:13 11 various locations. And that started to indicate to me 0123:52 12 A. Right. 01:2616 12 that there might be what the law refers to as a common 01:23:54 13 Q. -- you were relying on here. 01:26:19 13 scheme or plan. And that, just as Virginia Roberts was 01:23:55 14 A. So what -- what I'm going to do is, I'm going 01:2623 14 being trafficked to these powerful people in various 01:2367 15 to make a list here on my -- on my notepad of all the 01:2626 15 places, there might well be other girls. 01:23:59 16 things, and then I'm going to compare that with notes I 01:26:28 16 And so I have mentioned a flight log, and let 0124:01 17 have here. There may be a couple things that I don't 01:26:31 17 you -- you wanted to talk about Mr. Dershowitz. On .- 01:24:03 18 cover. 01:26:35 18 on December 30th, 2009, I was aware that there was a 01:24:03 19 Q. As long as your counsel is okay with that. 01:26:39 19 flight log showing Mr. Dershowitz flying with Tatiana, 0124-0420 A. Yeah. 01:26:44 20 who as far as I can tell was not a business person, was 01:24:05 21 Q. You understand you'll have to give that to 01:26:49 21 not providing financial advice or something else. 01:24:07 22 me? 01:26:51 22 I understood that Mr. Epstein was a 01:24:07 23 A. Yeah. I'll give you the notes -- 01:26:53 23 billionaire who was heavily involved in financial 01:24:07 24 Q. All right. 0126:57 24 issues. I knew that Tatiana was on a plane with 01:24:09 25 A. -- and then I will compare with what I've got 0127'01 25 Mr. Dershowitz, and then there was also, if I recall ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 74 76 0124:11 1 there. So I mentioned the Palm Beach Police Department 0127:01 1 correctly, working from memory as -- as you were 01:24:14 2 report. 01:27:04 2 wondering about, there was a notation that 01:24:15 3 The next thing that I want to mention is the 01:27:06 3 Mr. Dershowitz was on a plane with one female. 012419 4 Jane Doe 102 complaint. In August of 2009, Bob 0127:08 4 And so I was -- when I looked at that, I'm 01:24:27 5 Josefsberg -- who is, from what I understood, a very 0127:11 5 seeing Mr. Dershowitz on a -- on a flight with a woman 01:24:32 6 well-regarded lawyer here in Florida; in fact, a lawyer 01:2715 6 who doesn't seem to be there for, frankly anything other 01:24:33 7 that was selected by the United States Government to 01:27:18 7 than sexual purposes or something along those lines with 01:24:36 8 represent a number of the -- of the girls that had been 01:27:21 8 Mr. Epstein, with Mr. Epstein, who is a sex trafficker, 01:24,40 9 sexually abused by Jeffrey Epstein. He was -- he was 01:27:25 9 and with one female which seemed to me to be a potential 01'24.43 10 part of the procedure that was including the 0127:30 10 entry for disguising international sex trafficking. So 01:24:45 11 nonprosecution agreement. 01:27:33 11 that was of concern. 01:24:46 12 In August of 2009, he filed a complaint on 01:27:34 12 I then began to look at, well, I wonder, how 01:24:48 13 behalf of Virginia Roberts. That complaint indicated 0127:36 13 would I find out if Mr. Dershowitz had been abusing 01:24:54 14 that Virginia Roberts had been sexually abused in 01:2739 14 other girls? Let's see. I knew that Virginia Roberts 01,24:58 15 Florida, in New York, and in -- in other places, as I 01:274215 had been forced to -- to -- to -- to do this sort of 01:25:02 16 recall. The thing that -- that I particularly recall 01:27:48 16 thing. 01,25:06 17 was that Mr. Josefsberg had said, Virginia Roberts was 01:27:56 17 MS. McCAWLEY: You're okay as long as 01:2$.12 18 abused by -- and he gave some categories of people. 01:2756 18 you're -- if you're revealing something that's in 01:2515 19 He mentioned, I think, business people. He 01:2759 19 an affidavit -- 01:25:17 20 mentioned royalty, and he mentioned academicians. And 012759 20 THE WITNESS: That's right. 01:25:23 21 so to tie into your question, I knew that Professor 0127:59 21 MS. McCAWLEY: -- that she submitted, you're 01:2525 22 Dershowitz was an academician. And so what I was seeing 0127.59 22 fine. 0125:29 23 now was, that according to a very, very respected 01:28:00 23 THE WITNESS: Right. So -- so what... 01:2632 24 attorney here in Florida, he had found Virginia Roberts 0128'05 24 Let's see. What did I want, at this point -- 01:25:34 25 to be credible, and had filed a lawsuit against 01:2605 25 ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 19 of 38 sheets Page 73 to 76 of 151 10/20/2015 01:07:28 PM 77 79 0128:05 1 BY MR. SIMPSON: 01:29:47 1 MS. McCAWLEY: Yeah. 01:28:09 2 Q. Do you want the question back? 01:29:49 2 MR. SCAROLA: -- who keeps jumping up and 01:28:10 3 A. No. I'm just trying to remember what I was 01:29:50 3 down and distracting everybody in the room? 01:28:12 4 thinking about with -- with regard to -- 0129:52 4 MS. McCAWLEY: And there was also profanity 0128:15 5 MR. SCAROLA: Do you need the response read 01'2054 5 used earlier. I mean, we just have to settle 01:28:17 6 back up to the point -- 01:29:55 6 down on this side, and take a deep breath, and 0128:18 7 THE WITNESS: Yeah, if you would do that, 0129:58 7 let him answer his questions. 01:2820 8 yeah. I just -- 0129:58 8 MR. SIMPSON: Look, I mean, the same thing 01:28:20 9 MR. SCAROLA: -- about privilege arose. 01:29:59 9 was happening on the other side. 01:28:20 10 THE WITNESS: Yeah. Let's just see what that 01:30:00 10 MR. SCAROLA: No, sir. 01:2820 11 one -- 01:3600 11 MS. McCAWLEY: There was no profanity on this 01:2821 12 MR. SCAROLA: Just read the last couple of 01;30:00 12 side of the table. 01:28:22 13 sentences back, or the last two sentences. 01:3060 13 MR. SCAROLA: No, no, no. There was never 01:28:31 14 THE WITNESS: Oh, I'm sorry. Now I remember 01:3003 14 anyone who jumped to their feet at any time 0128:32 15 exactly what I was thinking. 01:3066 15 during the course of the last two days. The only 01:28:32 16 How would we go find out whether Mr. Epstein 01:30:08 16 person who keeps jumping up is Alan Dershowitz. 01:28:35 17 was lending women, or in this case, underage 01:30:13 17 Have him pass you a note quietly, if you would, 01:28:39 18 girls, to Mr. Dershowitz for sexual purposes? 01'3016 18 please. 01:2841 19 Well, the first thing I want to do was ask -- you 01:30:18 19 MR. SIMPSON: I will disagree with your 01:2845 20 know, I'd -- I'd go ask Jeffrey Epstein. 01:30:19 20 characterization, but let me say the 01728:47 21 And so what I discovered when I started to 01:3020 21 argumentation - 01:2848 22 look at the transcripts, there were a number of 01:30:21 22 MR. SCAROLA: Excuse me. Are you -- are you 01:28:52 23 transcripts where Mr. Epstein was asked about 01:30:22 23 making the representation -- 01:28:55 24 Alan Dershowitz. And rather than say, well, no, 01:30:22 24 MR. SIMPSON: No, I'm not. 01:28,57 25 he wasn't involved in any of these illegal 01:3023 25 MR. SCAROLA: -- that somebody on this side ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 78 80 012000 1 activities, Jeffrey Epstein took the Fifth as the 01:30:24 1 of the room jumped up? 01:29:03 2 phrase, you know, to be more precise. He 01:3025 2 MR. SIMPSON: No, no, no, I'm not. 01:29:05 3 exercised his right against compelled 01:3026 3 MR. SCAROLA: Okay. Thank you. 01:2966 4 self-incrimination and refused to answer the 01:3026 4 MR. SIMPSON: I'm not. 01:2909 5 question, which since these were civil cases, 01:30:27 5 MR. SCAROLA: And I appreciate that. 01:29:11 6 indicated to me, since he was being represented 01:30:27 6 MR. SIMPSON: And I -- 01:29:14 7 by very experienced legal counsel, that there was 01:3029 7 MR. SCAROLA: And you do acknowledge that 01:2016 8 more than an insignificant risk of incriminating 01:30:30 8 Mr. Dershowitz has repeatedly been jumping up in 01:2919 9 himself if he answered that. 01:30:33 9 the middle of testimony, correct? 01:2920 10 And so Jeffrey Epstein now had taken the 01:30:36 10 MR. SIMPSON: That's -- he just got up and 01:29:23 11 Fifth. And one of the things that I was aware of 01:30:37 11 came over to me. That's the only time I'm aware 0129:26 12 having been involved in, you know, civil 01:30:39 12 of, because I'm -- I'm looking at the witness, 01:29:28 13 litigation and criminal litigation in other 01:3041 13 but he did just do that, and I will pass notes. 01:29:30 14 cases, was that once somebody refuses to answer a 01:30:44 14 We won't get up. 01:2032 15 question like, you know: Do you know 01:30,45 15 MR. SCAROLA: Okay. Well, I will tell you -- 01:29:35 16 Mr. Dershowitz? And they take the Fifth on that, 01:30:45 16 MR. SIMPSON: I'm not going to take time from 01:29:38 17 that you're then entitled to draw what's called 01:3047 17 this. 0129:40 18 an adverse inference. You can -- you can infer 01:30:47 18 MR. SCAROLA: I will -- I will, for the 012042 19 that, well, if they answered that question, they 01:3049 19 record, as an officer of the court, represent 01:29:44 20 would have -- 01:30:51 20 that there have been multiple times during the 01:29,44 21 MR. SCAROLA: Excuse me. 01:30:54 21 course of Professor Cassell's deposition when 0129:44 22 MS. McCAWLEY: Yeah, I want to make an 01,30:58 22 Alan Dershowitz has jumped up in the middle of 01:29:44 23 objection here -- 01:3161 23 the testimony and excitedly whispered in your 01:29,44 24 MR. SCAROLA: Pardon me. Could you please 01:31:07 24 ear. 012047 25 try to control your client -- 01:31:07 25 You may not have realized it because you were ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:07:28 PM Page 77 to 80 of 151 20 of 38 sheets 81 83 01:31:08 1 focusing on the witness, but everybody on this 01:33:11 1 review, in which he took the Fifth when asked questions 01:31:10 2 side of the room has been distracted by his 01:33:13 2 about Dershowitz. 01:31:13 3 unprofessional conduct. 01:3114 3 So, at that point, in trying to figure out, 0111:16 4 MR. SIMPSON: I'm not going to argue with 01:33,17 4 you know, whether Mr. Dershowitz was involved in 01:31:18 5 you. And I -- 01:3120 5 sexually abusing, not only Virginia Roberts, but in 01:3318 6 MR. SCAROLA: Thank you. 01:33:24 6 other girls, then you go down to the next level, next 01:31:18 7 MR. SIMPSON: -- I disagree with that 01:3126 7 layer of the criminal conspiracy. 01:31:20 8 characterization. There is another attorney 01:33:28 8 Epstein is at the top, so you go to the next 01:31:22 9 sitting between us. We will pass notes. 01:3131 9 layer. These are, you know, basically the -- the women 0111,24 10 MR. SCAROLA: Thank you. 011313 10 who, from what I could gather, were -- were older than 01:31:25 11 MR. SIMPSON: And we -- and I believe, 01:33:36 11 the age that Epstein wanted to sexually abuse. I think 01,31:29 12 Ms. McCawley, were you instructing not to answer 01,3140 12 these were 22 and 23-year-old girls, so they had, you 01:31:30 13 or what was happening? What did you -- what were 01,33:44 13 know, essentially aged out of being his sexual abuse 01:3134 14 you raising? 01:33:47 14 victims, but they continued to -- what they would do is 01:31:34 15 MS. McCAWLEY: No. There was a lot of 01:33:50 15 collect girls for him under the age of 18, that I guess 01:31:35 16 yelling going on here, so I was trying to make 01:33:5316 was in his target range. 01:31:37 17 sure that everybody was quiet -- 01:3355 17 And so what -- so the next person I wanted to 18 MR. SIMPSON: All right. 01:3358 18 talk to, you know, and get information from was Sarah 19 MS. McCAWLEY: -- so that the client could 01:34:01 19 Kellen. Sarah Kellen is on a lot of these flight logs 20 answer. 01:3404 20 with, you know, these girls that -- or women and with 21 MR. SIMPSON: All right. Let me back up. 01:34:07 21 Epstein and others, and so I wanted to talk to Sarah 22 BY MR. SIMPSON: 0114:07 22 Kellen. 01:3141 23 Q. Professor Cassell, I think you were in the 011411 23 But what I discovered there was that, when 01:31:41 24 middle of an answer? 01:3415 24 Sarah Kellen was asked about Alan Dershowitz, she took 01:31:42 25 A. i was. Yes, if I could conclude -- 01:3418 25 the Fifth, and there was -- she wasn't the only one. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 82 84 01:31:43 1 MR. SIMPSON: All right. Could the court 01:34:21 1 There was Miss Mucinska, who also took the Fifth when 01:31:44 2 reporter read me the last two lines of your 01:34:25 2 asked questions about Alan Dershowitz. 01:31:46 3 answer? 01:34:27 3 And then there was Marcin -- Miss Marcinkova 01:3146 4 THE WITNESS: Okay. 01:34:30 4 who also took the Fifth. So what we -- what I had at 01,31:46 5 (Thereupon, a portion of the record was read 011433 5 this point was Jeffrey Epstein's international sex 01:31:46 6 by the reporter.) 01:34:35 6 trafficking organization. I had the next echelon, and 01:31:46 7 BY MR. SIMPSON: 0134:38 7 both the top kingpin of the sex trafficking 01:32:26 8 Q. Okay. Can you pick up then? 01,34:42 8 organization, and the next echelon had taken the Fifth, 01.32:27 9 A. Sure. I'll pick up -- pick up the -- 01:34:46 9 had refused to answer questions about Alan Dershowitz. 01:32:27 10 Q. Okay. 011449 10 And so, at -- at that point, I was drawing an 01:32:31 11 A. So I was beginning to draw an adverse 01:3451 11 adverse inference, not just from one person, but from 01:32,31 12 inference when 3effrey Epstein, who is at the heart of 01:34:54 12 four persons, and that adverse inference was being 01:32:34 13 the sexual abuse of, not only Virginia Roberts, but 01:34157 13 strengthened by the surrounding circumstances, some of 01:32:39 14 dozens and dozens and dozens of -- of girls literally 01:35.00 14 which we have already talked about. 01:32,40 15 scattered across the globe, takes the Fifth, refuses to 01:35:00 15 One of the things that -- that really 01:32:43 16 answer the question, off the top of my head, I can't 01:35:02 16 bolstered the adverse inference that I was drawing in 01:32:46 17 recall exactly, but something along lines of: Do you 0135.55 17 this case was that I've mentioned those three girls, 011148 18 know Alan Dershowitz? And he says, I take the Fifth. 01:35:09 18 Kellen, Mucinska, and Marcinkova. They were all covered 01:3260 19 That sort of, frankly, startled me, that -- that this 0115:12 19 by a nonprosecution agreement. And the nonprosecution 01,32:55 20 international sex trafficker was taking the Fifth now 01:35:15 20 agreement was highly unusual. 01:32:57 21 when asked about Mr. Dershowitz. 01:35:17 21 1 -- I had been a federal prosecutor for 01:3101 22 And so I was stymied in trying to get 01:35:18 22 about four years, I had been a federal judge for about 01,33:04 23 information from Mr. Epstein at that point. I think 01,35:21 23 five-and-a-half years, so I had seen a lot of -- of, you 011107 24 there were two depositions, if I recall correctly off 0115:23 24 know, nonprosecution types of arrangements. And one of 01:33:09 25 the top of my head, that -- that I had an opportunity to 011626 25 the things that was very unusual in this one is, it has ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 21 of 38 sheets Page 81 to 84 of 151 10/20/2015 01:07:28 PM 85 87 01:35:29 1 what I'll refer to as the blank-check immunity 01:37:40 1 that are said there, but Alessi puts Mr. Dershowitz at 01:35:33 2 provision. 01,37:46 2 the nest of this international sex trafficking 01:35:34 3 There was a provision in the nonprosecution 01:37:47 3 organization. Let's see. I think he said four or five 01:3636 4 agreement that said, this agreement will prevent federal 01:37:51 4 times a year, two or three -- you know, two or three 01:35:40 5 prosecution for international and interstate sex 01:37:55 5 days when he goes there. 01:35:43 6 trafficking, not only of Jeffrey Epstein, and not only 01:3766 6 And let's be clear, I know Mr. Dershowitz had 01:35:46 7 of the four women who were identified, but -- and this 01:37:58 7 said at some points like, I'm an attorney, and that's my 01:35:49 8 is a direct quote: Any other potential co-conspirator, 01:38:00 8 client and so forth. And Alessi said, no, but this was 01:35:53 9 close quote. 01:38:03 9 not in a -- in a lawyer/client capacity; this is in a 01:35:55 10 And so that was unusual because what it -- 01:38:09 10 friend capacity. 01:35:57 11 what it seemed to be doing was that somehow this 01:38:10 11 And so now we have Alessi putting him there 01:3568 12 agreement was quite out of the normal and had been 01,38:1212 at the same time when young girls were there. And one 01:36:00 13 designed to extend immunity to other people that might 01:38:15 13 of the -- the -- the things that I picked up, so is 01:36:04 14 have been associated with Epstein. 01:38:17 14 Alessi -- you know, is he able to figure out who these 01:36:05 15 And I knew that that category included the 01:38:19 15 girls are? 01:36:09 16 people that were involved in negotiating this highly 01:38:20 16 A photograph of Virginia Roberts is shown to 01:36:11 17 unusual provision included Mr. Dershowitz, who had been 012822 17 Juan Alessi in the deposition, and he I.D.s the 01:36:14 18 heavily involved, not only in the drafting of the 01,38:26 18 photograph as, you know, V.R., so he -- he had, you 01:36:18 19 agreement, but had also been involved remarkably in 01:38:30 19 know, put two and two together. 01:3622 20 attacking the credibility of these girls and saying 0128:30 20 So now I've got V.R. coming to the house at a 01:36:25 21 things like, you know, it was -- Epstein wasn't 0128:34 21 time when Mr. Dershowitz is also in the house, and 01:36:28 22 targeting minor girls, which just struck -- you know, I 01:38:37 22 apparently spending, you know, two to three nights there 01:36:33 23 was -- I don't want to use a technical term, 01:38:40 23 and doing this four or five times a year. 01:36:35 24 gob-smocked, that a defense attorney with an obligation 01:38:45 24 Now, Alessi wasn't the only one. There was 01:36:37 25 to tell the truth was making a factual representation ESQUIRE DEPOSITION SOLUTIONS 01:38:48 25 Alfredo Rodriguez who was there in about 2004 to 2005, ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 86 88 01:36:42 1 that Jeffrey Epstein was not targeting minor girls, when 01:3863 1 after the time period of Virginia Roberts, but it's part 01:36:44 2 the Palm Beach Police Department had collected, you 01:38:56 2 of the common scheme or plan that we've been discussing 01:3647 3 know, 23 of them that had all given essentially 01:38:59 3 here. 01:36:50 4 interlocking stories about how they had all gone over to 01:3659 4 And so in 2005, Alfredo Rodriguez says, yeah, 01:36:54 5 this house, you know, the mansion, to give a massage and 01:39:02 5 again, Mr. Dershowitz is there at a time when these 01:36:57 6 when they had gotten there, they had been sexually 01:39:05 6 massages are going on. When you start to look at Alessi 01:36:58 7 abused. 01:39:09 7 and Rodriguez's statements in context where they're -- 01:3658 8 So the kingpin wouldn't talk. The next 01:39:14 8 they're saying he's there at the same time the massages 01:37:01 9 echelon of the trafficking organization wouldn't talk. 01:3616 9 are occurring, and with the West Palm Beach Police 01:37:03 10 So the next step was to say, okay, let's see if we can 01:39:19 10 Department reports showing that massages are of a sexual 01:37:06 11 find somebody, you know, lower level in there, you know, 01:39:22 11 nature, again, it started to put two and two together. 01:37:08 12 a household employee or something like that; maybe they 01:3626 12 One of the things that was particularly 01:37:10 13 will have some information about, you know, what this 01:39:30 13 important about Rodriguez's situation was that Rodriguez 0127:12 14 criminal organization is doing. 01:39:34 14 had an access to what's been called the little black 01:37:14 15 Now, let's -- let's understand, you know, 01:3938 15 book, or I think he referred to it as the holy grail. 01:37:16 16 given the pervasiveness of the -- of the criminal 01:39:40 16 This was Jeffrey Epstein's, you know, telephone book 01:37:19 17 activity, I -- I wasn't convinced that they were going 01:39:42 17 where he had telephone numbers in it. 01:3721 18 to be able to get in there and start saying exactly what 01:39:45 18 And so Rodriguez had that and, you know, I 01:3724 19 was going on because they might well be exposing 01:3648 19 guess thought that this would be worth a lot of money 01:37:26 20 themselves to criminal -- you know, criminal 01:3650 20 because it would -- you know, it would identify all of 01:3729 21 culpability. 01:3652 21 the people that have been sexually abused by -- by 01:37:30 22 But I -- I was able to read a sworn 01:3654 22 Jeffrey Epstein. And so he tried to sell it. The FBI 01:37:32 23 deposition from Juan Alessi, and Juan Alessi -- I 01:3657 23 busted him for that. 01:37:37 24 think -- I don't know. Maybe just to speed things up 01:39:58 24 And when the FBI busted him, now he's got 01:37:38 25 today, I won't go through all the things that are -- 01:40:00 25 this book. And so the book went to Alessi, and ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:07:28 PM Page 85 to 88 of 151 22 of 38 sheets 89 91 01:40:05 1 according to a -- to a later FBI report, Alessi 01A2:32 1 a lot of money. I mean, Epstein was identified as a 01A0'.07 2 identified information that was pertinent to the FBI's 01:42:32 2 billionaire in this article, billionaire with -- with a 01A0:07 3 investigation. 01:4Z38 3 B, so the record is clear. 01:40:11 4 And so when I look at the little black book 01A2:39 4 But he said, look, if Epstein lost all his 01:40:14 5 that I have seen copies of, there are a handful of names 01:42:43 5 money -- I'm paraphrasing here -- I would be, you know, 01:40:17 6 in that black book that have been circled, apparently by 01A2.44 6 happy to walk down, you know, the Coney Island Boardwalk 01:40:22 7 Mr. Rodriguez, and one of the names that's -- that has 01:42:47 7 with him and discuss things with him, as -- you know, 01:40:25 8 been circled is Alan Dershowitz. And so that, to me, 01:42:49 8 even if he didn't have any money. 01:40:30 9 was suggesting that Mr. Rodriguez had identified, you 01A2:50 9 So now I'm seeing Dershowitz is a very close 01:40:35 10 know, Alan Dershowitz as somebody who had information 01:42:54 10 personal friend of Jeffrey Epstein. And then I started 01:40:38 11 about this -- this international sex trafficking ring. 01:42:58 11 to look at flight logs. There were -- there were some 01:40:40 12 But just as a side note, but an important 01:43:01 12 very interesting things that I noticed on the flight 01:40:42 13 note, when the -- the thing that was circled on the Alan 01:43:04 13 logs. 01:40:46 14 Dershowitz page was not a single phone number 01:43:04 14 One of the things I noticed was when I began 01A0:49 15 indicating, you know, somebody had bumped -- you know, 01:43:07 15 to, you know, get into this, that, you know, I was 01,40-51 16 Epstein had bumped into at one point. I believe there 01:43:13 16 wondering, well, what -- well, how do these flight logs 01:40:56 17 were 10 or 11 phone numbers that were associated with 01'4314 17 come into the possession of, you know, law enforcement 01:40:57 18 Mr. Dershowitz that had all been circled and an e-mail 01:43:16 18 agencies? And the answer turned out to be that they had 01:41:00 19 address as well. 01:4320 19 been provided by Epstein's defense attorney and -- and, 01:41:02 20 So that started to corroborate my sense that 01:4323 20 you know, coincidentally, I suppose, or in my mind, 01'41:05 21 Mr. Dershowitz was, indeed, a very close friend of 01:43:27 21 suspiciously, they were not provided by just any defense 01:41:10 22 Jeffrey Epstein. Now, I had then continued to do -- 01A3:30 22 attorney on this rather large defense team. They were 01:41:14 23 there's been reference today to, you know, using Google 01:43:33 23 provided by one attorney according to Detective Recarey. 01:41:16 24 to do research and so forth. So I Googled Jeffrey 01:43:36 24 Detective Recarey testified under oath that the flight 01:41:20 25 Epstein and one of the things that pops up rather 01:43:39 25 logs were provided to him by Alan Dershowitz. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331.4400 (954) 331-4400 90 92 01A1:22 1 rapidly is an article in Vanity Fair. 01:43:41 1 So one of the things that was -- was 01:41:25 2 And what you see in that article is, you 01:43:43 2 interesting is, Dershowitz has had access to these 01:41:28 3 know, discussion about Mr. Epstein, but when you're 01:43:45 3 flight logs, and now I'm beginning to wonder, well, has 01:41:33 4 trying to do a profile of someone, you try to figure out 01:43:48 4 there been an opportunity to sanitize those flight logs 01:41:34 5 who that person's closest friends are. 01:43:50 5 or remove any incriminating information? 01:41:35 6 And so the Vanity Fair author had gone to 01:43:52 6 And -- and one of the things that was 01:41:38 7 Alan Dershowitz, you know, our -- Mr. Dershowitz here, 01,43:54 7 interesting about the flight logs that were produced -- 01:41:42 8 and had asked him, hey, what do you know about Jeffrey 01:4356 8 I believe just so the record is clear, that was Exhibit 01:41:45 9 Epstein? 01:44:02 9 1 that -- if we could -- if I could refer -- I need to 01:41:46 10 And, again, off the top of my head, you want 01A4104 10 refresh my recollection as to -- well, I don't -- you 01:41:47 11 to know what I can remember right now. What I can 01:44:07 11 may not want me to look at documents. 01:41A9 12 remember right now is that in the Vanity Fair article, 01'44:08 12 It was either Exhibit 1 or 2 this morning 0141:53 13 the -- in the Vanity Fair article, Mr. Dershowitz said, 01:44:11 13 during Dershowitz's deposition which was covering a time 01:41:59 14 I've written 20-some odd books; there's only one person 01:44:15 14 period of January to, I believe, September 2005. These 01A2:03 15 outside my immediate family with whom I share drafts, 01:44:20 15 were flight logs that were produced by Mr. Dershowitz to 0142:06 16 and that's Jeffrey Epstein. 01:44:23 16 the Palm Beach Police Department. 01.42:08 17 So I took that as indicating a -- a very 01:44:25 17 And you wonder why did they stop in 01:42:10 18 close personal association that -- you know, among the 01A4.27 18 September -- you know, why stop in September 2005? 01:42'13 19 people that -- that obviously he's sharing this -- these 01:44'31 19 What's the significance of that? Well, later on, 01A2:15 20 kinds of things that he wants evaluated before he shares 01:44'35 20 additional flight logs were obtained, and sure enough, 01:42:18 21 them with the broader world, there's his immediate 01:44:39 21 who shows up on an October 2005 flight log with Jeffrey 01:42:21 22 family and then there's -- there's Jeffrey Epstein. 01:44:45 22 Epstein? Mr. Dershowitz. 01:4223 23 There was also another similar quote in the 01:44:46 23 So that led to a suspicion that 01:42:24 24 article that indicated that -- that Mr. Dershowitz said 01:44:49 24 Mr. Dershowitz had provided to the Palm Beach Police 01:42:29 25 that he wasn't interested in Epstein just because he had 01:44:52 25 Department flight logs that, the time period of which ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 23 of 38 sheets Page 89 to 92 of 151 10/20/2015 01:07:28 PM 93 95 01:44:54 1 for the production had been carefully crafted to keep 01:46:33 1 THE WITNESS: Right. No, I mean, I want to 01:44:57 2 him out of it; in other words, to not produce the 01:48:36 2 make -- I want to make clear that there was a lot 01:4459 3 October 2005 version. 01:46:37 3 of information that I was relying on in filing 01:45:03 4 The other thing I -- I began to discover as I 01,46:40 4 this pleading, and -- and, of course, the later 01:45:05 5 started going through some flight logs, Dave Rogers, who 01:46.42 5 pleading. So we are on the subject of flight 01:45:08 6 is one of I think about three pilots that -- that 01:46:44 6 logs. 01:4610 7 Epstein regularly relied on to fly his -- you know, he 01:46:44 7 Flight logs showed that the flight logs 01:45:13 8 had very fancy -- to use the technical term -- jets. 01:4646 8 Mr. Dershowitz had produced to Detective Recarey 01:45:18 9 There were about -- there were about three pilots there. 01:46:49 9 were incomplete and inaccurate. And so that led 01:45:20 10 One of them had some flight logs and that -- 01:46:52 10 to concern on my part that Mr. Dershowitz had had 01:45:24 11 that was Pilot Dave Rogers, if I'm recalling his name 01:46:55 11 an opportunity to sanitize the flight logs, 01:45:26 12 correctly. And so later on in the litigation, the sex 01:46:57 12 had -- had -- had provided incomplete production, 01:45:30 13 abuse litigation against Epstein, flight logs were 01:47:01 13 you know, obviously, very important production 01:45:34 14 obtained from Dave Rogers, and it was possible to -- to 01:47:02 14 that the Palm Beach Police Department was looking 01'4637 15 compare -- I'm sorry. I don't mean to -- I want to make 01:47:05 15 at. 01:4640 16 sure I get -- you know, the question is: How much can -I 01:47:06 16 Then we got some additional flight logs from 01:45:42 17 remember and I'm trying to make sure I get -- get it all 01:47:09 17 Dave Rogers. And what those flight logs 01:45:44 18 in. 01:47:11 18 showed -- first off, let's talk again about 01:45:45 19 And so the flight logs were produced from 01:47:14 19 the -- the production of those flight logs. 01:45:48 20 Dave Rogers. And so Dave Rogers produced some flight 01:4717 20 My recollection is that Dave Rogers's flight 01:45:51 21 logs, and some of the flights that he produced logs for 01:4721 21 logs were provided by Bruce Reinhart who was a 01:45:56 22 coincided with the logs that Mr. Dershowitz had provided 01:47:24 22 former Assistant U.S. Attorney who had been 01:45:59 23 to the Palm Beach Police Department, and there were 0147-26 23 inside the Southern District of Florida Office at 01:46:01 24 inconsistencies. And so that, again, aroused my 01:47:29 24 a time when the Epstein case was the subject of 01:46:05 25 suspicion that maybe Mr. Dershowitz when he had -- 01:47:32 25 regular discussion in that office. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 94 96 01:46:08 1 MR. SCOTT: I just got a call from a lawyer 01:47:33 1 And then he had gone to work for some kind of 01:4609 2 on the screen. His -- his phone is not working, 01:47:36 2 a -- a law firm or private operation that was 01:4610 3 Epstein's lawyer, Darren Indyke. 01:47:39 3 located adjacent to Mr. Epstein's business. And 01:46:10 4 MR. SIMPSON: Why don't -- 01:47:44 4 so, now, Reinhart, who appeared to be being paid 01:46:15 5 MR. SCAROLA: Do you want to take a break for 01:47:48 5 by Mr. Epstein, and certainly was adjacent to 01:46:17 6 a second? 01:47:49 6 Mr. Epstein's business office, was producing 01:46:17 7 MR. SIMPSON: Well, why don't -- well, why 01:4761 7 these flight logs. 01:46:17 8 don't we let him finish his answer? 01:47:52 8 So that, again, aroused suspicion that the 01:46:18 9 MR. SCAROLA: Let him finish the answer. 01:47:54 9 flight logs that were being produced would have 01:46:20 10 MR. SCOTT: Yeah, lets do that. You're 01:4757 10 been sanitized or inaccurate. 01'46:20 11 right. 01:47:58 11 But even -- I mean, you know, I think the 01:46:21 12 MR. SCAROLA: Although it may take a while. 0148:00 12 problem with -- you know, you cant sanitize 01:4621 13 THE WITNESS: It -- its, I mean, the 01:4602 13 everything. That would be too suspicious. And 01.46:21 14 question -- 01:48:04 14 so what -- what was -- was -- what was evident on 01:46:21 15 MR. SCAROLA: Yeah. But lets -- 01:4607 15 these flight logs was, for example, approximately 01,4625 16 MR. SCOTT: I don't care. 01:48:11 16 ten flights by Mr. Dershowitz with Tatiana has -- 01:46:25 17 MR. SCAROLA: Okay. Lets -- let's go ahead 01:48:18 17 has been discussed; with Maxwell; with Jeffrey 01:46:27 18 and finish. 01.48:21 18 Epstein. One of them had one female, which, 01:46:27 19 MR. SCOTT: Let's go ahead and finish the 01:48:25 19 again, in the context that I was looking at, 01:46:29 20 answer. We heard this much. 01.48:27 20 seemed to be a potential code word for 01:46:29 21 MR. SCAROLA: Good. Thank you. 01:48:28 21 underage -- underage girl. 01.46:29 22 THE WITNESS: Okay. So there -- 01:48:32 22 And so those flight logs showed, you know, 01:46:31 23 MR. SCOTT: I don't want to break him on a 01:48:35 23 again, close association and travel with -- 01.46:32 24 roll. 01,48.40 24 with -- with -- with Mr. Dershowitz, and 01:4633 25 MR. SCAROLA: Thanks. 0148:47 25 Mr. Epstein. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:07:28 PM Page 93 to 96 of 151 24 of 38 sheets 97 99 01:48:51 1 Another thing that I had, and I will not 01:50:19 1 going into any confidential communications or 01748:53 2 reveal any privileged communications here or any 01:50:22 2 trying to waive in any way, I knew that David 01:48:56 3 confidential information, but on December 30th, I 01:5024 3 Boies had agreed to represent Virginia Roberts, 01:48:59 4 was aware that one of the preeminent lawyers in 01:5027 4 which gave me additional confidence in the fact 01:49:02 5 the United States, David Boies, had agreed to 01:50:30 5 that I was also representing this young woman in 01,49:07 6 represent Virginia Roberts. And given the vast 01:50:34 6 her effort to bring sex traffickers to justice, 01:49:11 7 amount of business that -- that, you know, tries 01:50:37 7 and those who had sexually abused her to justice. 01:49:13 8 to get in the door -- 01:5641 8 And so those are things that come to mind 01A9:15 9 MR. SIMPSON: Could I interrupt? I mean, I 01:50:46 9 immediately as -- let me just take a second and 01:49:17 10 think we are going towards a waiver here. 01:50:50 10 see if there were other things regarding 01:49:19 11 MS. McCAWLEY: Yeah. No, no, no, I do not -- 01:50:56 11 Dershowitz that -- that come immediately -- 01:4920 12 MR. SIMPSON: We can't have testimony 01:51:01 12 immediately to mind. 01A9:21 13 about -- 01:51:03 13 Oh, one of the things was in the Jane Doe 102 01A921 14 MS. McCAWLEY: Yeah. 01:51:09 14 complaint, which alleged academicians that had -- 01:49:22 15 MR. SIMPSON: -- this is one of the most 01:51:14 15 that had abused -- sexually abused Jane Doe 3, 01A922 16 respected people in the country, or lawyers in 01:51:19 16 there -- there were -- so that raises a question, 01:49:26 17 the country, and then you won't answer the 01:51:24 17 obviously, of who were the academicians that Bob 01:4926 18 questions -- 01,51:30 18 Josefsberg had identified? 01:49:26 19 THE WITNESS: Okay. 01:51:31 19 I can't recall, actually. Let me -- the 014928 20 MR. SIMPSON: -- you said not to answer. 01:51:33 20 record should be clear, I can't recall 01:49:28 21 MS. McCAWLEY: Oh. Well, describing David 01:51:34 21 immediately whether it was singular or plural. 01:49:30 22 Boies in general -- 01:5116 22 It may have been plural, but if it's singular, I 0149:30 23 MR. SIMPSON: I agree with the description. 01:51:36 23 don't want to suggest that there were other 01A9:31 24 MS. McCAWLEY: -- doesn't constitute a 01:51:40 24 academicians, but at least one academician had 01:4922 25 waiver. 01:5142 25 sexually abused Jane Doe 3, according to the ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 98 100 01:49:32 1 MR. SIMPSON: He's a distinguished lawyer. 01:51:45 1 complaint that had been filed by Bob Josefsberg. 01:49:32 2 MR. SCAROLA: And I don't think we are 01:5148 2 There were two things that were of interest 01:49:33 3 getting beyond anything that is a matter of 01:51:49 3 to that: One was that Mr. Epstein, the man that 01:49:37 4 public record. 01:51:51 4 I wasn't able to get information from because he 01:49:37 5 MR. SIMPSON: I just -- I -- 0,51:54 5 was invoking the Fifth, had refused or declined 01:49:38 6 MS. McCAWLEY: But I appreciate you -- 01:51:57 6 to file an answer to that complaint. 01:49:38 7 MR. SIMPSON: Be aware of waiver. 01:52:00 7 Rather than deny the allegations, he had, 01:49:39 8 MS. McCAWLEY: -- letting me know that. 01:5203 8 ultimately, it's my understanding -- I don't have 01:4940 9 THE WITNESS: All right. I will be -- I will 01:52,05 9 inside information and I'm not trying to waive 01:49:41 10 not waive anything, and if I start to do that, I 01:52:07 10 any information, but my understanding is that 01:49'43 11 would certainly request the opportunity to -- to 01:52:09 11 rather than answer the complaint, he settled the 0149:4512 retract what I'm doing, but I was aware -- since 01:52:11 12 case through the payment of some kind of 01:49:48 13 the issue is, well, what's in the public record, 01:52:13 13 compensation that lane Doe 102 found desirable 01:49'50 14 I was aware that, you know, probably the most 01:52:17 14 for dropping her claim. 01:49:52 15 significant United States Supreme Court case 01:5219 15 The other thing that I found interesting is 01:49:55 16 argued in the last 20 years was Bush versus Gore, 01:52:21 16 that 3osefsberg's partner, I believe it is, 01:49:58 17 which was a case that essentially determined who 01:52:25 17 Miss Ezell, had been to some of the depositions 01:50:01 18 was going to be President of the most powerful 01:5229 18 of, for example, I believe Juan Alessi and 01:50:03 19 country in the world. 01:52:33 19 Alfredo Rodriguez. And I believe at least one of 01:50:04 20 There were two attorneys who argued that case 01:5235 20 those, and perhaps both of those. And she had 01:5065 21 in front of the United States Supreme Court, and 01:52:36 21 asked questions about Alan Dershowitz in those 01:50:07 22 arguing for the Democratic Presidential 01:52:39 22 depositions, but had not asked questions about 0150:10 23 Candidate, Al Gore, was David Boies. 01:52:42 23 other academics in those depositions. 01:50:12 24 He had put his credibility on the line in 01524524 So that led me to conclude that Bob 01:5016 25 arguing the Bush versus Gore case, and without 01:52:51 25 Josefsberg and his outstanding law firm had ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 25 of 38 sheets Page 97 to 100 of 151 10/20/2015 01:07:28 PM 101 103 01:52:51 1 identified Alan Dershowitz as someone who had 02:0923 1 let me clear all of that misunderstanding up. 01:52:54 2 information relevant -- and let's be clear, that 02:0925 2 You know, that's -- frankly, if I had gotten 01,52:56 3 this is not a lawsuit about some contract dispute 020928 3 something like that, that's what I would have 01:52:58 4 or something -- that he was someone who had 02.09:29 4 said. 01:53:00 5 information relevant to the sexual abuse of 02:0030 5 The answer that came back was -- from 01:53102 6 underage girls and, indeed, they were asking 02:09:32 6 Mr. Dershowitz was something along the lines of, 01:53:05 7 questions about what information -- what 020134 7 if I remember correctly, well, tell me what 01:53:07 8 information he might have. 02:0136 8 you -- you -- tell me what you want to know and 01:53:09 9 Another -- I know, I remember now, there's a 02:09:38 9 I'll decide whether to cooperate, was I think 01:53:11 10 whole other line of things that -- that I had in 02:0041 10 the phrase that was used. And -- and so there 01:53:13 11 mind at the time, and I think since you want to 020043 11 was an attempt, you know, a 2009 attempt, a 2011 010316 12 test my memory -- I'm not -- let me be clear. 02:09:46 12 attempt to get information from Mr. Dershowitz. 01:5319 13 I'm not claiming I have a superb memory. I have 02:09:49 13 Then there was another subpoena without 01:53:21 14 an average memory, but this is a subject that's 02:09:52 14 deposition for -- for documents. You know, we 01:5322 15 very important to me, and so I've worked, you 0209:54 15 have heard a lot about records in this case that 01:53:26 16 know, very hard to get all the information. 02:09:57 16 could prove innocence. There was a records 01:53:31 17 I would like to take a break. 02:09:58 17 request to Mr. Dershowitz in 2013. And, again, 01:53:32 18 MR. SCAROLA: Sure. Take a break. 021001 18 my understanding was that there was no -- you 01:53:33 19 THE VIDEOGRAPHER: We are going off the video 02:1003 19 know, no documents were provided on that. 01:53:36 20 record, 3:27 p.m. 021007 20 And so those -- I had that information. 02:07:43 21 (Thereupon, a recess was taken.) 02:10:11 21 Another bit of information that I had was that in 02:07:4322 THE VIDEOGRAPHER: We are back on the video 021014 22 2011, I believe in early April -- this is not 0208:03 23 record, 3:41 p.m. 02:1019 23 attorney/client privileged information from 020006 24 THE WITNESS: I want to continue my answer. 0210:21 24 Virginia Roberts. This is a telephone call that 02:08:08 25 I'm sorry. I got emotional there for a moment. 02:1023 25 she placed from Australia where she had been ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 102 104 02:08:12 1 I want to do a good job for Virginia Roberts 02:1027 1 essentially forced into hiding by Jeffrey 02:08:12 2 on -- on representing all the -- the evidence 02:1028 2 Epstein. She managed to escape and was hiding 02:08:14 3 that is available to support her. 02:10:31 3 out in -- in Australia, and that she would -- 02:08:16 4 The next thing that I was thinking of was, 02:10:35 4 that somehow, you know, Mr. Scarola and 02:08:19 5 all right, then the question is: Well, what does 02:1038 5 Mr. Edwards were able to reach her and there was 02.08:23 6 Mr. Dershowitz have to say about all this? So I 02:10:41 6 a telephone call that was made. 02:08:27 7 started to look at the information on that as 0210:43 7 And in that telephone call she identified 02:08:28 8 well. 02:10:46 8 Alan Dershowitz as someone who would have 02:08:29 9 In 2009, there had been a deposition request 0210;48 9 relevant information about Jeffrey Epstein and 02:08:34 10 sent to Mr. Dershowitz, and I -- I saw a document 0210:50 10 the sexual abuse of underage girls. 02:08:37 11 showing that that had actually been served on -- 02:10:53 11 And so I had that information as well. So 02:08:40 12 on him, and, you know, to the extent that what I 0211,01 12 that, as I understand, the question was: What 02:08:44 13 saw was a -- I think a receipt from the process 02:11:01 13 could I recall off the top of my head with regard 02:08:48 14 server, or something along those lines, so I saw 02:11:05 14 to the factual basis for information connecting 02:08:51 15 attempt to contact him in -- in 2009. 021107 15 Mr. Dershowitz with the sexual abuse of minor 02:08:53 16 And then I saw an additional attempt to 02:11:12 16 girls, plural, and that, sitting here at this 02:08:55 17 contact him in 2011. Mr. Scarola had sent him a 0211.15 17 moment, is the best that I can recall for the 02:09:01 18 note and there was, you know, some back and 021118 18 information along those lines. 02,09:03 19 forth. The -- the one note that -- that jumped 021118 19 BY MR. SIMPSON: 02:0906 20 out to me was one in which Mr. Scarola had 02:1121 20 Q. Was that answer -- 02:09:09 21 written to Mr. Dershowitz, I think the phrase 02:11:21 21 MR. SCAROLA: Excuse me. Before -- before 020912 22 was: Multiple witnesses have placed you in the 02,1123 22 you go on to another subject, Professor Cassell 02:09:14 23 presence of Jeffrey Epstein and underage girls; I 0211:26 23 is entitled to refresh his recollection to give 02:09:18 24 would like to depose you about those subjects. 02.11:29 24 you a complete response. So why don't you go 020921 25 And the answer that came back was not, well, ESQUIRE DEPOSITION SOLUTIONS 02:11:31 25 ahead and do that now. Make sure you've covered ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:07:28 PM Page 101 to 104 of 151 26 of 38 sheets 105 107 0211:34 1 everything. 02:12:45 1 document produced by the witness was marked for 021114 2 MR. SIMPSON: I'm -- I think I get to ask the 011145 2 identification.) 0211:35 3 questions, but I was going to ask the same 02:1110 3 THE WITNESS: All right. So let me -- if I 02:11:38 4 question. 02:13:11 4 could look at this to see if it -- the top 0111:39 5 MR. SCAROLA: Wonderful. We are on the same 021113 5 portion of it to see if it refreshes my 021 1A0 6 page. 02:13:13 6 recollection about -- 02:11:40 7 BY MR. SIMPSON: 021113 7 BY MR. SIMPSON: 02:11:41 8 Q. Mr. Cassell, you -- you mentioned that you 02.13:16 8 Q. Could I just see it for one second? 02:11:43 9 had something that you had prepared -- 02:13:18 9 A. Sure. Absolutely. 02:11:44 10 A. Yes. 02:13:21 10 Q. All right. Yeah. Let me just clarify one 0211:44 11 Q. -- that would summarize -- 02:13:27 11 point before you do that. 02:11:46 12 A. Right. 02:1127 12 A. Yes, sir. 02:11:46 13 Q. -- your knowledge. 02:1327 13 Q. In your answer, were you referring to the 0211:48 14 A. Right. 02:1128 14 evidence you could recall or the information you could 02:11:48 15 Q. And now that you have exhausted your 02:13:30 15 recall that supported your allegations as to both 32:11,51 16 recollection, could you produce that and let's just mark 02:13:34 16 Virginia Roberts and other minors, or were you treating 3211:54 17 it -- 0213:36 17 those separately? 02:11:54 18 A. Yeah, sure. 02:13:37 18 A. No, I was not treating those separately. I 0211:55 19 Q. -- as an exhibit? 02113919 was -- for me, there's a common -- what -- what the law 02:11:56 20 MR. SIMPSON: We are up to Exhibit 3, I 02:114220 refers to as a common scheme or plan in a -- 0211:59 21 believe. Cassell 3. 02:13:42 21 Q. Okay. 02:12:01 22 THE WITNESS: Right. Now, there -- there are 0213:44 22 A. -- a criminal conspiracy for international 0212:01 23 two parts to this -- 02:13:46 23 trafficking that involved not just a single girl, but 02:12:02 24 MR. SIMPSON: Can we mark it first and 02:13:49 24 multiple girls. So the answer was -- was with respect 021102 25 then -- 02:1352 25 to -- to multiple girls. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 106 108 02:12:04 1 THE WITNESS: Yeah. I just want the record 02:1153 1 Q. Okay. So I may have some questions to 02:1106 2 to be clear, that I'm only looking -- there's -- 02:13:56 2 distinguish further between those two -- 02:12:07 3 there's a pre-December 30th section and a 02:13:57 3 A. Yes. 02:12:10 4 post-December 30th section, so the top part is 02:1158 4 Q. -- but is it fair to say that -- and I 0/12:13 5 the -- is what I was working off of. 02,14:02 5 realize you're going to refresh your recollection, but 02:1113 6 BY MR. SIMPSON: 02:14:05 6 that you had exhausted your recollection of the basis 02:12:15 7 Q. Okay. 021407 7 for the allegation in this Exhibit 2, the motion to join 0/1115 8 A. Now, underneath this is -- you know, if you 02:14:14 8 as to both Miss Roberts and other minors? 0112:18 9 have questions about what happened after December 30th. 011417 9 A. Yes. 02:12:19 10 Q. So you're -- you're prepared to produce the 02,1417 10 Q. Okay. So then, now, take a look at that and 02:12:22 11 entire document, but you're clarifying? I don't -- I 02:14:20 11 tell me if there's anything there that refreshes your 02:12:24 12 don't want to ask you -- if you're going to use it in 02:14:25 12 recollection as to something that you have not yet told 02:12:26 13 your testimony, then we will mark the whole thing. 02:14:28 13 me about. 021127 14 MR. SCAROLA: Mark the whole thing. You can 02:14:29 14 A. So this refreshes my recollection. Sarah 02:12:30 15 use it. 02:14:46 15 Kellen. I think I referred to her as Miss Kellen. 02:12:30 16 MR. SIMPSON: Mark the whole thing and I'll 02:14:49 16 Sarah Kellen was the first name. 02:12:30 17 ask you about it. 02:14:52 17 Nadia Marcinkova, Nadia was the first name 0112:30 18 THE WITNESS: That would be great. 02:1453 18 there. Adrianna Mucinska was the full name of those -- 02:12:33 19 Absolutely. 0214:58 19 that's the second echelon of the -- of the -- of the 02:12733 20 MR. SIMPSON: All right. I'm going to ask 02:15:00 20 criminal conspiracy. 011215 21 the court reporter to mark as Cassell Exhibit 3, 02:15:06 21 Oh, this refreshes my recollection that 0112:39 22 a one-page document that the witness has just 0/15:08 22 Jeffrey Epstein had answered some questions in the civil 02:12:42 23 handed to me. It's mostly typed. It has some 02:15,11 23 litigation. He provided, for example, names of -- of 0112:44 24 handwriting on it. 02,15:15 24 some people who were involved, but he took the Fifth 02:12:45 25 (Cassell I.D. Exhibit No. 3 - one-page 02:15:18 25 when asked -- he took -- he provided names of some ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 27 of 38 sheets Page 105 to 108 of 151 10/20/2015 01:07:28 PM 109 111 021521 1 people who would have relevant information in the civil 02:1860 1 strategy to sort of stall the investigation to say: 02:15:25 2 cases, but when asked in deposition about 0218:03 2 Well, we will get you Epstein; oh, we can't meet now; 02:1629 3 Mr. Dershowitz, he took the Fifth. 02:18:03 3 oh, we will get it now -- and then -- and so forth. 02:15:31 4 So I -- I found it significant that for some 021864 4 And one of the things that I noted from all 02:15:33 5 people, he was willing to answer questions, but with 02:18:06 5 that was that Mr. Dershowitz, as Mr. Epstein's attorney, 0215:35 6 regard to Mr. Dershowitz, he took his -- he invoked his 02:18:09 6 never ultimately produced Epstein for a meeting with the 02:15:39 7 Fifth Amendment right against compelled 0218:14 7 Palm Beach Police Department, having made another offer. 02:15:41 8 self-incrimination presumably because revealing what he 021817 8 Now, obviously, something could have happened 02:15:44 9 knew about Mr. Dershowitz would, you know, cause 02:18:19 9 there. I mean, I don't -- you know, I don't know what 02:15:48 10 criminal -- criminal charges potentially to be filed 02:18:21 10 was the communications and so forth, but as an attorney 02:15:51 11 against him. 02:18:24 11 trying to get information and unable to do that, I had 021652 12 There was a common scheme or plan, and I'll 02:18:26 12 to make some reasonable inferences. 021608 13 elaborate on that in a moment, but yeah, one of -- so 02:18:29 13 And so one of the inferences I began to draw 02:16:14 14 this was another point. I mentioned that -- that there 021631 14 was that this was a stall tactic by Mr. Dershowitz, and 0216:17 15 had been three efforts to get information from 02:18734 15 in my view, potentially, an unethical one, but I 021518 16 Mr. Dershowitz by way of a 2009 deposition request, a 02:1637 16 don't -- I don't think we need to get into that in this 02:16:23 17 2011 deposition request, and further follow-up 02:18:39 17 litigation. 02:16:26 18 correspondence from counsel on that, and a 2013 document 02:18:40 18 What I saw was a stall tactic going on, 02:16:31 19 request all propounded to Mr. Dershowitz that had not 02:18:44 19 and -- and the reason I think it was a stall tactic, as 02:16:34 20 gone answered. 02:18:46 20 we are sitting here now in, what is it, October of 2015, 021635 21 Yeah, and this was -- yeah, I'm sorry, this 02:1651 21 and Mr. Epstein has never been willing to answer 0216:37 22 slipped my mind at the time -- but when -- when we saw 0218:54 22 questions about his sexual abuse of these girls. 02:164O 23 Mr. Dershowitz not responding to these answers, you 02:1868 23 And this was back in around -- what was it? 02:16:44 24 know, maybe the mail didn't get delivered to him or 02:19.01 24 I guess it would be 2005, 2006, you know, roughly a 021646 25 something like that. I don't -- I suppose that's, you 0219:04 25 decade ago, Mr. Dershowitz was offering to make Epstein ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 110 112 02:18:48 1 know, a theoretical possibility. 02:1607 1 available. And then that never happened, and given the 02:18:50 2 But -- but the reason I ruled out that 02:1511 2 ten-year pattern that -- that developed -- I guess I 02:1652 3 possibility, first, it didn't seem likely; but secondly, 02:1612 3 should go back. I'm sorry. Let me correct my answer. 02:16:55 4 there was a pattern of Mr. Epstein's associates evading 02:19:14 4 We should go back to December 30th, 2014. So 0216:59 5 efforts to get information from them. 02:19:17 5 there -- there appeared to be about an eight-year period 021762 6 And so let me just go back to the earliest 021621 6 of time during which Mr. Epstein had refused to answer 0217:05 7 instance of that. According to the Chief of Police in 021924 7 any questions about his sexual abuse of girls and yet, 02:17:07 8 the Palm Beach -- of the Palm Beach Police Department, 021929 8 Mr. Dershowitz said, oh, it's just a scheduling issue 02:1711 9 Mr. Dershowitz had said that he would make available 02:1630 9 and -- and we will get the Palm Beach Police Department 0217:14 10 Mr. Epstein for questions about the -- the sex, you 021633 10 to -- to, you know, to meet and -- and learn all this. 02:17:18 11 know, abuse that was going on. And, you know, 0219:37 11 The other thing that I'm -- that I'm seeing 02:17:21 12 Mr. Dershowitz had said to the Palm Beach Police 02:19:39 12 here, so now there's -- there's -- Mr. Dershowitz had 021723 13 Department, yeah, we will make him available; no, we got 02:1642 13 been involved in concealing Mr. Epstein from the Palm 0217:25 14 to reschedule it; you know, and then another time, 02:19:46 14 Beach Police Department, but there were others that had 0217:28 15 reschedule, another time. And so there were multiple -- 02:1647 15 done similar sorts of things. 02:17:32 16 according to the Chief of Police, there had been 0219:49 16 So one of them was a Ghislaine Maxwell. I 02:17:34 17 multiple, you know, requests to interview Mr. Epstein 02:19:55 17 will just call her Glenn Maxwell. I think that's kind 021738 18 and Mr. Dershowitz had repeatedly said: Oh, yeah, we 02:19:55 18 of the nickname I understand she goes by. 02:17:41 19 will schedule that, and then it hadn't happened. 02:19:59 19 So Glenn Maxwell -- remember, she is -- she 0217:43 20 Now, obviously, there could have been a 021969 20 is the one, you know, I think the record is clear, in -- 82.17:45 21 situation there where, you know, an emergency had come 02:20:03 21 in -- in litigation that, you know, an allegation has 0217:47 22 up for Mr. Epstein and he wasn't able to make a schedule 02:20:06 22 been made that she was the one that -- that brought 0217:49 23 or something like that. But what I saw was a -- was a 02:20708 23 Virginia Roberts into the -- into the sex trafficking, 0217:52 24 pattern of offers to -- to meet and then withdrawals, 0220:1224 and was heavily involved with -- you know, on all the -- 0217:55 25 and that seemed to me to be a deliberately calculated 0220:15 25 not all the flights, but on many of the flights with ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:07:28 PM Page 109 to 112 of 151 28 of 38 sheets 113 115 0220:17 1 Jeffrey Epstein where -- where this seemed to be going 02:2228 I what his excuse was, but, you know, evaded the 022019 2 on and was very close to Epstein, staying at the mansion 02:22:31 2 deposition and, in fact, later information came to light 02:20:22 3 frequently. 02:2233 3 he was hiding out in, you know, in the mansion of 02:20:23 4 And so she would, obviously, be -- I guess if 02:22:35 4 Epstein while he's claiming he's unavailable for -- for 02:20:25 5 you have Epstein at the -- the top of the -- you know, 02:22:39 5 deposition. 02:20:27 6 the kingpin of the operation, Maxwell would be, you 02:22:39 6 So -- so this pattern of Mr. Dershowitz, you 0220:30 7 know, a close second or certainly at, you know, the 02:22:42 7 know, where there were three attempts to obtain 022012 8 higher echelon. 02:22:44 8 information from him, if that's all I had, I guess that 02:20:33 9 So, obviously, someone who would have, you 022246 9 would have been one thing. But what I had was a pattern 02:20:35 10 know, very significant information about, you know, the 02:2249 10 of people who were implicated in this sex trafficking 02:2018 11 sex trafficking, who were the other people that the -- 02:22:52 11 ring evading questions, you know, quite in violation of 02:20:41 12 the girls were being trafficked to, what kind of abuse 0222:57 12 court orders and depositions and things -- I shouldn't 0220:43 13 was going on, you know, what kinds of sex toys were 0222:58 13 say court order -- in violation of the deposition 0220:46 14 being used to abuse them, because I think it was in her 02:23:01 14 notices that were being sent and agreements being made, 0220:48 15 room or -- or adjacent to her room that many of these -- 0223:03 15 you know, through counsel. 02:2052 16 these devices were located, and so she would have had 02:23:05 16 And then in addition to that, I had this, so 02:20:55 17 very significant information to provide. 02:23:11 17 why -- why would you think that, you know, there's this 02:20:57 18 And so in connection with the civil cases 02:2113 18 sex trafficking, you know, ring going on? It sounds 02:21,00 19 that some of the girls had filed against Mr. Epstein, 0223:17 19 kind of farfetched. 0221:02 20 her deposition was set, in fact, by my co-counsel, 02:23:18 20 Well -- well, one of the things that I had 02:21:05 21 Mr. Edwards, and then there was some haggling over a 0223:19 21 available to me on December 30th was a photograph that 02:21:10 22 confidentiality agreement, you know, what are we 0223:22 22 was widely available on the Internet, and that 02:21:12 23 gonna -- and that had all been worked out, and then she 02:23:26 23 photograph depicted three people. 02:21:14 24 was set for a deposition and finally agreed, you know, 02:23:28 24 It depicted Glenn Maxwell, Prince Andrew, and 02:2116 25 to a deposition. 022134 25 Virginia Roberts, and the -- at the time that it looked ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 114 116 02:21:17 1 And just shortly, you know, I think a couple 0223:38 1 like Virginia Roberts was an underage girl. She was not 022119 2 of days before that deposition, she canceled. And well, 02:23:43 2 dressed in formal attire. And Prince Andrew had his arm 02:2023 3 she didn't cancel. Her -- her attorney called to cancel 02:23:47 3 around her, I think if memory serves, and right next -- 0221:26 4 the deposition and represented that Miss Maxwell was 02:23:52 4 smiling in the background is Miss Maxwell, and it 02:21:30 5 outside the United States of America and had no plans to 02:23:54 5 appeared that that was a private residence, presumably 02:2113 6 return back to the United States. 02:2157 6 in London, close to Buckingham Palace where -- where 0221:35 7 And so, at that point, the deposition was -- 0224,00 7 Prince Andrew lived. 02:21,40 8 was not able to go forward. But it turned out that she 02:24:01 8 And so here was Prince Andrew with this 02:21:43 9 had not left the United States for an extended period of 02,24:03 9 underage girl with Glenn Maxwell, the -- the right-hand 02:21:46 10 time. She was spotted later at a wedding of a prominent 0224:05 10 girl, if that's the right expression -- I probably 02:21:49 11 person in New York. 0224:07 11 should say -- strike that -- right-hand woman of -- 02:21:50 12 And so that was Maxwell fitting into this 022411 12 of -- of Mr. Epstein -- that were there and somebody had 02:21:52 13 pattern of, you know, Epstein was being told -- you 02:24:16 13 taken the photograph. 02:21:56 14 know, the Palm Beach Police Department being told by 02:24:17 14 Given the surrounding circumstances, I 02:21:57 15 Dershowitz that Epstein will answer your questions, and 022419 15 thought perhaps Mr. Epstein had taken the photograph. 02:22:00 16 then, you know, not -- not getting information, Maxwell 02:24:21 16 So that would have shown Virginia Roberts's sexual abuse 02:2203 17 evading the deposition. 02:2424 17 was not confined just to Florida, not confined to the 02:22:06 18 Jean Luc Brunel was another person who seemed 02:24:27 18 New York mansion; it would have -- it would have 02:2209 19 to be very much involved in -- in trafficking the girls, 02:24:31 19 presumably continued into London where one of, you know, 02:22:10 20 and it was the same situation. A deposition was set to 02:24:37 20 the highest, most powerful persons in the governmental 02:22:13 21 try to get answers, you know, who is involved, which 02:24.43 21 structure that -- that exists in England was now 02:22:16 22 girls are involved, what are their names, what's -- 02:2447 22 involved in -- in sexual abuse. 0222:17 23 what's going on? 022449 23 And so that created grave concern about, how 02:2216 24 And so Brunel's deposition is set and then 0224,52 24 far did this sex trafficking ring reach; what were their 02:2225 25 he -- he finagles out of it too. I don't recall exactly 022456 25 connections; what were their abilities to influence, you ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 29 of 38 sheets Page 113 to 116 of 151 10/20/2015 01:07:28 PM 117 119 02:25:01 1 know, law enforcement agencies in those countries, you 0226:51 1 Mr. Dershowitz was trying to do the same 02:25:04 2 know, in England, or law enforcement agencies in this 02:26:53 2 thing and it is a difficult situation. 02-25:07 3 country, through -- through power that, you know, 0226:55 3 A. All right. 02251 0 4 somebody at that level, fifth I think in line to the 0226,55 4 Q. So I was not trying to make light of the 02:25:15 5 British Throne, would have, you know, presumably access 0226:58 5 questions I'm asking you. 0225:17 6 to levers of power that other people might not -- might 0226:58 6 A. Right. This involves sexual abuse ...- 022521 7 not have. 0226:58 7 Q. I understand that. 02:25:22 8 And so that is the -- I believe is the -- the 0227:01 8 A. -- of multiple girls. 02:25:29 9 information that I had available to me on December 30th 02:27:02 9 Q. I understand that. Your -- I understand the 0225:32 10 involving not just Virginia Roberts, but the entire sex 0227:04 10 allegations that have been made. 02:25:35 11 trafficking organization. 02727:06 11 A. And your side keeps attacking these girls. 02:25:37 12 Q. Okay. And that -- just to clarify again, it 0227:09 12 That's why it's emotional for me. 02,25:42 13 exhausts your refreshed recollection as to both the 02:27:1213 Q. That -- that part is not true, but I will ask 0225:46 14 information you were relying on as to the allegations 02:27:15 14 questions -- 02:2048 15 about Virginia Roberts, and as to the allegations about 02:27:15 15 A. I believe that part is true. 0225:52 16 other minors; is that right? 02:27:16 16 THE WITNESS: I would like to take a break. 0525:53 17 A. Correct. 02:2718 17 I'm sorry. 0225:53 18 Q. So I don't have to ask you separately about 0227:15 18 THE VIDEOGRAPHER: We are going off the video 02:25:55 19 Roberts? 0227,21 19 record, 4:01 p.m. 02:25:56 20 A. That's right. No, and I gave you a heads-up, 02:30:41 20 (Thereupon, a recess was taken.) 02:25:58 21 that was going to be a long answer. 02:30:41 21 THE VIDEOGRAPHER: We are back on the video 02:26:00 22 Q. You made Mr. Dershowitz look like an amateur. 0220:47 22 record, 4:04 p.m. 02:26:03 23 If I could -- 0230:47 23 (Thereupon, Kenneth A. Sweder, Esquire, Alan 0226:03 24 MR. SCAROLA: I'm sorry. Like a what? 02:30:47 24 M. Dershowitz and Carolyn Cohen left the 02:26:04 25 MR. SIMPSON: Amateur, at the long answers. 02:30:48 25 proceedings.) ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 118 120 02:26:07 1 THE WITNESS: Well, I wasn't trying to -- let 02:3048 1 MR. SCAROLA: The record should reflect that 02:26:08 2 me be clear. I want the record to be clear: I 02:30:50 2 Mr. and Mrs. Dershowitz have -- are no longer 02:26:11 3 was not trying to filibuster. You asked me a 0230:52 3 present. 02:26:12 4 very direct question which was: I want to know 02:3053 4 MR. SIMPSON: Correct. 02:26:15 5 everything that was in your memory on December 02:30:54 5 MR. SCAROLA: Thank you. 02:26:17 6 30th, and as you can tell, this was a very 02:30-55 6 BY MR. SIMPSON: 022620 7 important subject to me, and its very important 02:30:56 7 Q. Mr. Cassell, would you agree with me that 02:26:21 8 to Miss Roberts, and I wanted to be 02:31:00 8 accusing someone -- 0226:24 9 comprehensive. 02:31:03 9 MS. McCAWLEY: Oh, I'm sorry. I just 02:26:25 10 And I gave you the opportunity to say, 0231:04 10 realized that she stepped out to get water, I 02:26:26 11 lets -- let's have a narrower question, and -- 02:31:06 11 believe. I didn't ask. I'm sure its 02:26:28 12 but you wanted the broad question and that's why 02:31:08 12 probably okay - - 0226:30 13 I did this, so I wasn't... 02,31-68 13 THE WITNESS: Its all right. 02:26:30 14 BY MR. SIMPSON: 0231:08 14 MR. SCAROLA: Its all right. 02:26:30 15 Q. Mr. Cassell, I apologize for attempting humor 02:31:11 15 MR. SIMPSON: That's okay with you? 02,26:34 16 in this intense situation. 02:31:11 16 THE WITNESS: Sure. 02:26:35 17 A. This is very important to me. 02:3111 17 BY MR. SIMPSON: 02,26:35 18 Q. I -- I -- I -- 0231:1318 Q. Would you agree with me that accusing a 02:26:36 19 A. This is not -- this is not something that I 02:3117 19 person of -- an adult of engaging in sex with a minor is 02:26:38 20 find funny. 02,3124 20 a serious accusation? 02:26140 21 Q. And -- well, it -- like I say, its very 02:31:26 21 A. Sure. 02:26:43 22 important to Mr. Dershowitz, or Professor Dershowitz 02:31:27 22 Q. And would you agree with me that the cause of 02:26:45 23 also. He was trying to answer questions. I'm not 02:31,33 23 Victims' Rights is harmed and not furthered by false 0226:47 24 questioning that you were trying to answer my question, 02:31:39 24 allegations of sexual abuse? 0226:49 25 and I appreciate it. 02:31,11 25 A. Sure. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:07:28 PM Page 117 to 120 of 151 30 of 38 sheets Exhibit 4 152 1 APPEARANCES CONTINUED 154 1 IN THE CIRCUIT COURT OF THE SEVENTEENTH 2 2 JUDICIAL CIRCUIT IN AND FOR BROWARD COUNTY, FLORIDA 3 3 CASE NO. CACE 15-000072 Telephonically on behalf of Jeffrey Epstein: DARREN K. INDYKE, PLLC 4 4 BY: DARREN K. INDYKE, ESQUIRE 5 6 7 8 9 10 11 BRADLEY J. EDWARDS and PAUL G. CASSELL, 5 575 Lexington Avenue 4th Floor Plaintiffs/Counterclaim Defendants, New York, New York 10022 vs. 6 Tel: 212.971.1314 ALAN M. DERSHOWITZ, 7 Defendant/Counterclaim Plaintiff. 8 Also Present: DON SAVOY, Videographer 12 9 BRADLEY 3. EDWARDS 13 ALAN M. DERSHOWITZ (Telephonically) 14 VIDEOTAPED DEPOSITION OF 15 PAUL G. CASSELL 16 TAKEN ON BEHALF OF THE DEFENDANT 12 17 VOLUME II, PAGES 152 to 335 13 18 19 20 Saturday, October 17, 2015 17 21 8:32 a.m. - 12:14 p.m. 18 22 19 23 425 North Andrews Avenue Suite 2 Fort Lauderdale, Florida 33301 20 21 24 22 25 Theresa Tomaselli, RMR 23 ESQUIRE DEPOSITION SOLUTIONS 25 (954) 331-4400 ESQUIRE DEPOSITION SOLUTIONS (954)331-4400 153 155 1 APPEARANCES OF COUNSEL 1 INDEX OF EXAMINATION 2 On behalf of the Plaintiffs: 2 WITNESS PAGE 3 SEARCY DENNEY SCAROLA 3 PAUL G. CASSELL 4 BARNHART & SHIPLEY, P.A. BY: JOHN SCAROLA, ESQUIRE 4 CONTINUED DIRECT EXAMINATION 160 5 2139 Palm Beach Lakes Boulevard BY MR. SIMPSON West Palm Beach, Florida 33409 5 6 Tel: 561.686.6300 7 Fax: 561.383.9541 E-m ail: m ep@ searcylaw .com 6 INDEX TO EXHIBITS 8 On behalf of Virginia Roberts: 9 7 8 EXHIBIT DESCRIPTION PAGE BOIES SCHILLER & FLEXNER, LLP 10 BY: SIGRID STONE McCAW LEY, ESQUIRE 9 401 East Las Olas Boulevard Cassell's I.D. Exhibit No. 4 - document 203 11 Suite 1200 10 produced by the witness Fort Lauderdale, Florida 33301 12 13 Tel: 954.356.0011 Fax: 954.356.0022 E-m ail: sm ccaw ley@ bsfllp.com 11 12 Cassell's I.D. Exhibit No. 5 - copy of 229 address book 14 Cassell's I.D. Exhibit No. 6 - series of 309 On behalf of the Defendant: 13 e-mails, Bates numbered BE-510 - -514 15 WILEY REIN LLP 14 16 BY: RICHARD A. SIMPSON, ESQUIRE AND: NICOLE A. RICHARDSON, ESQUIRE 15 17 1776 K Street Northwest 18 Washington, DC 20006 Tel: 202.719.7000 16 19 Fax: 202.719.7049 E-m ail: rsim pson@ w ileyrein.com 17 20 18 Also on behalf of the Defendant: 21 19 (Original Exhibits have been attached to the COLE, SCOTT & KISSANE, P.A. original transcript.) 22 BY: THOMAS EMERSON SCOTT, 3R., ESQUIRE 20 23 24 9150 South Dadeland Boulevard Dadeland Centre II - Suite 1400 Miami, Florida 33156 Tel: 305.350.5329 21 22 23 24 Fax: 305.373.2294 25 E-m ail: thorn as.scott@csklegal.com 25 ESQUIRE DEPOSITION SOLUTIONS (954)331-4400 10 11 14 15 16 24 ESQUIRE DEPOSITION SOLUTIONS (954)331-4400 1 of 46 sheets Page 152 to 155 of 335 10/20/2015 01:08:15 PM 156 158 1 DEPOSITION OF PAUL G. CASSELL 00:02:01 1 never thought to record it, but that's fine. 0002:04 2 MR. SIMPSON: We don't -- we don't need to 2 Saturday, October 17, 2015 000205 3 make that -- 00:02:05 4 MR. SCAROLA: We don't need to discuss that. 3 00:0206 5 The question is -- 4 THE VIDEOGRAPHER: We are now on the video 00:0206 6 MR. SIMPSON: What you're saying does -- 00:00:01 5 record. Today is Saturday, the 17th day of 0002'06 7 MR. SCAROLA: -- are you going to produce the 00:00:03 6 October, 2015. The time is 8:32 a.m. We are mom 7 here at 425 North Andrews Avenue, Fort 00:021,8 8 recording without the necessity of a new request 0002:10 00:00:10 8 Lauderdale, Florida, for the purpose of taking 9 to produce, or will it be necessary for us to 00:0213 00:00:11 9 the videotaped deposition of Paul G. Cassell. 10 file a new request to produce? 00:0014 10 The case is Bradley J. Edwards and Paul 00:02:15 11 MR. SIMPSON: As Mr. Scott indicated 00:00:17 11 G. Cassell versus Alan M. Dershowitz. 00:02:17 12 yesterday, we will respond to you to the 00:00:19 12 The court reporter is Terry Tomaselli, and 00:02:19 13 discovery request. We will confer at a break and 00:00:20 13 the videographer is Don Savoy, both from Esquire 00:02:23 14 respond to that question. I don't want to take 00:00:23 14 Deposition Solutions. 0002:24 15 time on the record debating it. After Mr. Scott 0000:24 15 Will counsel please announce their 000228 16 and I have conferred at a break, we will respond 00:00,26 16 appearances for the record. 00:02:29 17 further to your question. 00:00:27 17 MR. SCAROLA: Jack Scarola on behalf of the 00:02:30 18 MR. SCAROLA: All right. So that the record 00:0030 18 Plaintiffs. 00:02:31 19 is clear, it is our position that the recording 00:0030 19 MR. SIMPSON: Richard Simpson of Wiley Rein 00.02,35 20 itself, any evidence of any communication between 00,0335 20 on behalf of the Defendant and Counterclaim 00:02:40 21 Mr. Dershowitz and Rebecca and/or Michael, any 000038 21 Plaintiff, Alan Dershowitz. With me is my 00,00:39 22 colleague, Nicole Richardson, and Thomas Scott of 00:02:45 22 notes with respect to any such communications, 00:0260 00:00:44 23 Cole, Scott & Kissane, also for Mr. -- Professor 23 text messages, e-mails, and an accurate privilege 000257 00,0048 24 Dershowitz. 24 log as to everything that is being withheld is 00:00:50 25 MR. SCAROLA: Before we begin the deposition, 000101 25 responsive to the earlier request to produce, and ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 157 159 0000:52 1 we were informed for the first time yesterday 00:03:04 1 that the obligation was to have provided it to us 00:0055 2 morning of the existence of a recording of a 00:0108 2 previously and is to provide it to us now. 00:01:01 3 telephone communication between Alan Dershowitz 00:03:11 3 We understand that you're considering that 00:01:05 4 and a woman identified only as Rebecca. 000313 4 and you will respond, so we can proceed with the 00:01:10 5 That information was conveyed to us 00:03:15 5 deposition. 00:01:13 6 subsequent to Professor Dershowitz's sworn 00:03:16 6 MR. SIMPSON: Yes. And we disagree about 000116 7 testimony that no recording existed, but now that 000117 7 that, and as you know, we have a motion to compel 00:01:20 8 we know that the recording existed and that it 00:0319 8 regarding your inadequate privilege log. 00:01:23 9 was obviously made according to the 00:03:24 9 MS. McCAWLEY: Just before we begin, I'm 00:01:25 10 representations given to us, prior to the 00:0324 10 sorry, I didn't announce my appearance for the 00:01:29 11 completion of the responses to our earlier 00:03:24 11 record. Sigrid McCawley from Boies, Schiller & 00:01:31 12 discovery requests, I would like to know whether 00:0328 12 Flexner, and I have a standing objection that I'd 00:01:34 13 it is the Defendant's position that it is 00:03:31 13 just like to repeat on the record. 00:01:37 14 necessary for us to propound a new discovery 00:03:32 14 MR. SCOTT: Feel better that you got that off 00.01:40 15 request to get information that clearly should 00:0132 15 your chest? 0001:43 16 have been disclosed in response to the earlier 00:03:32 16 MS. McCAWLEY: With respect to -- excuse me. 00:01:46 17 discovery request. 00:03:34 17 With respect to my client, Virginia Roberts, 00:01:47 18 Is that the position that you're taking? 000337 18 she is asserting her attorney/client privilege 00:01:48 19 MR. SIMPSON: First, Mr. Scarola, I believe 00:0339 19 with her attorneys and is not waiving it through 00:01:50 20 you have mischaracterized Professor Dershowitz's 00:03:41 20 any testimony here today, and that I object to 00:01:53 21 testimony. You didn't ask the question whether 00:0344 21 any testimony elicited that would be used as a 0001;55 22 he made a recording. Yesterday morning, he 000147 22 subject of waiver for her attorney/client 00:01:57 23 provided that information in response to a 000348 23 privilege. 00:01:59 24 different question. 24 MR. SIMPSON: Would you reswear the witness, 00:02:00 25 MR. SCAROLA: His exact testimony was: I 25 please? ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:08:15 PM Page 156 to 159 of 335 2 of 46 sheets 160 162 1 Thereupon, 0005,28 1 Q. And when you say "all day," what time period 2 PAUL G. CASSELL, 00:05:31 2 are you referring to? 3 having been first duly sworn, was examined and testified 00:0632 3 A. 9:00 to 5:00. 4 as follows: 00:05:33 4 Q. 9:00 to 5:00. Okay. And was that through 5 THE WITNESS: I do. 00:05:38 5 lunch; you just stayed through eight hours; is that -- 6 CONTINUED DIRECT EXAMINATION 000040 6 what's your recollection of that? 7 BY MR. SIMPSON: 00:05:41 7 A. Yeah, I remember we were working very hard 00:04:01 8 Q. Good morning -- 00:05:43 8 on -- on it, so I think we had, if I recall correctly, 00:04:01 9 A. Good morning. 00,05:46 9 had lunch brought in and worked straight through that. 00:04:01 10 Q. -- Mr. Cassell. 00:0049 10 Q. Any other meetings in person with 00:04:03 11 As of December 30th, 2014, had you ever met 00:05:53 11 Miss Roberts before December 30th of 2014? 00:04:08 12 with Virginia Roberts in person? 00:0557 12 A. No. 00:04:10 13 A. Yes. 00:05:57 13 Q. Any telephone calls with her that you -- you 00:04:10 14 Q. And how many times had you met with her in 000003 14 had, obviously, before December 30th, 2014? 00:04,14 15 person? 00:06:07 15 A. I believe there were a couple of -- of 00:04:14 16 A. Once. 00,06:09 16 telephone calls. 00,04:15 17 Q. When was that? 000609 17 Q. And can you tell us when those were? 0004:16 18 A. Approximately May 2014. 00:06:12 18 A. Let's see. Roughly September 2014. Give or 00:04:20 19 Q. May of 2014? 00,06:18 19 take a month. I mean, you know, sometime after May and 00:04:21 20 A. Yes. 00:06:22 20 before December 30th. 00:04:21 21 Q. Who was present for that meeting? 00:06:23 21 Q. Okay. And were those telephone calls between 00:04:24 22 A. I'm just pausing for a second because I 0006:2722 just you and Miss Roberts, or was anyone else on the 00:04:28 23 don't -- I think we're -- 00:0601 23 line? 00:04:28 24 Q. I -- I'm not -- 00:06:32 24 A. No. It was just the two of -- just 00:04:30 25 A. -- clearly not trying to get into 0006:34 25 Miss Roberts and I. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 161 163 00:04:31 1 attorney/client communication. 000605 1 Q. Okay. And are you able to distinguish the 00:04:32 2 Q. I'm not asking you for what was said at this 00:0608 2 calls in your mind as two separate telephone calls? 00:04,34 3 point. I'm just asking you who was present. I'm going 00:0040 3 A. I -- I think there were either one or two 0004:36 4 to ask you where it was, those kind of questions. 000043 4 calls. I think there may have been two, but it -- it 00:04:39 5 A. Sure. Yeah. The main person who was present 0006:46 5 would not have been more than two that I can recall. 0004:42 6 was Bradley J. Edwards, my Co-Plaintiff in this case. 0006:49 6 Q. Okay. How long did each of the telephone 00:04:45 7 Q. Okay. And Miss Roberts obviously was 00:06:51 7 calls last? 00:04:47 8 present? 0006:52 8 A. Less than five minutes. 00:04:47 9 A. Yes. 0006704 9 Q. I'm going to ask you a question now, but 00:0448 10 Q. Anyone else present? 00:06:59 10 before you answer it, pause, because I believe you will 0004,49 11 A. You know, there were -- this was at the 00:07:01 11 be instructed not to answer it -- 00:04:53 12 Farmer, Jaffee office here, and so persons who were 00,07:03 12 A. Okay. 00:04,56 13 associated with the law firm were assisting, but those 00:07:03 13 Q. -- but want to -- I think -- we disagree on 00:05:00 14 were the main people. 00:07:07 14 the privilege -- 00:05:00 15 Q. Okay. Do you remember any of those other 0007:07 15 A. Sure. 00:05:02 16 people associated with the law firm who were present? 00:07:07 16 Q. -- we believe it's been waived. 00:05:05 17 A. Present for, you know, coming in and 0007:07 17 My question is: During the meeting, did you 00:05:08 18 assisting, I believe Brad's assistant, Maria, was there, 00:07:11 18 discuss Professor Dershowitz? 00:05:13 19 and perhaps others at the firm, but it was -- it was 00:07:13 19 MS. McCAWLEY: I'm going to object to any 00:05,17 20 basically Brad and I. 00:07:15 20 discussion of what my client told you during any 00:05:18 21 Q. Was there anyone else who attended for the 00:07:19 21 situation where you were representing her as 00:05:21 22 entire meeting or a substantial portion of the meeting? 0007:21 22 an -- an attorney. 00:05:2323 A. No. 00:07:22 23 MR. SIMPSON: So -- and I think we had an 00:05:23 24 Q. Okay. How long did the meeting last? 0007,24 24 agreement yesterday, if you follow your own mos:26 25 A. Approximately all day. 00:07:28 25 counsel's instruction on not answering, are you ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 3 of 46 sheets Page 160 to 163 of 335 10/20/2015 01:08:15 PM 164 166 00:07:28 1 also going to follow Miss McCawley's instructions 0009:08 1 and all that goes into the advice that they were 00:07:32 2 on not answering on behalf of -- 00:09:08 2 giving her and surrounding that advice, so I 00:0712 3 MR. SCAROLA: Mr. Cassell will follow the 00:0911 3 would object to that. 00:07:36 4 instructions of Virginia Roberts' counsel. It is 00:09:12 4 MR. SCAROLA: Could I have the question read 0007:38 5 not his privilege to waive, and he is ethically 0009:15 5 back? 00,07,42 6 obliged to respect the direction coming from 00:0915 6 (Thereupon, a portion of the record was read 00:07:46 7 Virginia Roberts' counsel. 00:09:15 7 by the reporter.) 00:07:48 8 MR. SIMPSON: Yes, I'm -- I'm simply, 00:09:33 8 MS. McCAWLEY: And I would like to clarify 00:07:49 9 Mr. Scarola, making my record that the witness -- 00:0933 9 what case as well that you're referring to. 00:07:52 10 MR. SCAROLA: I understand that. 000034 10 MR. SIMPSON: All right. Let me ask the 000752 11 MR. SIMPSON: Right. We disagree. 00:09:36 11 question, and -- and I will note for the record 00:07:53 12 MR. SCAROLA: I understand, but you can 0009:38 12 that yesterday, the witness testified that the 0007:54 13 assume the same way I have authorized you to 00:0040 13 fact that Mr. Boies was representing Virginia 00:07:58 14 assume that Professor Cassell will follow my 00:09:42 14 Roberts was significant to him. So it's sort of oo,oe:oi 15 instructions, Professor Cassell will also follow 00:0047 15 being used as a sword and a shield here, but I 0008:04 16 all instructions concerning the assertion of 00:09,48 16 have only asked the question. I'll clarify. 00:08:07 17 attorney/client privilege expressed on the record 00:09:48 17 MR. SCAROLA: We haven't used it any way yet. 00:08:10 18 by Miss McCawley on behalf of Virginia Roberts. 00:09:51 18 MR. SIMPSON: Well, the -- the witness 00:08:13 19 MR. SIMPSON: All right. 00:09:52 19 volunteered. Shall I put it that way? And we 00:08:14 20 BY MR. SIMPSON: 00:0954 20 have a waiver. 00:0816 21 Q. So, Mr. Cassell, based on that, I will assume 00:0054 21 BY MR. SIMPSON: 00:08:21 22 that if I ask you what you recall the discussion being 00:09:55 22 Q. But, in any event, my question is: Have you 00:08:24 23 at the meeting or at each of the phone calls, that 00:09:58 23 spoken -- before December 30th of 2014, had you spoken 00:0829 24 you're not going to answer those questions; is that 00:10:02 24 with David Boies about Virginia Roberts' allegations 00:08:29 25 correct? 00:10:06 25 regarding Professor Dershowitz? ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 165 167 00:08:29 1 MS. McCAWLEY: Yes. 00:10:10 1 MR. SCAROLA: Without getting into the 0008:30 2 THE WITNESS: Yeah, obviously not. 001013 2 substance of any such discussions, you can answer 00:08:30 3 BY MR. SIMPSON: 001016 3 that question. 00:08:30 4 Q. Okay. 001017 4 THE WITNESS: My recollection is no. 00:08:32 5 A. I mean, I have a duty to my client which I'm 00:10:20 5 MR. SCOTT: I think you're right on that one. 0008:36 6 going to respect. 001020 6 BY MR. SIMPSON: 00:08:36 7 Q. All right. So we'll -- we'll take that up 001022 7 Q. Okay. So the answer is, no, you had not 00:08:37 8 later with the judge. 00:10:23 8 spoken with him? 00:08:39 9 As of December 30th, 2014, had you spoken 00,1023 9 A. My recollection -- 00:08:44 10 about this case with David Boies, and the question is 00:10:24 10 MR. SCAROLA: Judge Scott has issued a 00:08:47 11 just: Had you spoken -- 0010:27 11 ruling, so "- 0008:48 12 MS. McCAWLEY: Objection. 001029 12 MR. SCOTT: I wrote several opinions on that 00:08:48 13 BY MR. SIMPSON: 001029 13 actually. 00:08:50 14 Q. -- not what the discussion was. 00:10:29 14 MR. SCAROLA: -- we'll proceed. 00:08,91 15 MS. McCAWLEY: Objection. It's the 00:10:29 15 THE WITNESS: Let me go back - 00:08:52 16 common-interest privilege. 00:10:29 16 MR. SCOTT: In the context of criminal 00:08:52 17 BY MR. SIMPSON: 0010:33 17 lawyers. 0008:53 18 Q. I'm only asking if there was a discussion, no 00:10:33 18 THE WITNESS: I'm trying to remember if I 0008:55 19 substance at all. Just, was there a discussion? 00:10:34 19 wrote any opinions on that one when I was a 00,08:58 20 MS. McCAWLEY: I'm going to instruct you not 0010;36 20 judge. My -- I don't recall, but -- I don't 00:0000 21 to answer that. 0010:41 21 recall. I -- my recollection is I had not 00:0001 22 MR. SIMPSON: Okay. You're taking the 00:10:42 22 personally spoken to David Boies before December 00:0002 23 position that the fact of whether or not -- 00:10:44 23 30th, 2014. 000004 24 MS. McCAWLEY: Yes, because you're also 0010:44 24 BY MR. SIMPSON: 00:09:05 25 trying to get into the timing of communications, ESQUIRE DEPOSITION SOLUTIONS 00:10:45 25 Q. Okay. Had you, before December 30th of 2014, ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:08:15 PM Page 164 to 167 of 335 4 of 46 sheets 168 170 00:10:53 1 spoken with any other lawyers at Mr. Boies' firm? 00:1464 1 record, 8:47 a.m. 00:10:58 2 A. My recollection is, no. 00:14:54 2 MR. SCAROLA: As it turns out, while we may 0611:02 3 Q. And after December 30th of 2014, have you 00:14:57 3 reach some issue of privilege at some point in 00:11:08 4 spoken with Mr. Boies about Virginia Roberts's 00:14:59 4 this discussion, the answer to your pending 00:11:13 5 allegations against -- 00:15:01 5 question is, no, so there's no privilege concern. 00:11:15 6 MS. McCAWLEY: Again, I'm going to object. 00:15:04 6 MR. SIMPSON: All right. I'll -- I'll ask 00:11:15 7 BY MR. SIMPSON: 00:1606 7 the witness for the -- 0611:16 8 Q. -- Professor Dershowitz? 00:15:07 8 MR. SCAROLA: Sure. 00:11:19 9 MS. McCAWLEY: Sorry. I will let you finish. 00:15:08 9 MR. SIMPSON: -- the -- the answer. I'll 0011:19 10 I'm objecting to this. I think it gets into 00:15:10 10 move to -- I'll reask the question. 00:11:20 11 the substance of conversations under the 00:15:11 11 THE WITNESS: Sure. That will be good. 00:11:24 12 common-interest privilege, whether there was a 00:15:11 12 BY MR. SIMPSON: 00:11:25 13 conversation, but you're getting into the 00:15:12 13 Q. My question is: I believed you had already 00:11:27 14 substance of what the conversation was about, and 00:15:15 14 answered the question as to before December 30th, 2014, 00:11:28 15 I think that is a violation of her -- her 00:15:19 15 you had discussed Miss Roberts' allegations against 00:11:31 16 privilege. 00:1621 16 Professor Dershowitz, and you said, no; is that right? 00:11:31 17 MR. SCAROLA: And just so that I can clarify 061525 17 MR. SCAROLA: David Boies. 0011:34 18 our position on the record, I think that we can 0015:28 18 MR. SIMPSON: David Boies. I'm sorry. 00:11:38 19 identify the general subject matter in order to 00:15:28 19 THE WITNESS: Before December 30th, no 00:11:42 20 support our position that it falls within the 00:15:31 20 discussions that I can recall with David Boies. 0611:45 21 common-interest privilege. So we are willing to 00:15:31 21 BY MR. SIMPSON: 00:11:48 22 answer the question about the general subject 00:15:34 22 Q. After December 30th, 2014, did you have any 0011:51 23 matter to support our assertion of 001537 23 discussions with David Boies about Professor Dershowitz? 00:11:53 24 common-interest privilege, but not get into the 00:1642 24 A. Can I -- 00:11:56 25 substance of the communications beyond that. 0615:44 25 MR. SCAROLA: You can answer yes or no. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 169 171 00:11:58 1 MR. SIMPSON: And I believe its the same 0615:45 1 THE WITNESS: Yes. 00:1200 2 question that was answered a moment ago for a 00:15:46 2 BY MR. SIMPSON: 00:12:02 3 different time period, and again, I'm not asking 00:15:47 3 Q. You did. 00:12:05 4 for any substance. I'm just asking whether, 0015,47 4 A. Yes. 00:12:07 5 since December 30th, 2014, you have discussed the 00:1648 5 Q. What was the substance of those 00:12:13 6 allegations by Virginia Roberts against Professor 00:15:51 6 communications? 00:12:17 7 Dershowitz. 00:15:52 7 MS. McCAWLEY: I'm going to object to that. 00:12:17 8 THE WITNESS: I would like to confer with my 0615:53 8 You -- its under the common-interest privilege 0012:19 9 counsel on that question. It gets into a 0015:55 9 and its Virginia's privilege to waive, and she's 00:12:22 10 complicated legal issue that I'm not sure I 00:15:57 10 not waiving it. 00:12:25 11 can -- 061658 11 MR. SIMPSON: Okay. 0612:25 12 MR. SIMPSON: You want to confer on a 00:1658 12 MR. SCAROLA: We -- we assert the 00:12:26 13 privilege issue; is that right? 00:16:01 13 common-interest privilege with regard to the 00:1227 14 THE WITNESS: I want to confer with my 00:16:02 14 substance as well. 00:12:29 15 counsel before answering that question anyway. 00:16:03 15 MR. SIMPSON: All right. And that -- that 00:12:32 16 MR. SIMPSON: I just want to clarify -- 00:16:04 16 will be -- that will be asserted as to all 00:12:32 17 MR. SCAROLA: With respect to privilege. 0016:06 17 questions about the substance of the discussions 00:12:33 18 MR. SIMPSON: All right. As long as its 00:16:09 18 with Mr. Boies; is that right? 00.12:35 19 with respect to privilege, you're entitled to do 00:16:11 19 MR. SCAROLA: I cant say that for sure. 00:12:37 20 that. 0016:14 20 MR. SIMPSON: All right. Let me ask my 00:12:37 21 THE WITNESS: Okay. 00:1615 21 question then. 00:12:38 22 THE VIDEOGRAPHER: We are going off the video 00:16:15 22 MR. SCAROLA: And let -- maybe this -- maybe 00:12:40 23 record, 8:45 a.m. 0616:17 23 this will help you and maybe it won't. But, 0614:50 24 (Thereupon, a recess was taken.) oa 16:20 24 obviously, there have been some public statements 00:14:50 25 THE VIDEOGRAPHER: We are back on the video 00.16:27 25 with regard to this general area. If the ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 5 of 46 sheets Page 168 to 171 of 335 10/20/2015 01:08:15 PM 172 174 00:16:33 1 communications were not considered to be 002009 1 MR. SCAROLA: Because of concern about a -- 00:16:34 2 privileged at the time that they were made, we 0020:14 2 an inadvertent potential waiver of the 00:16:37 3 can answer questions about that. If they were 002018 3 work-product privilege, while it is not our 00:16:39 4 considered to be privileged at the time they were 0020:21 4 intent to assert a privilege with regard to 00:16:41 5 made, we can't answer questions. 00:20:27 5 nonexistent communications, any effort to 0016:42 6 So I can't tell you that there's a blanket 00:20:33 6 identify the subject matter of communications in 00:16:45 7 assertion. We need to hear the question. 00:20:37 7 the questions that you asked will require that we 00:16:47 8 THE WITNESS: I need the question back. 00:20:40 8 assert work-product privilege with regard to 0016:47 9 MR. SIMPSON: All right. 00:2043 9 those questions. 0016:48 10 BY MR. SIMPSON: 0020:44 10 MR. SIMPSON: Okay. We disagree, obviously, 0016:49 11 Q. What did you discuss with Mr. Boies about the 00:2046 11 on that position. 0016:53 12 allegations against Professor Dershowitz? 002047 12 MR. SCAROLA: We understand. 0016:55 13 MR. SCAROLA: And that is common-interest 0020:48 13 MR. SIMPSON: So I will ask some additional 0016'68 14 privilege information and we do assert a 0020,49 14 questions and we will see if the witness answers 00:17:00 15 privilege. 0020:5315 them. 00:17:00 16 BY MR. SIMPSON: 00:20:53 16 MR. SCAROLA: If it begins: "Did you talk 001701 17 Q. Did you discuss with Mr. Boies any 00:20:54 17 about," the answer is going to be an assertion of 00:17:05 18 discussions he had had with Professor Dershowitz? 0020:58 18 privilege. 00:17:08 19 MS. McCAWLEY: Objection. 00:20:58 19 MR. SIMPSON: Okay. 00:17:09 20 MR. SCAROLA: Same objection. Same 0020:58 20 MR. SCAROLA: Okay? 00:17:11 21 instruction. 00:20:59 21 MR. SIMPSON: I'll ask the questions. 00:1711 22 BY MR. SIMPSON: 00:21:00 22 BY MR. SIMPSON: 00:17:12 23 Q. Did you discuss with Mr. Boies any documents 00:21:05 23 Q. Did you discuss with Mr. Boies any meetings 001716 24 that Mr. Boies had reviewed? 00:21:09 24 Mr. Boies had had with Professor Dershowitz? 00:17:18 25 MR. SCAROLA: Well, let me -- again, I don't 0021:12 25 MS. McCAWLEY: Objection. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 173 175 00:17:23 1 want to be asserting a privilege to questions as 00:21:13 1 MR. SCAROLA: Objection. Same instruction. 00:17:26 2 to which the answer is no, so you can answer 00:2115 2 BY MR. SIMPSON: 0017:34 3 generally as to whether the subject matter was 00:21:15 3 Q. Did you discuss with Mr. Boies his views as 00:17:40 4 covered in any discussion that you had with 00:2120 4 to the credibility of Virginia Roberts? 00:17:42 5 Mr. Boies. 002122 5 MR. SCAROLA: Same objection. 00:17:43 6 THE WITNESS: Okay. 00:21:23 6 MS. McCAWLEY: Objection. 00:17:44 7 MR. SCAROLA: Okay. If the answer is no. If 002123 7 MR. SCAROLA: Same instruction. 00:17:47 8 the answer -- as I sink down in this chair, if 00:21:25 8 BY MR. SIMPSON: 0017:51 9 the answer may be yes, you can't respond. 00:21:25 9 Q. Did you discuss with Mr. Boies any 00:17:56 10 MR. SIMPSON: I -- I -- that's a new version. 00:21:35 10 allegations about sexual misconduct by Les Wexner? 00:17:58 11 MS. McCAWLEY: I'm afraid -- yeah, I want 00:21:41 11 MR. SCAROLA: Same objection. 0018:00 12 to -- I'm sorry. I want to confer on that 0021:44 12 MS. McCAWLEY: Objection. 0018:01 13 because I have an objection. 0021:44 13 MR. SCAROLA: Same instruction. 001802 14 THE WITNESS: I have to say I want to confer, 00:21,44 14 MR. SIMPSON: That's the same question you 0018:04 15 I'm confused, too, so let's take a short break. 00:21:46 15 allowed to be answered. Did you -- let me ask it 001806 16 MR. SIMPSON: Again, you're conferring on the 00:21:47 16 a different way. 0018:06 17 privilege now, not the substance? 00:21:47 17 BY MR. SIMPSON: 001806 18 THE WITNESS: That's right. 00:21:48 18 Q. Did you discuss, in any way, Les Wexner with 001806 19 MR. SCAROLA: Can we go off the record? 00:21:51 19 Mr. Boies? 001814 20 MR. SIMPSON: Yes. 00:21:51 20 MR. SCAROLA: Same objection. 00:1814 21 THE VIDEOGRAPHER: Going off the video 0021,51 21 MS. McCAWLEY: Objection. 00:1817 22 record, 8:48 a.m. 00:21,53 22 MR. SCAROLA: Same instruction. 0019:54 23 (Thereupon, a recess was taken.) 0021:55 23 MR. SIMPSON: He's instructed not to answer 00.1054 24 THE VIDEOGRAPHER: We are back on the video 00:21:55 24 whether that topic was discussed? 002006 25 record, 8:52 a.m. 0021.56 25 MR. SCAROLA: Yes. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:08:15 PM Page 172 to 175 of 335 6 of 46 sheets 176 178 0021:57 1 MS. McCAWLEY: Yes. 00:23:58 1 discussed Virginia Roberts' allegations of sexual 00:21:57 2 MR. SIMPSON: Okay. 0624'07 2 misconduct against Professor Dershowitz with Bob 00:21:57 3 BY MR. SIMPSON: 0624:14 3 Josefsberg? 00:22:02 4 Q. Did you discuss former Prime Minister Barak 062414 4 A. Me personally? 0622:05 5 with Mr. Boies? 00:2418 5 Q. Yes, you personally. 00:22:08 6 MR. SCAROLA: Same objection. 0024:18 6 A. No. 00:22:08 7 MS. McCAWLEY: Objection. 062418 7 Q. After December 30th of 2014, had you -- did 00:22:08 8 MR. SCAROLA: Same instruction. 00:24:24 8 you discuss with Mr. Josefsberg Ms. Roberts' allegations 062210 9 BY MR. SIMPSON: 00:24:30 9 against Professor Dershowitz? 002212 10 Q. Yesterday, you mentioned that one of the 0024:32 10 A. Not personally, no. 0022:14 11 reasons that supported your conclusion that it -- you 00:24:32 11 Q. You say not personally. Are you aware of 002220 12 had an adequate basis to allege in the joinder motion 0024:36 12 someone else who had those discussions of -- with Mr. -- 00:22:25 13 that the allegations against Professor Dershowitz was 00:24:39 13 had any discussions on that topic with Mr. Josefsberg? 00:22:29 14 that Mr. Boies was representing Virginia Roberts -- yes, 0024:43 14 MR. SCAROLA: To the extent that that 00:22:31 15 Virginia Roberts; do you recall that testimony? 00:24:46 15 question would call for any information that was 00:22:35 16 A. Yes. 0024,51 16 communicated to you in the context of the 00:2236 17 Q. And you said that because of how highly 00:24:55 17 common-interest privilege, you should not answer. 002240 18 regarded Mr. Boies was, I think you mentioned the Bush 0625:00 18 THE WITNESS: All right. I'm not going to... 00:22:45 19 v. Gore case; is that right? 0625:0319 MR. SCAROLA: So you -- you can answer it if 00:22:45 20 A. Yes. 0625:04 20 any such communication came to you outside the 00:22:45 21 Q. I used to work for his opponent in Bush v. 00:25:07 21 context of the common-interest privilege, but you 00:22:49 22 Gore case. They are both very good. 00:25:10 22 may not include in your response any information 00:22:50 23 A. I'm trying -- I was trying to remember. T- '—m 002512 23 derived from the common-interest privilege. 002251 24 sorry to take time, but who was the other lawyer? 06251224 BY MR. SIMPSON: 00:22:53 25 Q. Ted Olson. 00:25:15 25 Q. And my question right now is not the ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 177 179 00:22:54 1 A. Ted, that's right. That's... 002517 1 substance. We will get to that. But, to your 00:22:55 2 Q. But that's a side note. 00:25:19 2 knowledge -- put -- let me rephrase that. 0022:57 3 My question is: Given your high regard for 062624 3 Did someone tell you that they had discussed 00:23:00 4 Mr. Boies, would you -- would his views as to the 0025:26 4 with Mr. Josefsbergs -- Josefsberg, the allegations made 00:23:07 5 credibility of Virginia Roberts be something that would 00:25:32 5 by Miss Roberts against Professor Dershowitz? 00:23:10 6 be important to you in evaluating the case? 062635 6 MR. SCAROLA: You may only answer that 00:23:12 7 MS. McCAWLEY: Objection. 00:25:36 7 question to the extent that you had any 00:23:12 8 MR. SIMPSON: Are you instructing him not to 0625:39 8 communication regarding that subject matter with 00:2615 9 answer? 0025:43 9 someone outside the common-interest privilege, or 0023:15 10 MS. McCAWLEY: I mean, is it a hypothetical? 002546 10 the attorney/client privilege for that matter. 002318 11 MR. SIMPSON: No. I'm just asking whether 00:25:46 11 BY MR. SIMPSON: 0023:1912 his views -- those views -- I'm not asking what 00:25:48 12 Q. I'm simply -- I'm not asking for substance, 0023:19 13 the views are. I'm simply asking whether those 00:25:50 13 just the name if you did. 00:23:23 14 views would be important to him. 00:2652 14 MR. SCAROLA: Well, I understand that, but 0623:23 15 MR. SCAROLA: You may answer that question. 002554 15 following along the same lines as before, you are 062325 16 THE WITNESS: Yes. 00:25:57 16 asking us to identify the subject matter of a 0023:25 17 BY MR. SIMPSON: 0026:01 17 communication that is privileged. We won't 00:23:28 18 Q. And if I -- I may have asked this already, 0626:04 18 answer questions regarding the subject matter of 002630 19 but did you discuss with Mr. Boies his views as to the 002607 19 privileged communications, but if 0623:35 20 credibility of Miss Roberts? 0626:09 20 Professor Cassell had a conversation with Sam 0623.38 21 MS. McCAWLEY: Objection. 0626:14 21 Smith standing on the street corner about Bob 00:23:39 22 MR. SCAROLA: Same objection. Same 0026:17 22 Josefsberg, he can answer that question. 0623:40 23 instruction. 062620 23 BY MR. SIMPSON: 062641 24 BY MR. SIMPSON: 062620 24 Q. Did you have a conversation with anyone - 002653 25 Q. Prior to December 30th of 2014, had you 0626:24 25 just narrow question: Did you have a conversation with ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 7 of 46 sheets Page 176 to 179 of 335 10/20/2015 01:08:15 PM 180 182 0026:26 1 anyone who told you that they, that person, had 00:2023 1 helpful. So please just instruct him to answer 002812 2 discussed the subject matter of Virginia Roberts's 0028:25 2 or not answer, and we will let the judge decide. 00:26:36 3 allegations against Professor Dershowitz with 00:2827 3 MR. SCAROLA: Well, the instruction -- I only 00:26:38 4 Mr. Josefsberg? Just did you discuss it with anyone? 00:28:29 4 gave the explanation in the hope that it might 0026:41 5 MR. SCAROLA: Same objection. Same 00:28:31 5 facilitate the examination and allow you to move 0026:42 6 instruction. 00:28:33 6 to areas where you can get substantive 00:26:42 7 MR. SIMPSON: Okay. 0028:36 7 information. 00:26:43 8 MR. SCAROLA: If you want to rephrase the 0028:36 8 I apologize if you consider it a waste of 002044 9 question to ask him whether he had such a 0028:39 9 time. So I will simply instruct Professor 00:26:46 10 conversation with anyone outside the 00:28:42 10 Cassell not to answer the question as phrased. 00:26:48 11 attorney/client or work-product privilege, that's 00:28:45 11 If you ever want an explanation as to the basis 0026:51 12 a question that we are obliged to answer. 00:2647 12 of my instruction, I'm prepared to give that to 00:26:55 13 The question, as you phrased it, is a 00:28:50 13 you. 00:26:56 14 question that we are precluded from answering. 0028:50 14 MR. SIMPSON: Thank you. That -- that's a 00:26:59 15 MR. SIMPSON: That's a very strange notion of 00:28:51 15 helpful way to proceed. 00:27:07 16 privilege. 0028:52 16 MR. SCAROLA: Okay. 0027:01 17 BY MR. SIMPSON: 00:28:53 17 BY MR. SIMPSON: 00:27:01 18 Q. But let me ask it this way: Did you discuss 0028:56 18 Q. Have you -- well, let's start this way: Have 00:27:07 19 with anyone who is not an attorney -- let me rephrase it 00:28:58 19 you discussed with any of the attorneys within what you 00:27:15 20 a different way. 0029:05 20 described as the common-interest attorney/client group, 00:27:16 21 You testified yesterday about your 0029:12 21 whether that person had discussed with Mr. Josefsberg 00:2718 22 understanding of the scope of the alleged 002916 22 Virginia Roberts's allegations against Professor 002721 23 common-interest privilege, correct? 002920 23 Dershowitz? 00:27:23 24 A. Yes. 00:29:20 24 MR. SCAROLA: Same objection. Same 00:27:23 25 Q. Putting aside the people within the scope of 00:2920 25 instruction. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 181 183 00:27:23 1 that privilege -- 00:2920 1 BY MR. SIMPSON: 00:27:23 2 A. Yes. 00:2922 2 Q. Have you discussed with anyone who is not an 00:27,27 3 Q. -- that you identified -- 002927 3 attorney for Miss Roberts whether -- strike that. 002727 4 A. Uh-huh. 0029:33 4 Has anyone who is not an attorney for 0027:30 5 Q. -- your definition of it -- 0029:35 5 Miss Roberts told you that they had discussed with 00:27:31 6 A. Right. That's right. 0029:40 6 Mr. Josefsberg the allegations against -- by Virginia 00:27:31 7 Q. -- did you discuss the topic -- did anyone 00:29:46 7 Roberts against Professor Dershowitz? 00:27:34 8 tell you they had discussed the topic of Virginia 0029:47 8 MR. SCAROLA: Same objection. Same 00:27:37 9 Roberts's allegations against Professor Dershowitz with 002948 9 instruction. 0027:40 10 Mr. Josefsberg? 00:29:48 10 BY MR. SIMPSON: 00:27A1 11 MR. SCAROLA: You may not answer that 0029:59 11 Q. Have you personally spoken with anyone else 0027:44 12 question to the extent the question still 00:30:03 12 at Mr. Josefsberg's firm, other than him, about Virginia 00:27,45 13 encompasses attorney/client privileged 00:30:12 13 Roberts's allegations against Professor Dershowitz? 0027:49 14 communications. If you want to rephrase the 00:3015 14 A. Not to my knowledge. 00:27:50 15 question to exclude both common-interest 00:3016 15 MS. McCAWLEY: I'm sorry. I'm sorry. Can 0027:55 16 privileged communications and attorney/client 00:3018 16 you read that back? 00:27:57 17 privileged communications, that's a question we 00:30:19 17 MR. SCAROLA: Was a communication with anyone 0028:00 18 are prepared to answer. 00:30:20 18 else in Bob Josefsberg -- Bob Josefsberg's firm, 0028:01 19 Otherwise, we are prohibited from answering 003025 19 personal communication between Professor Cassell 00:28,04 20 the question as phrased as a consequence of it 00:3028 20 and any firm member of Bob Josefsberg. 00:28:09 21 encompassing privileged communications. 00:3031 21 MS. McCAWLEY: Okay. 0028:12 22 MR. SIMPSON: As he defined the 00:3031 22 BY MR. SIMPSON: 002814 23 common-interest privileged group, it included 00:30:31 23 Q. And the answer was, not that you recall? 0028:17 24 attorney/client, but I think at this point the 00:3034 24 A. Not to my knowledge. I don't know all the 00:28:20 25 explanations you're providing aren't really 00:3034 25 members of his firm, but I certainly have no ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:08:15 PM Page 180 to 183 of 335 8 of 46 sheets 184 186 00:30:37 1 recollection of talking to, you know, anyone who is -- 00:3220 1 BY MR. SIMPSON: 00:3019 2 who was in his firm. 00:32:22 2 Q. Have you ever -- I'll rephrase the question. 00:30:40 3 Q. Okay. 00:32:25 3 Have you ever discussed with Mr. Boies his 00:3041 4 A. 1-- I think the record should be clear, 00:32:30 4 views as to whether or not Miss Roberts is mistaken in 00:30:43 5 I'm -- I'm an attorney and a law professor in Salt Lake 00:32:37 5 her allegations against Professor Dershowitz? 00:30:46 6 City, Utah, and my understanding, he's an attorney here 00:32:39 6 MS. McCAWLEY: Objection. 00:30:49 7 in Florida. So I don't ordinarily interact with -- 00:32:39 7 MR. SCAROLA: Same objection. Same 00:30:51 8 with, you know, attorneys in Florida, other than the 00:32:40 8 instruction. 0030,54 9 ones that I'm interacting with on -- on this case. 00:32:45 9 BY MR. SIMPSON: 0030:56 10 MR. SCAROLA: Which is now occurring on a 0012:46 10 Q. Prior to December 30th of 2014, had you 00:30:58 11 very regular basis. 0012:52 11 personally reviewed any of the flight logs that had been 00:31:01 12 BY MR. SIMPSON: 0012:56 12 referred to in the testimony in this case? 00:31:01 13 Q. Mr. Cassell -- 00:32:58 13 A. All right? 00:31:01 14 MR. SCOTT: No teaming, Mr. Scarola, please. 0033:02 14 Q. My only question is whether you personally 00:31:01 15 BY MR. SIMPSON: 0013:03 15 reviewed them. 00:31:04 16 Q. -- did -- didn't you testify yesterday that 00:33:04 16 A. Yes. 00:31:05 17 the fact that Mr. Josefsberg's firm had filed a 00:33:04 17 Q. What flight logs have you reviewed; how would 00:31:10 18 complaint against Miss Roberts, who is also your client, 003107 18 you describe them? 0011:12 19 to be significant to your evaluation of the case? 00:33:08 19 A. Both Exhibit 1 and Exhibit 2 that were shown 0031:15 20 A. Yes. 00:33:13 20 to Mr. Dershowitz yesterday. 00:31:15 21 Q. And if it -- if that was significant to 00:33:15 21 Q. If -- I believe those were Exhibits 6 and 00:31:18 22 evaluation of the case, why are you telling us you don't 00:33:19 22 7 -- 0011.20 23 normally talk with attorneys in Florida? Doesn't he 00:33:19 23 A. Okay. 00:31:25 24 represent -- at one point, represent the same client? 00:33:19 24 Q. -- but can we agree that flight logs were 00:31:26 25 A. Right. 00:33:21 25 marked as exhibits? ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 185 187 00:31:27 1 Q. And so wouldn't it be natural for you to be 00:33:22 1 A. Right. The two composite exhibits of flight 00:31:29 2 speaking with -- at least within the realm of something 00:33:26 2 logs I had examined previously. 0011:33 3 one might expect for you to speak? 00:33:27 3 Q. Okay. So the same documents that Professor 00:31:35 4 A. If I were a solo representative of Virginia 003130 4 Dershowitz was shown at his deposition; is that right? 0011:38 5 Roberts, that would be the case, but I think you're 00:3314 5 A. That's my recollection, yes. 00:31:40 6 obviously aware that I have co-counsel on this case, and 0013:35 6 Q. Okay. When did you review those? 0031:43 7 there are other attorneys who are also participating in 00:3137 7 A. So one of the reviews was in May 2014. There 0011:46 8 this matter. 003146 8 may have also been an earlier review at an earlier -- 00:31:47 9 So I think it would be obvious that if 00:3153 9 earlier time, but I definitely remember reviewing them 00:31:50 10 there's a division of labor, it might not be along the 0013:55 10 in May -- approximately May 2014. 0031:53 11 lines that you're suggesting. And I can't go any 00:33:58 11 Q. Would -- do you -- isn't it true that those 0031:55 12 further without going into work product and other issues 00:34:02 12 flight logs support Professor Dershowitz's testimony 0011:59 13 surrounding Miss Roberts' representation. 0014,07 13 that he was never on a plane with Virginia Roberts? 00:32:01 14 Q. Has Mr. Boies ever told you that he believes 00:34:10 14 A. No. 00:32:05 15 Miss Roberts was mistaken in her accusations against 00:34:12 15 Q. How do they not? What is -- what is the 00:32:08 16 Professor Dershowitz? 001414 16 explanation for your conclusion in that regard? 00:32:09 17 MR. SCAROLA: Same objection. Same 0014:16 17 A. Right. We talked about this yesterday, so 00:3211 18 instruction. 0014:20 18 I'll incorporate to speed things up some of the 0012:12 19 MS. McCAWLEY: Same instruction. 00:34.22 19 testimony that I gave yesterday. 0032:13 20 THE WITNESS: I'd like to confer with my 003423 20 What the flight logs showed was, to my mind, 00:32:15 21 counsel on a attorney/client privilege issue in 00:34:26 21 evidence of potential doctoring, evidence of -- of 00:32:19 22 connection with that question. 001410 22 selective presentation of evidence. Mr. Dershowitz had 00:32:19 23 MS. McCAWLEY: Can I just write down the 0034:34 23 presented to a law enforcement agency, at their request, 00,32:19 24 question and -- 0014:37 24 apparently what I understood to be the -- the -- I 0032,20 25 MR. SIMPSON: I'll -- I'll rephrase it. 0034.40 25 understood that he had been requested by a law ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 9 of 46 sheets Page 184 to 187 of 335 10/20/2015 01:08:15 PM 188 190 00:34:42 1 enforcement agency to provide flight logs relevant to 00:37:16 1 that covered the jet were not just the David Rogers' 0064:46 2 this investigation. 00:37:20 2 flight logs, but there should be flight logs for other 00:34:47 3 And rather than providing all the flight logs 00:37:22 3 pilots which were not apparently being produced. 00:34:49 4 that were available at that time, he appears to have 063725 4 And so, in light of all that, what I was 00:34:52 5 provided flight logs that went from January 2005 through 00:37:27 5 seeing was a -- a production of flight logs that was 00:34:57 6 September 2005, knowing that he appeared on an 00:37:32 6 incomplete. And then I started to hear from 00:35:01 7 October -- I may be off by one month here -- but on an 00:37:35 7 Mr. Dershowitz that, well, these records prove 00:35:04 8 October 2005 flight log. 00:37:37 8 conclusively I couldn't have done that. And I knew to 00:35:06 9 So that, to my mind, had indicated that 00:37:40 9 an absolute certainty, that the records were 00:35:08 10 Professor Dershowitz was providing selective information 0637:42 10 inconsistent and inaccurate; and for somebody who had 00:35:11 11 to law enforcement. Those concerns -- this is, you 00:37:45 11 apparently carefully produced these records, to 00:35:15 12 know, there's -- there's more to it. 0637,48 12 represent that these conclusively prove that he wasn't 00:35:18 13 The other problem was that the flight logs 00:37:52 13 on the flights, seemed to me to be inaccurate 0635:22 14 that Mr. Dershowitz had produced were inconsistent with 00:37:54 14 information. 063526 15 the flight logs that Dave Rogers, one of Mr. Epstein's 0637:55 15 So that was -- those were the kinds of things 00:35:31 16 pilots had, so there were now inconsistencies on these 00:37:56 16 I was thinking about. 00.35:35 17 flight logs. And it seemed to be -- it seemed to me to 00:37:59 17 Q. Mr. Cassell, is it your testimony -- 00:35,39 18 be surprising that during the period of time where 00:38:02 18 MR. SIMPSON: Well, first of all, I move to 00:35:41 19 Virginia Roberts was involved, Mr. Dershowitz was not 063603 19 strike the nonresponsive portion of the answer. 00:35:45 20 appearing on those flight logs. 0638:03 20 BY MR. SIMPSON: 0635,46 21 Now, it is possible, I suppose, and that 00:38:07 21 Q. Mr. Cassell, is it your testimony that you 00,3649 22 seems to be Mr. Dershowitz's position, that the reason 0638,08 22 have sufficient information to conclude and allege that 00:35:52 23 he's not on those flight logs is that he was not on 0638:12 23 Professor Dershowitz falsified documents and gave 0035:54 24 those flights. But given all of the information -- and 00:38:16 24 falsified documents to a prosecuting authority? 00:35:57 25 I won't take your time this morning to go through -- all 0638:19 25 A. It is my belief that Professor Dershowitz ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 189 191 00:35:59 1 the information I had about this international sex 0638:22 1 provided incomplete production to law enforcement 00:313:03 2 trafficking organization, it seemed to me that it was 00:3825 2 agencies. 0636:05 3 also possible that the sex trafficking organization, 00:38:25 3 Q. Is it your testimony under oath that you have 00:36:08 4 which was represented by, you know, vast resources and 00:38:26 4 sufficient information to allege that Professor 00.36,12 5 the ability to produce witnesses and documents and other 00:38,31 5 Dershowitz intentionally provided false information to a 0636:15 6 information that would -- would cover up the existence 00:38:37 6 prosecuting authority? 00:36:19 7 of this organization, had gone through the flight logs 0638,38 7 A. It is my position that he provided incomplete 00:36:22 8 and had made necessary alterations to -- to conceal the 00:38:42 8 information to a prosecuting authority and inaccurate 0636:26 9 scope of -- of the -- of the operation. 0038:45 9 information to a prosecuting authority. 0636:29 10 In addition to that, when I started to 0638:47 10 Now, as to precisely what his state of mind 00:3633 11 compare the Dave Rogers' flight logs with the David -- 063649 11 was when he was producing the incomplete and inaccurate 00:3638 12 excuse me. I am going to get a drink. 0638:52 12 information, that remains to be this -- you know, that 00:36:42 13 When I started to compare the -- oh, I'm 00:3854 13 was one of the topics that I was hoping could have been 00:36:46 14 sorry. I should be looking at the camera. 0638:56 14 covered in -- in the depositions here in the last two 0636:48 15 When I started -- when I started to compare 00:38:59 15 days, but unfortunately, there wasn't sufficient time. 00:36:49 16 the Dave Rogers' flight logs with the Dershowitz -- 00;39:03 16 Q. Let me ask it a different way. You -- you 0636:54 17 which we call them the Dershowitz flight logs, which 063605 17 gave a long answer in which you described reasons you 00:36:55 18 were the logs that he had produced, there were 00,39,08 18 apparently believe that these flight logs were not 063658 19 inconsistencies, and so it struck me as odd that there 00:39:13 19 merely incomplete, but that someone had false -- 0637:03 20 were these inconsistent flight logs. 00:39:16 20 falsified them. And did I understand you correctly? 0637:03 21 The other thing that I noticed is, I don't 00:39:20 21 MR. SCAROLA: Excuse me. The question that 00:3765 22 believe that Dave Rogers was the exclusive pilot for 00:3622 22 was asked was limited to the time period prior to 0637:08 23 Mr. Epstein. And so I had a concern -- excuse me. I'm 00:3626 23 December 30th. The answer that was given was 00:3713 24 sorry. 0639,29 24 limited to the time period prior to December 00:37:13 25 I had a concern that the flight logs that -- 00:3631 25 30th. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:08:15 PM Page 188 to 191 of 335 10 of 46 sheets 192 194 00:39:32 1 Are you now asking for an expansion of that 00:42:08 1 Another thing that happened during the 00:39:35 2 response to include information that's been 00:42:10 2 deposition, and I will not repeat what was said in the 00:39:38 3 gathered since December 30th? 00:42:14 3 deposition, because there was immediately an objection 00:39:40 4 MR. SIMPSON: I will take your objection to 00,42:17 4 from Ms. McCawley, but there were two points in the 00:39:43 5 the form. 00:42:19 5 deposition where Mr. Dershowitz made representations 00.3944 6 Can we have the question back? 00:42:22 6 about what a New York Attorney David Boies would say, 00:39:44 7 (Thereupon, a portion of the record was read 00:42:25 7 and I'm not going into any ....- 00:40:05 8 by the reporter.) 00:42:27 8 Q. I -- I just want to say if he starts talking 004006 9 MR. SCAROLA: And I object. The question is 00:42:30 9 about it -- 00:40:07 10 vague and ambiguous because it fails to identify 00:42:31 10 MS. McCAWLEY: No, I -- I object to any 00:40:09 11 the time period about which you are inquiring. 00:42:32 11 reference -- 00:4009 12 BY MR. SIMPSON: 00:42:33 12 MR. SIMPSON: -- then I get to ask all the 00:40:14 13 Q. Mr. Cassell, as you sit here today, are you 00:42:34 13 questions if he should say anything. 00:40:18 14 prepared, based on the information you have available to 0042:34 14 MS. McCAWLEY: I think he's just 00:40:21 15 you, to assert that Professor Dershowitz intentionally 00:42:35 15 acknowledging that -- I'm sorry. I think he's 00:40:28 16 provided misleading or doctored documents to a 00:42:37 16 acknowledging that that occurred. I object to 00:40:34 17 prosecuting authority? 00:42:39 17 any -- any discussion of any settlement 00:40:37 18 A. So based on all the information I have today? 00:42:43 18 communications in the context of that privilege. 00:40:39 19 Q. Yes. 00:42:44 19 MR. SCAROLA: I don't intend to get into any 00:40:40 20 A. Yes. 00:42:48 20 settlement discussions. We are not going to 0040:40 21 Q. What do you base -- what is the basis for 00:4250 21 repeat the substance of the objected-to 00:40:44 22 that conclusion, and include information up until today? 0042:51 22 testimony. 00:40:48 23 A. All right. So, obviously, that's an 00:42:51 23 MR. SIMPSON: My point, I just want it to be 00:40:51 24 open-ended question. 00:4254 24 on notice -- 00:40:52 25 Q. I -- just answer the question, please, as 0042:54 25 MS. McCAWLEY: Yes. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 193 195 00:40:55 1 best you can. 00:4255 1 MR. SIMPSON: -- is if this witness starts 00:4055 2 A. Sure. All right. Well, let me just -- 00:4256 2 saying anything about his communications or why 00:40:58 3 that's a lot -- there's a lot of things to get into on 00:43:00 3 he -- he's coming to a conclusion, he's putting 00:41:00 4 that. 00:43:02 4 that forth as a basis, he has opened the door. 00:41:02 5 Let's start with the events of the last two 00:43:05 5 You can't put it forth and park and not let 00:41:05 6 days, the deposition of Mr. Dershowitz, which in my mind 00:43:07 6 me ask for all the discussions. 00:41:10 7 demonstrates repeated false statements that were made by 00:43:09 7 MR. SCAROLA: You can -- you can proceed and 00,41:14 8 Mr. Dershowitz. 00:43:10 8 you know not to include privileged -- 00:41:15 9 Let's begin with the overarching point about 00:43:10 9 THE WITNESS: Yes. 0041:18 10 the deposition of the last two days. I've been 0043:13 10 MR. SCAROLA: -- communications. 00:41:20 11 practicing law -- law since about 1986. And in my 00:43:13 11 THE WITNESS: There was a newspaper that 00:41:26 12 experience, I have never seen a more evasive effort to 00:43:15 12 reported -- a Florida business newspaper that 00:41:30 13 avoid answering questions, and to essentially run out 00:43:18 13 promptly after Mr. Dershowitz said that Mr. Boies 00:41:34 14 the clock so that detailed questions could not be asked 00:43:21 14 had made certain representations, a Florida -- 00:41:38 15 by my attorney. And I witnessed over the last two days, 00:4324 15 respected Florida business newspaper immediately 00:41:41 16 Mr. Dershowitz was asked a series of very simple 00:43:27 16 reported that David Boies had said, that was a 00:41:44 17 questions; where were you on this day; or what's the 00:43:29 17 false statement. 00:41:46 18 name; or what time, things like that, and instead of, 00:43:31 18 And in light of that, I now had David Boies 0041:49 19 you know, giving an -- an immediate answer, he ended up 00:43:34 19 saying that Mr. Dershowitz was making false 00:4153 20 giving a very extended answer commonly punctuated with 0043:37 20 statements under oath during the -- the 00:4157 21 disparaging remarks that seemed to have nothing to do 00:43:38 21 deposition that occurred over the last two days. 00:42:00 22 with answering the question. 00:43:41 22 In addition to that, I had -- again, during 00:42:01 23 So I drew the inference from that that 00:43:44 23 the deposition, I heard Mr. Dershowitz say that 00:42:03 24 Mr. Dershowitz did not want to answer questions over the 00:43:48 24 Attorney Bob Josefsberg had said that -- words to 00:42:07 25 last two days. 0043:52 25 the effect that he, Josefsberg, did not believe ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 11 of 46 sheets Page 192 to 195 of 335 10/20/2015 01:08:15 PM 196 198 00:43:54 1 Virginia Roberts. 0646:02 1 You know, I also have -- I would like to 0643:55 2 I knew Josefsberg was an attorney who had 0646:05 2 refresh my recollection and if -- if counsel -- 0044:00 3 represented Miss Roberts based on public 064610 3 that's -- 00:4460 4 information, and I knew that that would be a 00:46:10 4 MR. SCAROLA: You can refresh your 00:4462 5 gross violation of Mr. Josefsberg's 0646:12 5 recollection on anything you need to. 00:4464 6 attorney/client obligations. And as a result of 00:4612 6 THE WITNESS: All right. I'd like to refresh 0644:09 7 that, it seemed to me that, once again, 00;46:15 7 my recollection by looking at - 064466 8 Mr. Dershowitz was giving false information under 0646:16 8 MR. SIMPSON: Actually, I -- I object to this 00:4412 9 oath in an effort to exculpate himself from the 00:4617 9 answer as nonresponsive. I haven't heard 064417 10 sex trafficking that he had been involved with. 0646:20 10 anything about flight logs once. 0644:19 11 In addition to that, I learned during the 00:46:21 11 MR. SCAROLA: You can continue. 00:44:21 12 deposition on Thursday that it had, quote, not 00:4623 12 THE WITNESS: These -- you know, these all go 00:44:26 13 crossed my mind, close quote -- I believe that's 0646:27 13 to the statements. 00:44:29 14 a direct quote from Mr. Dershowitz -- to record a 00:46,27 14 BY MR. SIMPSON: 00:44:31 15 conversation with a woman allegedly named Rebecca 0646:28 15 Q. You're looking at a document? 0644:34 16 who had allegedly made certain statements. That 064629 16 A. Yeah. Let's mark it as an exhibit if you'd 0644:37 17 was on Thursday. 00:4632 17 like. This is a memory aid to me. 0644:38 18 And then yesterday, Friday, I learned that 00:46:34 18 Q. Did you prepare it? 00:44:40 19 Mr. Dershowitz, not only had it crossed his mind 00:46:35 19 A. Yes, I did. All right. Let's see. At page 00:44:43 20 to make a recording, he had, in fact, made such a 00:464220 114 of a rough transcript that I saw prepared of 00:44:47 21 recording; and in fact, had it transcribed; and 00:46:46 21 Thursday's testimony, Mr. Dershowitz was asked. Quote: 0644:50 22 in fact, turned it over to his attorneys. So, 0646:50 22 You know that Virginia Roberts is not the only person 00:44:53 23 once again, I had what appeared to be a false 0646,5223 who has sworn under oath that you were present at 00:44:56 24 statement under oath by Mr. Dershowitz in an 00:46:55 24 Jeffrey Epstein's Palm Beach home with young girls, 00:44:58 25 attempt to exculpate himself from the -- the sex 00:46:59 25 right? Answer: No. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 197 199 00:45:03 1 trafficking that we -- we have evidence he has 00:4762 1 That seemed to me to be false or at the very 00:45:06 2 been involved with. 00:47:05 2 least misleading testimony given that Mr. Dershowitz 00:45:06 3 The false statements or certainly misleading 0047:07 3 knew that Juan Alessi, among potentially other people, 00:45:12 4 statements continue. I suppose, some of these 00:4711 4 had identified him as having been in the presence of 00:45:14 5 could be a matter of judgment. The -- they raise 00:47:14 5 Jeffrey Epstein and young girls at the Florida mansion 0645:18 6 grave concern to me. 00:4717 6 and, indeed, had identified a photograph of Virginia 0645:18 7 One of them was that we had propounded an 00:4720 7 Roberts. 00:45:20 8 interrogatory requesting the basis for 064721 8 At page 164 of the transcript, Mr. Dershowitz 00:4523 9 Mr. Dershowitz's statements that Virginia Roberts 00:47:25 9 was asked, quote: All of the manifests that have been 00:45126 10 had a criminal record. And he said that, well, 00:47:28 10 produced in this litigation, the ones that you say 00:45:29 11 she's admitted that she had sex with various 0647:31 11 corroborate your testimony and exonerate you, 00:45:32 12 people, so that renders her a criminal, and 00:47:34 12 demonstrate that you never flew on Jeffrey Epstein's 00:45:34 13 something along those lines, which I didn't think 0647:37 13 plane in the company of your wife, correct? Answer: 0645,36 14 was very accurate. 0647:41 14 No, that's not true. I don't know that. 00:45:38 15 But in any event, that was the answer he 00:47:44 15 And, again, in the context of this litigation 00.45:39 16 gave. And then I learned during the deposition 0647:46 16 where the flight logs have been, as this question that 00:45:42 17 in the last two days, that Mr. Dershowitz had 00:47:48 17 I'm answering tends to show, are so central for 00:45:45 18 received information that he says shows that 00:47:52 18 Mr. Dershowitz to testify under oath that he didn't know 00:45:48 19 Virginia Roberts had stolen money from a 06A7:56 19 whether his wife was depicted on the flight log, struck 00:45:50 20 restaurant and had been criminally charged with 00:47:59 20 me as, at the very least, misleading information, but I 0645:51 21 that. 00.4862 21 concluded in my opinion was actually deliberately false 00:45:52 22 That was not produced to us during discovery, 0648:05 22 information, particularly, given this litigation where 00:45:54 23 even though it would have been obviously 0648:08 23 he has produced, not only his own personal travel 0645,56 24 relevant, and it was directly called for in the 0648,11 24 record, but all of his wife's travel records for the 00:45:59 25 discovery that we were provided with. 0648:14 25 relevant period of time. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:08:15 PM Page 196 to 199 of 335 12 of 46 sheets 200 202 00:48:15 1 So I thought that was, again, a deliberate 00:50:41 1 logs. And I could refresh my recollection here by 00:48:19 2 false statement under oath designed to exculpate him 00:50:45 2 looking at, I think it's docket entry 291 of our 00:48:22 3 from his criminal involvement in this international sex 00:50:49 3 pleading that we presented on January 21st to 00:48:26 4 trafficking ring. 00:50:51 4 Judge Marra where we provided specific itemized examples 00:48:27 5 At another point in the transcript, he was 00:50:54 5 of inconsistencies between the Dave Rogers' flight log 00:4829 6 asked, quote, -- no, I'm sorry. He stated, quote: I 00:50:58 6 and the -- again, I'll call it, the Alan Dershowitz 00:48:32 7 challenge you to find any statement where I said I have 00:51:01 7 flight log, which was a selected presentation of flight 00:48:35 8 never traveled outside the presence of my wife, close 00:51,03 8 log information. 00:48:38 9 quote, representing that there would be no such 00:51:04 9 And when you see those inconsistencies, it 00:48:42 10 statement there, when, in fact, I'm aware of an American 00:51:06 10 becomes very hard to believe that all of the information 00:48:45 11 Lawyer quotation attributed to him from January 15th, 00:51:09 11 that was provided in those flight logs was accurate. So 00:48:48 12 2015, quote: I've been married to the same woman for 28 00:51:11 12 when I take all of that information, put it together, I 00:48:52 13 years. She goes with me everywhere, close quote. And, 00:51:14 13 believe that there's sufficient -- I have a sufficient 00:48:56 14 again, you know, this -- I understand sometimes people 00:51:17 14 basis for believing at this point in time, that 00'4869 15 may go away from their wife, but the American Lawyer 00:51:19 15 Mr. Dershowitz has, indeed, provided inaccurate 00:49:01 16 was, obviously, on January 15th, 2015, asking about: 0651:22 16 information to -- to law enforcement agencies, or at a 00:49:05 17 Well, have you been outside the presence of your wife in 00:51:25 17 minimum has provided -- has produced inaccurate 00:49:08 18 situations where you might have interacted with Virginia 00:51:29 18 information through circumstances beyond his control. 00:49:10 19 Roberts? And that was the answer that he gave to the 00:51:32 19 But when he continually represents that the 00:49:12 20 American Lawyer. 00:51:34 20 information is accurate and exonerates him, I believe 00:49:13 21 And based on -- on my review of the flight 00:51:37 21 that that is a deliberately false statement. 00:49:15 22 logs, I thought that was, again, a deliberate effort to 00:51:41 22 MR. SIMPSON: Move to strike the answer -- 00:49:20 23 obscure and try to exculpate himself from his 00,51:42 23 the nonresponsive portion of the answer. 00:49:23 24 involvement in this international sex trafficking ring. 00:51:46 24 MR. SCAROLA: Which portion is that? 00:49:26 25 The -- he also said yesterday: Nobody knows 00:51:47 25 MR. SIMPSON: 99 percent of it. I think at ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 201 203 00:49:33 1 about Prince Andrew and Virginia, except for the two of 00:51:50 1 the end, we got to the flight logs. 00:49:36 2 them. And, again, I thought that was at a minimum, 00:51:52 2 I move to strike the nonresponsive portion. 00:49:39 3 deliberately mis -- misleading information and more 00:51:54 3 BY MR. SIMPSON: 00:49:41 4 likely deliberately false information, because 00:51:55 4 Q. Mr. Cassell, you came here today looking for 00:49:43 5 Mr. Dershowitz was aware of the photograph and had long 00:51:57 5 an opportunity to give that statement; did you not? 00:49:47 6 been aware of the photograph that shows Prince Andrew 00:51:59 6 A. If it was relevant to an answer I was giving, 0649:50 7 with his arm around Virginia Roberts, standing next to a 00:52:03 7 yes. 00:49:53 8 beaming Glenn Maxwell who has been involved in this 00:52:03 8 Q. The answer to my question is, yes, you came 00:4966 9 international sex trafficking organization. 00:52:05 9 here today looking for a question to which you could 00:49:59 10 And in the circumstances of that photograph, 0652:08 10 respond with that prepared statement? 00:50:01 11 it seems quite likely that the photographer who took 00:52:10 11 A. I was prepared to give that -- I anticipated 00:50;04 12 that picture was the head of the international sex 00:52:13 12 that a very good attorney for Mr. Dershowitz might ask a 00:50:07 13 trafficking ring, Jeffrey Epstein. And so for him to 00:5215 13 question where that would be relevant. And if that 00:50:10 14 say that only two people knew what went on was, again, 00:52:18 14 question were asked and I was given the opportunity to 00:5014 15 deliberately false information, because I know he is the 00:52:20 15 make that statement, I wanted to be prepared to give it 0650:17 16 attorney for Jeffrey Epstein, and he could have asserted 00:52:23 16 in the most accurate way that I could. 00:50:20 17 attorney/client privilege over that, said, I can't get 00:52:25 17 MR. SIMPSON: I would like the reporter to 00:50:22 18 into my communications with my client about what he was 00:52:27 18 mark as Exhibit -- are we up to 4 -- Exhibit 4, 00:50:25 19 doing with Prince Andrew. 00:52:31 19 the document that Mr. Cassell was referring to. 00:50:26 20 But instead he said, no one knows what 00:52:34 20 I'll let the reporter do that. 00:50:29 21 happened, other than those two people in circumstances 00:52:36 21 THE WITNESS: Okay. 00:50:31 22 where it was quite clear that there would have been 00:52:36 22 (Cassell's I.D. Exhibit No. 4 - document 00:50:34 23 others who would have been aware of that. 00:52:36 23 produced by the witness was marked for identification.) 00:50:35 24 Now, the question is: Why do I think the -- 0652:59 24 MR. SIMPSON: I just want to make that part 00:50:39 25 the -- you know, there are inaccuracies in the flight 00:53:00 25 of the record. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 13 of 46 sheets Page 200 to 203 of 335 10/20/2015 01:08:15 PM 204 206 00:53:00 1 BY MR. SIMPSON: 065568 1 perfectly clear. 0653:02 2 Q. Before Wednesday of this week, you had none 006568 2 BY MR. SIMPSON: 00:5367 3 of the information that you just described about 00:55:08 3 Q. My question, Mr. Cassell, is: You reviewed 00:53:10 4 Professor Dershowitz's testimony, correct? 0065:11 4 the flight logs, correct? 00:53:12 5 A. Correct. 00:55:12 5 A. Correct. 0653,12 6 Q. I'm trying to look at my notes here of your 0055:12 6 Q. You reviewed them in some detail, correct? 0653:28 7 long answer, but one thing you indicated that -- was the 00:55:14 7 A. Correct. 00:53:30 8 fact that Professor Dershowitz gave long answers is 00:55:15 8 Q. Is there any entry on those flight lines - 00:53'34 9 somehow indicative of false answers or perjury -- 00:5617 9 logs that you read as putting Professor Dershowitz and 065314 10 MR. SCAROLA: That is -- 00:55:21 10 Miss Roberts on the same plane? 00:53:34 11 BY MR. SIMPSON: 00:55:23 11 A. No. 0653'19 12 Q. -- is that right? 00:5624 12 Q. And so your testimony about questions about 00,53:39 13 MR. SCAROLA: That is an absolute 00:55:26 13 the completeness and accuracy of those flight logs goes 00:53:40 14 mischaracterization of the statement that 00:55:33 14 to whether the logs are -- let me rephrase that. 00:53:43 15 Professor Cassell made. He did not refer to the 00:55:39 15 The answer that you gave about your question 0653:47 16 length of the answers, but rather their 00:55:43 16 as -- your views as to the completeness of the flight 0653:47 17 nonresponsiveness. 00:55:47 17 logs and whether they may have been changed in some 0653:47 18 BY MR. SIMPSON: 065650 18 ways, goes to whether those logs are conclusive, not 00:53:52 19 Q. Let me -- let me ask a different question. 00:55:54 19 whether they, in fact, support Professor Dershowitz's 00:53:55 20 Go back to the flight logs themselves. 00:55:5820 testimony that he was not on a plane with Virginia 065367 21 A. Okay. 065662 21 Roberts? 0653:57 22 Q. My initial question that got us going down 00:56:03 22 MR. SCAROLA: I'm going to object to the form 03:54:01 23 this line was: Isn't it true that the flight logs 065664 23 of the question as vague and ambiguous. I don't 00:54:05 24 themselves support Professor Dershowitz's testimony that 00:56:08 24 understand it. 00:54:13 25 he was never on a plane with Virginia Roberts, the face ESQUIRE DEPOSITION SOLUTIONS 00,56:08 25 THE WITNESS: And I won't give a long answer, ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 205 207 00:54:17 1 of the flight logs support that proposition? 065668 1 but I -- I think, as I previously indicated, you 00:5420 2 A. The face of the flight logs for the relevant 00:5611 2 can't just look at the face of these documents 00:54:23 3 period of time, we can call it the hot period of time or 006614 3 without -- with -- you know, against the context 065425 4 whatever you want, did not reveal the presence of 0656:17 4 of an international sex trafficking ring that's 00:54:27 5 Mr. Dershowitz on those flights, yes. 00:56:19 5 trying to cover up what it's doing. You cant 00. 54:29 6 Q. Okay. So during the period -- well, 00:56:21 6 just look and documents and assume that they are 0654,32 7 actually, there's no flight log that shows Virginia 0656:22 7 100 percent accurate without that -- having that 00:54:34 8 Roberts and Professor Dershowitz on the same airplane, 00:5624 8 context in mind. 00:54:37 9 correct? 00,56:20 9 BY MR. SIMPSON: 00:54,37 10 A. That's my understanding, yes. 00:5626 10 Q. And so am I right, that on the face of the 0054:39 11 Q. And -- 0656.29 11 flight logs, there's nothing showing Virginia Roberts 00:54:39 12 MR. SCAROLA: By name. You're -- you're -- 0066:32 12 and Professor Dershowitz on the same plane? 0654:39 13 MS. McCAWLEY: And it -- 00:56:35 13 A. That's correct. 00:54:41 14 MR. SCAROLA: -- asking whether she was there 0656:35 14 Q. And -- go on. 00:54:43 15 identified by name? 0656:40 15 And so do I understand correctly that your 0654:45 16 BY MR. SIMPSON: 06566716 position is that the flight logs may not be complete or 00:54:47 17 Q. To your knowledge, isn't it correct that 00:57:06 17 may have been changed, but you do not dispute, that on 00:54:49 18 there is no flight log that's been produced in this case 00:57:10 18 their face, they support Professor Dershowitz's 00:54:51 19 by any party that reflects Professor Dershowitz and 00:57,13 19 testimony? 065465 20 Virginia Roberts on the same plane, as you read the 00:57714 20 MR. SCAROLA: Objection. 00:5468 21 flight log? 00:57:16 21 MS. McCAWLEY: Objection. 00:54:59 22 MR. SCAROLA: I'm sorry. Are you asking 0657:16 22 MR. SCAROLA: Compound. 0065:02 23 whether those same names appear on the flight log 0067:16 23 THE WITNESS: Could you just aggregate that? 00:55:06 24 together? 00:57:19 24 BY MR. SIMPSON: 00:55:06 25 MR. SIMPSON: My question, I think, is 0067:20 25 Q. You follow the objections very well. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:08:15 PM Page 204 to 207 of 335 14 of 46 sheets 208 210 0057:22 1 A. I was thinking of that as well. 00:5008 1 A. I recall his testimony to that effect, yes. 00:57:22 2 BY MR. SIMPSON: 00,59:10 2 Q. And you testified that no support for that 00:57:22 3 Q. Let me -- 00:59:14 3 had been produced in discovery; is that correct? 00:57:23 4 A. I wasn't -- 00:59:16 4 A. That's my understanding, yes. 09:5723 5 Q. Let me -- 0059:17 5 Q. Isn't it true that in Mr. Alessi's 00:57:25 6 A. -- following their answer. 00:59:20 6 deposition, he describes that under oath and says that 00:57:25 7 Q. Let me -- let me just ask a different 00:5023 7 it happened? 00:57:27 8 question. 0059:24 8 A. I don't have a recollection of criminal 00:57:27 9 A. Sure. Thanks. 00:59:27 9 charges having been discussed in the Alessi deposition. 00:57:31 10 Q. You testified that you have -- at some 0015901 10 Q. Is it -- well, let me -- let me ask you: Is 00:57:35 11 length, about why you question the accuracy of the 005904 11 it your testimony that you understood that, in fact, 00:57:40 12 flight logs, correct? 00:59:40 12 Miss Roberts had been accused of stealing money from her 00:57:43 13 A. Correct. 00:59:44 13 employer? 00:57:43 14 Q. But I may be redundant, but you don't 00:59:47 14 MS. McCAWLEY: I'm going to object to the 00:57.45 15 question that what they show on their face supports 00:5048 15 extent it gets into any conversations that you 00:57:48 16 Professor Dershowitz's testimony -- 00:59:49 16 had with Virginia on any of these issues. 00:57:48 17 MS. McCAWLEY: Objection. 005052 17 THE WITNESS: Yeah, I'm trying to -- if your 00:57:48 18 BY MR. SIMPSON: 00:59:55 18 question is about the Alessi depo, I don't -- 00:57:50 19 Q. -- that he was not on a plane with Virginia 00:59:58 19 don't immediately recall him discussing -- 00:57:52 20 Roberts? otcaol 20 discussing them. 00:57:53 21 A. The -- you know, the -- the sex trafficking 01:00:03 21 BY MR. SIMPSON: 00:57:56 22 ring run by Jeffrey Epstein has produced Epstein flight 01:00:04 22 Q. If I represent to you that Mr. Alessi, in his 00:57:59 23 logs that appear to show that -- that Dershowitz and 01:00,07 23 deposition, referred to a police report and an arrest of 005804 24 Virginia Roberts are not on the plane, so... otooll 24 Miss Roberts, do you have any reason to question that? 00:58:06 25 Q. So the answer to my question is, yes? 01:001325 MR. SCAROLA: Could we -- could we pull out ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 209 211 00:5809 1 MR. SCAROLA: I'm sorry. 01:0014 1 the deposition? And if you have got a reference 00:58:09 2 THE WITNESS: Which question now? 010016 2 in the deposition, lets take a look at it. 00:58:10 3 MR. SIMPSON: The question you just -- could 0100:17 3 MR. SIMPSON: I'm just asking for his 00:58:12 4 you read back my -- my question and the answer? 01,00:18 4 recollection right now. The document will speak 00:58:12 5 BY MR. SIMPSON: 01:00:20 5 for itself. But I want to -- 00:58:31 6 Q. Let me ask it again. 01,00:21 6 MR. SCAROLA: Yes, it will. 00:58:31 7 A. Okay. 01:0021 7 MR. SIMPSON: He -- he made a very serious 00:58:31 8 Q. That's fine. 01100:23 8 accusation. I would like to get an answer to my 00:5033 9 A. I mean, I thought I was -- 01:00:25 9 question. Does he recall whether, in that 00:58:33 10 MR. SCAROLA: There's no question pending. 01:0027 10 deposition that all the parties in this case 00:58:34 11 THE WITNESS: I'm sorry. 01:0029 11 have, Mr. Alessi said under oath, that she had 00:58:35 12 BY MR. SIMPSON: 01:00:32 12 been arrested and charged with stealing from her 00:58:35 13 Q. What were you about to say? 01:00:34 13 employer. 00.58:36 14 A. I was about to say that the records that they 01:00:35 14 THE WITNESS: When you -- the question built 00:58:39 15 produced -- I'm -- I'm sorry... 01:00:37 15 in a serious accusation, the -- the -- the -- the 00:58:42 16 Q. The records -- the records that were 01:00:39 16 statement I was making is that we had propounded 0058:44 17 produced -- 01:00:42 17 an interrogatory to Mr. Dershowitz saying: 0058,44 18 A. On -- on their face, I cannot give you a 0100:44 18 What's the basis for your assertion that 0058:47 19 flight log that has Virginia Roberts and Alan Dershowitz 01:0046 19 Miss Roberts had a criminal record? And that 00:5850 20 sitting next to each other, yes. 01:00:49 20 answer didn't refer to an Alessi depo. If it -- 005051 21 Q. And you also -- you also testified a moment 01.00:51 21 this is one of the problems that I'm having. 0058:54 22 ago that Professor Dershowitz in his testimony in the 01:00:53 22 When -- when -- you know, when you come into 0058:57 23 last couple of days, had testified that Virginia Roberts 0100:56 23 a deposition, both sides are supposed to turn 0059:03 24 had been arrested for stealing cash; do you refer -- do 01,00:58 24 everything over. And then if I get a question 0059:08 25 you recall that? 01:01:00 25 about, well, what if -- you know, we're relying ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 15 of 46 sheets Page 208 to 211 of 335 10/20/2015 01:08:15 PM 212 214 01:0101 1 on this piece of the Alessi depo and it's not in 01:02:48 1 Mr. Alessi had also testified previously about the 01:01:03 2 the answers to interrogatories, it's hard for me 01:0254 2 arrest of Miss Roberts for stealing from her employer? 01:01:05 3 to -- to give an answer to that. So -- so that's 01:02:57 3 A. I didn't recall that. If that's in there, 01:0107 4 the -- that's the concern I have. 01:03:00 4 you're -- you're making a representation, and I know 01:01:10 5 MR. SIMPSON: I move -- I move to strike as 01:03:01 5 you're a fine lawyer, so I'll accept your 01:01:11 6 nonresponsive. 01:03:04 6 representation. 01:01:11 7 BY MR. SIMPSON: 01:03:05 7 I didn't recall that when he was testifying 01:01,12 8 Q. My question went to whether -- let me back 01:03:06 8 a -- a day or two ago on that subject. 01:01:18 9 up. If -- if I'm -- unless I misunderstood you -- 01:0315 9 MR. SCAROLA: We have been going for about an 01:01:21 10 MR. SCAROLA: The question was: Did he 01:0317 10 hour. Is it time to take a break? Is that 01:01:23 11 recall the contents -- 01:03:19 11 convenient for you? 01:0123 12 MR. SIMPSON: I'm asking the question. 01:0319 12 MR. SIMPSON: We can take a break now. 01:01:23 13 MR. SCAROLA: -- of the Alessi deposition. 010321 13 THE VIDEOGRAPHER: We are going off the video 01:01:24 14 MR. SIMPSON: I'm withdrawing it. I will ask 01:0322 14 record, 9:35 a.m. 01:0125 15 a new question. 0115:01 15 (Thereupon, a recess was taken.) 01:01:26 16 MR. SCAROLA: Okay. Thank you. 01:15:01 16 THE VIDEOGRAPHER: We are back on the video 01:01:26 17 BY MR. SIMPSON: 01:15:28 17 record, 9:47 a.m. 0101:27 18 Q. I understood you in your -- the long answer 01:15:30 18 THE WITNESS: I need to take two minutes, if 01:01:32 19 that you gave a while ago to suggest that Professor 0115:34 19 I may, and just supplement the long answer that I 01,0116 20 Dershowitz had either testified falsely or failed to 01,1524 20 gave about the series of things. 01:01:41 21 provide relevant information on which he was basing his 01:15:36 21 By looking over my checklist, I noticed that 01:01:44 22 testimony about Miss Roberts's arrest; is that right? 01:15:38 22 item 5 of the 12 items was not given during my 01:01:46 23 A. Yes. 01:16:42 23 testimony. I'm - 01:01:46 24 Q. And that assertion would be incorrect if 01:15:42 24 BY MR. SIMPSON: 01:01:50 25 there's a deposition in this case that all the parties 01:15:44 25 Q. I don't -- I'm not going to ask about item 5. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 213 215 0101:53 1 have that include that information? 01:15:45 1 It's in the record as part of your -- your -- your -- 01:01:55 2 MR. SCAROLA: Mr. Simpson, there was an 01:15:49 2 A. I would like to just supplement -- 01:01:58 3 express reference to an answer to interrogatory, 0115:50 3 MR. SCAROLA: That's fine. That's fine. If 01:0201 4 and the absence of any reference to an arrest for 01:15:51 4 you don't want to hear it, that's okay. 01:02:05 5 theft in your client's sworn answer to 01:15:51 5 THE WITNESS: I'd like -- 01:02,09 6 interrogatory. That's -- 0115,53 6 MR. SCAROLA: Just as long as it's noted that 01:02:09 7 MR. SIMPSON: We -- we -- 0115,54 7 there was an inadvertent omission. 01:02:11 8 MR. SCAROLA: -- exactly what the testimony 01:15:66 8 THE WITNESS: Yeah. 0102712 9 was. 0115:56 9 BY MR. SIMPSON: 01:02:12 10 MR. SIMPSON: If you object to the form, 01:15:58 10 Q. As part of -- I'm going to go back actually 010213 11 please just object to the form. I think it's a 01:16:02 11 to - 01:0215 12 proper question -- 01:16:02 12 A. Sure. 01:02:17 13 MR. SCAROLA: I -- I object -- 01:16:02 13 Q. -- the questions I was asking. One question 01:02:17 14 MR. SIMPSON: -- in our discovery response. 01:16:06 14 about the -- the flight logs again. 01:02:18 15 MR. SCAROLA: -- I object to your 0116:08 15 A. Okay. 01:02:19 16 misrepresentation of the earlier testimony. I'm 01,16:08 16 Q. It's true, is it not, that you have no 01,02:21 17 sure it was not intentional, and that's why I'm 01:16:12 17 personal knowledge as to whether Professor Dershowitz or 01:02:25 18 calling it to your attention so that we don't go 01:1615 18 some other member of Jeffrey Epstein's defense team 01:02:27 19 down a rabbit trail. 01:1621 19 prepared those logs for production to the government? 01:02:30 20 MR. SIMPSON: I'm not going down any rabbit 01:16:23 20 A. i don't have personal knowledge of -- of 01:02:32 21 trail. I'm really -- objection to the form will 01:16:25 21 that, that's right. 01:02:34 22 preserve it. 01,1626 22 Q. And you would agree, would you not, that it's 01:02:34 23 BY MR. SIMPSON: 01.16:33 23 the duty of a defense counsel to represent a client 01:0237 24 Q. My question is whether you were aware at the 01:16:38 24 zealously within the bounds of the law, correct? 01:02:44 25 time that Professor Dershowitz testified that, in fact, ESQUIRE DEPOSITION SOLUTIONS 01:16:40 25 A. Correct. ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:08:15 PM Page 212 to 215 of 335 16 of 46 sheets 216 218 01:16:41 1 Q. In fact, I think you testified yesterday 01:1919 1 MS. McCAWLEY: The location is fine. 0116:44 2 about your duty with respect to Miss Roberts along those 0119.20 2 THE WITNESS: The location, once 0116:47 3 lines, correct? 01:1922 3 personally -- once here in Florida, and then in 01:16.48 4 A. That's right. 011925 4 my office in -- while in Salt Lake City. 01:16:48 5 Q. And so with respect to Professor Dershowitz's 01:19-25 5 BY MR. SIMPSON: 01:16:52 6 representation of Jeffrey Epstein, he would have been 0119:28 6 Q. And are you able to place in time when you 01'16:57 7 acting unethically if he didn't attempt to negotiate the 01.19.29 7 reviewed these portions of the police report, other than 0117:00 8 best resolution for his client that he could, consistent 0119:35 8 before December 30th of 2014? 01:17.05 9 with the law; is that correct? 0119:37 9 A. Not precisely, no. 0117:06 10 A. Right. Consistent with the law, yes. 01:1940 10 Q. And do I understand correctly from your 0117:09 11 Q. And so you wouldn't -- 01:19-42 11 testimony yesterday that that police report is one of 0117:09 12 A. I'm sorry. Let me just -- consistent with 01:19.47 12 the things you relied on to support making the 01:1711 13 the law and with the ethical obligations of attorneys. 01_19:51 13 allegations against Professor Dershowitz that are 01:17:14 14 Attorneys cannot make, for example, false 0119:54 14 included in the joinder motion? 01:17:16 15 representations when they are negotiating those kinds of 01:19:56 15 A. That's right. 011718 16 things. 0119:56 16 Q. It's also true, is it not, that that police 0117:18 17 Q. Right. The duty as a defense counsel, 01:20:01 17 report includes an interview with an adult woman who was 01.17:22 18 Professor Dershowitz's duty was to attempt to obtain the 0120:07 18 retained to provide massages at Jeffrey Epstein's 01:1727 19 best resolution he could for Jeffrey Epstein consistent 01:20:11 19 residence for guests, among others; isn't that correct? 01:17:31 20 with the law and legal ethics, correct? 01:20:14 20 A. I believe that's correct. 01:17:34 21 A. That's correct. 01:20:16 21 Q. And based on that, is it your testimony that 01:17:34 22 Q. And, in fact, if he had not done that, he 01:20:20 22 it's fair to presume that a reference that a guest got a 01:17:39 23 would have been acting unethically, correct? 01:20:24 23 massage is a code word for abusing a minor sexually? 01:17741 24 A. That's correct. 01:20:31 24 MR. SCAROLA: I'm sorry. Are you -- are you 01:17:41 25 Q. And would you agree that it would be 01:2033 25 isolating -- ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 217 219 01:17:46 1 inappropriate, totally inappropriate, to infer anything 0120.33 1 MR. SIMPSON: I don't -- I don't want a 01:17:55 2 negative about an attorney because the attorney 01:2034 2 speech, Mr. Scarola. If you object to the form, 01:17:58 3 represented someone accused of heinous crimes? 01:20:36 3 object to the form, and I -- if its not a proper 01:18:01 4 A. Just the fact of representation alone? 0120:38 4 question -- 01:18:04 5 Q. Yes. 01:20.38 5 MR. SCAROLA: I want a clarification of the 0118:04 6 A. Yeah, that's right. Sure, of course, 01:20:39 6 question, please. Are you isolating only that 0118:06 7 everyone is entitled to a defense. 01:20:36 7 piece -- 01:18:08 8 Q. As -- before December 30th of 2014, had you 01:2039 8 MR. SIMPSON: I -- the question -- 01:1818 9 reviewed the Palm Beach Police report? 01-20,41 9 MR. SCAROLA: -- of information? 01:1822 10 A. Portions of it, yes. 0120:42 10 MR. SIMPSON: I'm -- I am asking a question 01:18:23 11 Q. Had you reviewed the entire report? 0120:45 11 that's perfectly clear. If you think it's 01:18:25 12 A. I think I reviewed most of it, but I don't 0120:46 12 objectionable, it wont -- it will stand. 0118'31 13 think I've gone through it page by page. 01:20'49 13 MR. SCAROLA: I'm going to object on the 01:18:3214 Q. When did you do that? 01:20:5014 basis that it is vague and ambiguous. It is 0118'35 15 A. Well, let's see. Before December 30th, 2014, 01:20:53 15 unclear whether you're asking for him -- 01:18:41 16 Brad and I filed the case in about July 2008, so it was 0120:55 16 MR. SIMPSON: Please don't coach the witness. 01:18:49 17 about a six-year period of time, and I remember I'd been 01:20:56 17 MR. SCAROLA: -- to isolate -- to isolate his 01:18:56 18 to Florida a couple of times on this case, once in 2010 01:20:59 18 focus to that single piece of evidence. 01,19:03 19 and I think another a year or two later. And I 01:20:59 19 MR. SIMPSON: I object on the coaching of the 01:19:07 20 remember, at least on one of those times, reviewing the 0121:01 20 witness. 01:19:09 21 report here with -- I don't know if I can... 0121:01 21 BY MR. SIMPSON: 01:1915 22 MS. McCAWLEY: Yeah. I wouldn't go into 01:21:02 22 Q. My question is: Is it reasonable, 01:19:15 23 anything. 0121:06 23 considering that the police report on its face shows 01:1915 24 THE WITNESS: To the -- right. So we just -- 012111 24 evidence -- let me back this up. Ask another question 01:19:15 25 we just want to know -- 0121,16 25 to you. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 17 of 46 sheets Page 216 to 219 of 335 10/20/2015 01:08:15 PM 220 222 01:21:16 1 Are you aware that the police report reflects 01:23:34 1 A. That sounds accurate with the information I 01:21:21 2 that the woman I referred to who was hired to give 01,23:37 2 have, yes, she doesn't sound like she would fit his 01;2124 3 massages, told them that she never touched anyone 01:23:40 3 type. 01:21:28 4 inappropriately? 01:23:40 4 Q. And so do you agree with me then -- 012129 5 A. I think that there are -- there is 01:23:42 5 A. And she's over the age of 18, which is 0121:32 6 information along those lines in the police report, yes. 01:23:44 6 another reason why wouldn't fit his type, so... 01:21:34 7 Q. Okay. And so do you acknowledge that the 01:2/47 7 Q. But you acknowledge that -- that this 01:21:37 8 police report, on its face, reflects both reports of 01:23:50 8 woman -- that the police report reflects a woman over -- 01:21:41 9 massages that involved improper sexual contact -- 01:2154 9 well over the age of 18, being hired to give perfectly 01:21:45 10 contact and massages that were perfectly legitimate? 01:23:57 10 legitimate massages, correct? 0121:50 11 A. Yes, but not in the same proportion. 01:23:58 11 A. Yeah. That was cover for the sex trafficking 01:21:54 12 Q. My question wasn't proportion. The -- the 01:24:01 12 that was going on. 01:21:57 13 report on its face, you understood, reflected that there 01:24:01 13 Q. Okay. So you're now -- does the police 01:22:01 14 were massages given at Mr. Epstein's residence that were 0124:04 14 report say "it was cover" -- 01:22:06 15 perfectly legitimate? 01:24:04 15 A. That was -- 01:22:08 16 A. Some -- it was basically a few isolated 01:24:05 16 Q. -- "for the sex trafficking"? 0112:13 17 examples from what I could see. 01:24:07 17 A. That was my conclusion when I reviewed the 0122:14 18 Q. So you would characterize what was said in 01:24:09 18 materials. 01:22:18 19 the police report as "a few isolated examples"? 0124:09 19 Q. Okay. So your inclusion is that a 01:2221 20 A. Well, given the backdrop that they had -- 01:24:11 20 fair-minded reader of the police report would come to 012225 21 Q. No. My question -- it's a yes or no 01:24:14 21 that conclusion? 01:22:26 22 question. Is that how you would characterize it? 01:24:15 22 A. December 30th of 2014, knowing what we know 0122:27 23 MR. SCAROLA: Excuse me. The witness is not 01:24:18 23 now, yes. 01:22:29 24 confined to answering yes or no, if yes or no 01:24:19 24 Q. Do you consider yourself a very suspicious 01:22:31 25 would be misleading. 01:24:24 25 person? ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 01:22:33 1 BY MR. SIMPSON: 01:24:25 1 A. No. 221 223 01:22:33 2 Q. It's a different position than was taken 01:24:25 2 Q. Do you consider yourself a conspira -- having 01:22:35 3 previously, but -- 0124:31 3 a conspiratorial view? 01:22:36 4 A. I mean, I was just going to give one 0124:31 4 A. Absolutely not. 01:22:38 5 sentence, and the one sentence would be, in the context 01:24:34 5 Q. Do you consider yourself a crusader? 01:22:41 6 of this whole police report where they had 24, 01:24:35 6 A. Well, crusader for justice, I would say, yes. 01:22:44 7 approximately, minor girls who were -- who were being 01:24,41 7 Q. If -- let me put it this way: In your view, 01:22:47 8 sexually abused, the references to legitimate massages I 01:24:49 8 is evidence that a person, any person, any guest at 01:22:51 9 would view as isolated. 01:24:54 9 Mr. Epstein's house had a massage, evidence that that 0122:53 10 Q. So you're coming to the conclusion, looking 0125:01 10 person engaged in criminal sexual conduct, contact with 01:22:56 11 at the police report, that they are isolated; is that 01:25:07 11 minors, because of the fact of having a massage? 0122:59 12 right? 01:25:13 12 A. You'd have to look at the context. 01:225913 A. Yes. 01:25:16 13 Q. On its own, is it any evidence -- doesn't 01:23:01 14 Q. And do you think a fair-minded reader of the 01:25:19 14 it -- is it any evidence at all, in your view? 0123:04 15 police report would reach that conclusion? 01:2521 15 A. It would be some evidence, yes. 01:23:05 16 A. Absolutely. 0125:22 16 Q. Notwithstanding that the report, on its face, 01:23:07 17 Q. And were you aware that the police report, to 0125:26 17 reflects both legitimate and illegitimate massages? 01:2112 18 give a bit more detail, reflected that a woman who was 01,25:30 18 A. The report on its face, let's be clear, 01:23:14 19 described as having tattoos was hired to give 01:25:32 19 reflects a lot of illegitimate sag -- massages and a 0123:17 20 deep-tissue Swedish massages. Do you recall that being 0125:36 20 sporadic or isolated, you know, legitimate massages. So 01:23:20 21 in the -- in the police report? 01:25:38 21 the fact that somebody gets a massage in that context, 01:23:22 22 A. Something along those lines, yes. 0125:42 22 I -- I think is -- is -- raises, you know, the concerns 01:23:23 23 Q. And she also -- that woman also told the 01:25:45 23 we have been talking about. 51:23:26 24 police that she was not Jeffrey Epstein's type, that she 01:25:47 24 Q. Did you, before December 30th of 2014, 01:23:30 25 wasn't thin, had tattoos, didn't fit his type? 01:26:03 25 yourself personally, review what I think you referred to ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:08:15 PM Page 220 to 223 of 335 18 of 46 sheets 224 226 01:26:07 1 in your testimony yesterday as the holy grail, an 012829 1 Q. Would it be a reasonable inference, or a 01:26,12 2 address book of Mr. Epstein? 01:28:36 2 possible reasonable inference to draw, that 0126:17 3 A. Pieces of it, yes. 01:28:39 3 Mr. Rodriguez was trying to highlight people who would 01:26:18 4 Q. Did you review the entire document? 0128:42 4 be of interest to the Press for purposes of selling the 01:26:21 5 A. No. 0128:45 5 book? 01:26:21 6 Q. Did I understand yesterday that you 0128:46 6 A. No, because he was not talking to the Press. 01:26:25 7 testified -- did I understand correctly yesterday, that 01:28:49 7 He was talking to an FBI agent who had busted him for 01:26:28 8 you testified that the fact that names were circled 01:28:52 8 criminal activity. And so I was assuming that what he 01:26:33 9 indicated that those persons likely engaged in illegal 01:28,54 9 was trying to do, as many criminals do when they are 0126:39 10 sexual contact with minors? 01:28:58 10 apprehended, was give information to law enforcement 01:26:41 11 A. My -- my impression is the names that were 0129:01 11 agency that would be helpful so that they can catch 0126:44 12 circled were circled by Alfredo Rodriguez when he was 0129:03 12 other "bigger fishes" is the phrase that's sometimes 01:2647 13 busted by the FBI for involvement, and he was asked to 01:29:06 13 used, so that the little fish would -- would get off or 01:26:51 14 identify those who would have information about the sex 0129:09 14 get a cooperation deal from the law enforcement agency. 0126:54 15 trafficking organization. And my -- based on all the 0129:12 15 He was talking -- let's be clear. He was 01:26:58 16 evidence I have, I believe the names that were circled 01:29:14 16 talking to somebody he understood was an FBI agent at 01:27:00 17 were those who would have that kind of information. 01:29:17 17 the time, and so that was the context of the 01:27:02 18 Q. So is it your testimony that if the name is 01,29:18 18 conversation. 01:27:05 19 circled, it indicates that they have information, or 01:29:19 19 Q. Do you have any personal knowledge that WS 01:2708 20 that they are criminals? 0128:22 20 in the context of talking to the FBI that Mr. Rodriguez 01:27:09 21 A. That they would have information about the 0129:25 21 circled those names? 01:2712 22 sex trafficking organization, and that would probably 0129:26 22 A. i have reviewed -- I know I could refresh my 01:27:15 23 mean that they were part of the organization. It may 0129:30 23 recollection here, but there's an FBI 302, a report of 01:27:18 24 mean that they were witnesses to what the organization 01:29:33 24 interview of the circumstances surrounding 01:27:19 25 was doing. 0129:35 25 Mr. Rodriguez's arrest, and I believe I reviewed that ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 01:27:20 1 But they would have information that the FBI, 01:29:38 1 302. 225 227 01:2724 2 among other law enforcement agencies, should be 01:29:39 2 Q. Do you know whether the FBI, at any point, 01:2726 3 following up on, if they are trying to piece together 01:29:47 3 contacted Professor Dershowitz to discuss any evidence 01:27:28 4 what the sex trafficking organization was doing. 01:29:53 4 he might have after his name was circled on this 01:27:32 5 Q. Would you agree that a fair-minded person, 01:29:56 5 document? 0127737 6 with that background that you just described, would not 01:29:57 6 A. I don't have personal knowledge of what the 01:27:41 7 go to the conclusion that the fact that a name is 01:29:58 7 FBI did to follow up after that. 01:27:44 8 circled indicates that that person has engaged in 01:30:01 8 Q. Okay. One of the names that's circled in the 0127:46 9 criminal conduct? 01:30:05 9 book is Courtney Love. Do you know who she is? 01:27:48 10 A. They -- what it would indicate is that they 01:30:08 10 A. Not off the top of my head, no. 01:27;51 11 had information relevant to criminal activity. Now, 01:30:12 11 Q. If I mention to you or if I represent that 01:27:54 12 would they on the -- just the fact that a name was 01:3016 12 she's a famous actress, any reason to question that? 01:27:55 13 circled, standing alone, reach that conclusion? 01:30:19 13 A. No. 01:2759 14 Well, that's a hypothetical question because 0120:21 14 Q. In your view, was Courtney Love involved in 01:28:01 15 obviously in this case, there's lots of other 01:30:25 15 sex trafficking? 01:28:02 16 information. 01:30:26 16 A. i don't know. 01:28:02 17 Q. Did you understand -- it is true, is it not, 01:30:27 17 Q. In your view, was Courtney Love a witness to 01:28:06 18 that Mr. Rodriguez was trying to sell that book? 01:3022 18 sex trafficking? 0128:09 19 A. That's true. 01:30,33 19 A. If -- is there a way -- are you representing 0128:10 20 Q. And is it not also true that the people who 0120:36 20 her name is circled? 0128:13 21 are circled are famous people? 01:30:38 21 Q. Her name is circled on the book. In fact, we 01:28:15 22 A. I'd have to refresh my recollection as to 01:30:40 22 can show it -- 01:28:22 23 exactly who was circled, but I know that some famous 01:30:40 23 A. Okay. Yeah. 01,28:25 24 people were circled and some famous people were not 01204024 Q. It is circled on the book. 01:28:29 25 circled. 01:30:42 25 A. Okay. Sure. Yeah, I mean, my -- my ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 19 of 46 sheets Page 224 to 227 of 335 10/20/2015 01:08:15 PM 228 230 0120:44 1 understanding would be that if her -- and this is -- 01:3822 1 all. 01:30:46 2 could I ask a question about the circling -- or your 01:38:23 2 Q. Take as long as you want to look at the 01:3049 3 representation? 01:3826 3 document. 01:30:50 4 Is the circling the same type of circling 01:3827 4 A. Super. Thank you. 01:30:52 5 that is done for Mr. Dershowitz, for example? Is it the 01:38:51 5 Okay. Yeah. I think I'm -- I'm oriented 01:30,56 6 same, you know, handwriting, same ink, same -- same 01:3654 6 now. But I haven't looked at the Love entry. 01:30:59 7 appearance? You know, if it's consistent with the 0128:54 7 Q. My -- my first -- 01:31:02 8 circling -- are you representing it's consistent with 01:38:57 8 A. I want to look at the Love -- 01:31:04 9 the circling? 01:38:57 9 Q. -- question is: Is this a copy of the 01:31:07 10 Q. Mr. Cassell, we have a document produced in 01:39:02 10 address book that you referred to in your testimony? 01:31:09 11 discovery that has various names circled. Looking at 01:39:05 11 A. Yes. 01:31:14 12 the document, I don't see any difference among the 01:3005 12 Q. Okay. And if you would take a look at the -- 01:31:17 13 circles. Are you aware of any document -- 0129:08 13 I've marked the entries for Courtney Love. Take a look 01:31:20 14 MR. SCAROLA: Could we have a look -- could 01:39:13 14 at that one. 01:31:21 15 we see the document? 012913 15 A. All right. I see it. 01:31:25 16 MR. SIMPSON: Take a -- go off the record for 01:39:14 16 Q. Okay. And then if you look at the last 01:31:28 17 one moment. 01:39:16 17 entry, there's an entry for Professor Dershowitz that's 01:31:28 18 THE WITNESS: We are going off the video 01,39,21 18 also circled. It should be on the flag. Its 01,31:30 19 record, 10:03. 01:39:26 19 two-sided. 01:3622 20 (Thereupon, a recess was taken.) 01,39:28 20 A. Oh, yeah. 01:3622 21 THE VIDEOGRAPHER: We are back on the video 01:3929 21 Q. Do you see that one? 01:36:24 22 record, 10:08 a.m. 01:39,30 22 A. I see it. 01:36:30 23 MR. SIMPSON: Okay. Back on the record. I'm 01:39:31 23 Q. And then also the other one I marked is 01:3621 24 going to ask the reporter to mark as Cassell 01:39:32 24 Donald Trump. 01:36:36 25 Exhibit 5, a multi-page document. It's a copy of 01:39:38 25 A. Yes. Got it. I see those entries circled. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 229 231 01:36:44 1 the address book we have been speaking about, and 01:39:47 1 Q. So am I right -- I'm right, am I not, that 01:36:49 2 ask that Doc -- Mr. Cassell to take a look at 01:39:50 2 among the others circled are: Courtney Love, Donald 01:36:51 3 this, and I'm going to ask him about certain of 01:39:54 3 Trump, and Alan Dershowitz, correct? 01:36:55 4 the entries. 01:39:55 4 A. Correct, among the others, yes. 01:37:03 5 (Cassell's I.D. Exhibit No. 5 - copy of 01:39:57 5 Q. And they are all circled in the same way; are 01:37:03 6 address book was marked for identification.) 01:40:00 6 they not? 01:37:03 7 MR. SIMPSON: And I will note, I put a few 01:4000 7 A. Yeah. It's kind of a -- a box is what I 01,37:03 8 flags on here -- 01:40:04 8 would say. Some, yes. 01:37:03 9 THE WITNESS: Sure. 01:4006 9 Q. Is there anything on the face of that 01:37:06 10 MR. SIMPSON: -- to direct your attention -- 01,40,08 10 document that leads you to conclude that the circling -- 01,37:06 11 THE WITNESS: Correct, yeah. 01:40:13 11 the significance of the circling is any different for 01:37:09 12 MR. SIMPSON: -- which we can -- I'll note 01:40,16 12 one person than another? 01:3710 13 the pages for the record just so we have them. 01:40:17 13 A. No. 01:3716 14 38, 76, and 85. 01:4018 14 Q. So based on the document, do you infer that 01:37:24 15 THE WITNESS: Okay. I just -- I just want to 01:4023 15 Courtney Love was involved in some kind of sexual abuse 01:37:25 16 take two minutes or so -- 01,4020 16 of minors? 01:37:25 17 BY MR. SIMPSON: 01:4030 17 A. I would infer that if I were running a 01:37:27 18 Q. Yeah. Take -- take a moment to look at it. 01:4025 18 criminal investigation through the FBI and I'm trying to 01,37:29 19 A. Okay. I want to make a few notes, if that's 01:4037 19 find people who would have relevant information, she 01:38,07 20 all right, just to get them in -- 01:40:40 20 would be one of the people I'd want to talk to. I mean, 01:38:07 21 Q. You're going to mark on the -- 01:40:43 21 the names that are circled here, Glenn Maxwell, one of 01:38:09 22 A. No, not on the exhibit. I'm just going to 01:4045 22 the identified traffickers, Epstein is circled, the 01.3811 23 make notes to refresh my recollection so we don't have 01:40-.48 23 pilot -- one of the pilots is circled. So it's these 0138:13 24 to take time. I'm just -- I'm just making notes of the 01:4051 24 people that all seemed to be connected are -- are all 0138,15 25 context here. This will just take another minute is 01:40:05 25 being marked here, and -- and the number of people that ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:08:15 PM Page 228 to 231 of 335 20 of 46 sheets 232 234 0140:57 1 are circled is, I would say, you know, 5 to 10 percent 01:43:17 1 BY MR. SIMPSON: 01:41.00 2 of the -- of the names ball-parking in the dark. 01:43:17 2 Q. But based on your testimony previously, you 01A1:03 3 Q. Do you know whether this address book was 01:43:20 3 would consider all of those facts to be evidence that he 01:4t07 4 Jeffrey Epstein's address book or Glenn Maxwell's 01:43:26 4 may have been? 01:41:11 5 address book? 0143:28 5 A. They are, you know, certainly things that I 01:41:12 6 A. I'm not certain exactly whose book it is. I 01:43:31 6 would want to follow up on. 01:41:16 7 actually thought it was Alfredo Rodriguez maintaining a 01:43:32 7 Q. And -- 01:41:19 8 copy of records in case he was worried that Epstein 01:43:34 8 A. If I were running an -- we were in the 01:41:22 9 might try to have him killed at some point, and so this 01:43:36 9 context, I take it, of your question, you know, if 01:41.25 10 was his insurance policy, I think he said, against that 01;4138 10 somebody is running an investigation into the 01:41:28 11 happening. 01:43:42 11 organization, so... 01:41:29 12 MR. SIMPSON: Object to the nonresponsive 01,43:43 12 Q. Did you, in the course of your representation 01:41:31 13 portion of the answer. 01:43:47 13 of Miss Roberts or any of the other Jane Doe clients you 01:41:31 14 BY MR. SIMPSON: 01:43:56 14 have had who have had claims against Mr. Epstein, make 01:41:32 15 Q. Is the answer to my question: You don't know 01:43-58 15 any effort to find out whether Mr. Trump had abused any 01:41:34 16 whether it was Jeffrey Epstein's or Glenn Maxwell's 01A4:02 16 of them? 01:41:38 17 address book? 01:44:04 17 MR. EDWARDS: I would just object to this 01:41-39 18 A. i don't know. And the reason I don't know 01:44:09 18 being work-product privilege as it relates to 01:41-41 19 that is because I actually believe it is neither -- 01:44.1019 other cases that I'm working on with Paul that 01:41:44 20 neither of their -- that's -- is it one or the other? 01:44,1220 Jack is not involved in. 01:41:46 21 Actually, I think it's a third possibility. I think 01:44:12 21 MR. SIMPSON: Okay. 01:41:48 22 this was Alfredo Rodriguez's insurance policy against 01:44:15 22 MR. EDWARDS: With respect to what we did 01:41:51 23 getting knocked off by Jeffrey Epstein. 01A4:16 23 during our investigation on behalf of other 01:41:55 24 Q. So that's the view you have of the 01:4418 24 clients. 01:42:04 25 significance of this document? 01:44:19 25 MR. SIMPSON: Okay. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 233 235 01:42:06 1 A. Yes. In part. I mean, there are other 01:44:20 1 MS. McCAWLEY: Right. And I object on that 01:421/8 2 reasons it's significant, as we have been talking about, 01:44:20 2 to the extent that it reveals anything you did on 01:42:10 3 names are circled who appear to have relevant 01:44:23 3 behalf of Virginia Roberts. 01:42:13 4 information on Jeffrey Epstein's criminal activities. 01:44:23 4 MR. EDWARDS: I don't think Jack would know 01:42:17 5 Q. Donald Trump was a friend of Jeffrey Epstein; 01.44:26 5 to object to this, but because I know of another 01:42:22 6 is that not correct? 0144'28 6 case that we work on, that's protected by our 01:42:23 7 A. I really don't -- my understanding is, yes, 01:44:30 7 work-product privilege, who I talked to and who I 01:42:26 8 but I -- I don't have a lot of information about Trump. 01:44:32 8 did not. 01:42:29 9 Q. Its true also, is it not, that Mr. Trump was 0144:32 9 THE WITNESS: I'd like to -- 01:42:34 10 a frequent visitor to Mr. Epstein's residence? 01:44:32 10 MR. SCAROLA: In that case, I instruct you 01:42:38 11 A. 1-- I know that he visited frequent. I -- I 01:44'34 11 not to answer. 01:42'41 12 don't have a lot of information about Trump. 01:44.34 12 THE WITNESS: All right. 01:42:43 13 Q. And his name is circled in this book; is it 01•44.37 13 MR. SIMPSON: All right. You're here, 01:42:47 14 not? 01.44.39 14 Mr. Edwards, as a client, not an attorney, 01-42:47 15 A. I believe it is. 01-44:41 15 correct? 01:42:48 16 Q. Based on him -- assuming he's a frequent 01:44:42 16 MR. EDWARDS: Yes. That's my primary role in 01:42:5217 visitor to Mr. Epstein's home, and that he's a friend of 01:44:44 17 being here, but I'm going to protect the 01:43:00 18 Mr. Epstein's, and that his name is circled in this 01:44:46 18 privilege to the extent that it's not being 01.43:03 19 book, do you infer that he was engaged in criminal 01144:47 19 protected by others who don't recognize that the 01:43:09 20 sexual abuse of minors? 01:44:50 20 privilege needs to be protected on other matters. 01:43:11 21 MS. McCAWLEY: I'm going to object to the 01:44:52 21 MR. SIMPSON: Okay. 01,43.13 22 extent that your answer would reveal anything 01:44:53 22 BY MR. SIMPSON: 01:4316 23 that my client has told you. 01A4:58 23 Q. Mr. Cassell, as of December 30th of 2014, 01:43:16 24 THE WITNESS: No. 01:45:03 24 were you aware that Professor Dershowitz had visited 01:43:17 25 01:45:09 25 Mr. Epstein's home and stayed as a guest for a week in ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 21 of 46 sheets Page 232 to 235 of 335 10/20/2015 01:08:15 PM 236 238 01:45:14 1 the company of his grandchildren, among other family 01:47:08 1 scene of ongoing criminal abuse of minors, and who 01:45:18 2 members? 01:47:12 2 himself, has engaged in that criminal abuse, would bring 01A5:19 3 A. I'm sorry. Which residence? Which Epstein 01:47:16 3 his grandchildren to stay there for a week? 01:4523 4 residence? 01:4718 4 A. It would depend on the circumstances. 01A5:23 5 Q. Palm Beach. 01:47:21 5 Q. When you say that Professor Dershowitz was a 01:45:25 6 A. Can you -- can you restate? 01:47:33 6 regular guest at the mansion, at the Palm Beach house, 01:45:25 7 Q. Yes. 01:47:41 7 it's correct, is it not, that you're referring to a 51:45:27 8 A. I mean that's kind of a compound question. -I 01:47:43 8 period after Virginia Roberts had left for Thailand? 01:4630 9 mean... 01:47.47 9 A. No. 01:45:30 10 Q. Well, let me rephrase it. I will be clear. 01:47:49 10 Q. Are you aware of any evidence -- let me back 01:45:31 11 A. Yeah. 01:47:55 11 that up. 01:45:3212 Q. Were you aware as of December 30th of 2014 -- 01:47:57 12 Are -- during the period that Virginia 01:45:36 13 let me back up a moment. 01:47:59 13 Roberts contends she was sexually abused, which I 01:45,37 14 A. Sure. 01:48:02 14 understand to be middle of 1999 to middle of 2002 -- is 01:45:37 15 Q. You indicated yesterday that part of the 01:48:09 15 that consistent with your understanding? 01:45:40 16 basis for your conclusion that this pleading -- it was 01:48:10 16 A. Approximately, yes. 01:45:44 17 appropriate to file this pleading accusing Professor 01:48:12 17 Q. -- how many times did Professor Dershowitz 01:45:49 18 Dershowitz of misconduct was that he was a guest at the 01:48:14 18 visit the Palm Beach mansion during that period? 01:45:53 19 Palm Beach house, correct? 01A8:17 19 A. My understanding is in the neighborhood of -- 01:45:55 20 A. No. It was more than that. He was a 01:48:21 20 what was it? Three to five times a year, staying two to 01:45:57 21 frequent guest, a frequent overnight guest. 01:48:25 21 three nights at a time. 01:46:01 22 Q. My question is: As of December 30th, 2014, 01:4826 22 Q. And was that your understanding as of 0146:06 23 were you aware that Professor Dershowitz had spent a 01,48:29 23 December 30th of 2014? 01:46:10 24 week at the Palm Beach house with family members, 01:48,32 24 A. Yes. 01A6,13 25 including his grandchildren? ESQUIRE DEPOSITION SOLUTIONS 01:48:32 25 Q. What was the basis for your understanding, ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 237 239 01:46:15 1 A. No. 01:48:38 1 what pieces, what documents, or testimony? 01:46:15 2 Q. Okay. Do you think it's reasonable -- would 01:48:41 2 A. Right. The information, you know, I gave a 01:46:20 3 it be reasonable to believe that someone who is 01:48:44 3 long presentation yesterday. So it was that 01:46:23 4 committing criminal sexual abuse of minors at a home 01:48:46 4 information. 01:46:28 5 where such abuse, as you understand it, is a daily 01:48:48 5 Q. I want to focus now specifically -- I'm not 01A6:33 6 occurrence would bring his grandchildren to stay for a 01:4650 6 looking for a full answer on your entire views -- 01:4635 7 week? 01:48:50 7 A. Yeah, right. 01:46:35 8 A. It would depend on the circumstances. I 01:48:53 8 Q. -- on the case. 01A637 9 mean, you know, so -- you know, it would depend on the 01:48:53 9 A. I appreciate that. 01:46:40 10 circumstances. 01:4654 10 Q. I just want to say, you've testified that you 01:46A0 11 MR. SCAROLA: Are you representing that 01:48:57 11 understood as of December 30th, 2014, that Professor 01A6A1 12 Jeffrey Epstein was there at the time? 01.49:0312 Dershowitz had -- was a visitor at the Palm Beach 01A6:42 13 MR. SIMPSON: I'm not answering questions. 01;49:04 13 mansion three to five times during this relevant period 01:46A4 14 I'm asking questions. 01:49:09 14 of 1999 to -- middle of 1999 to the middle of 2002. 01:46:45 15 MR. SCAROLA: Oh, okay. 01A9,14 15 What was the basis on December 30th of 2014, for just 01:46:45 16 BY MR. SIMPSON: 01:49:20 16 that fact? 01:46:47 17 Q. So, in your view, you can -- let me -- let me 01:49:21 17 A. Right. I mean, I will take about a minute 0146:50 18 rephrase that. 01:49:23 18 here because there are a few things I want -- 01.46:52 19 You say it would depend on the 01:492519 Q. Okay. And I want to make sure my question is 01:46:54 20 circumstances -- 01:49:28 20 clear. 01:46:54 21 A. Sure. Sure. 01:49:28 21 A. Sure. 01,46:54 22 Q. -- that's your answer? 0149:29 22 Q. I'm not asking you about any of your 01:46:55 23 A. Yes. 01:49:30 23 inferences about anything else. Just, what's the basis 01:46:56 24 Q. Okay. So that you don't find it incongruous 01:49:34 24 for your belief that he visited three to five times 01:47:00 25 that someone who knows that a particular home is the 01:4918 25 during that two-year period? ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:08:15 PM Page 236 to 239 of 335 22 of 46 sheets 240 242 01:49:39 1 MR. SCAROLA: Could I ask for a 01:51:23 1 context, in other words, information that was 01:49:40 2 clarification? Are you looking only for direct 01:51:25 2 going to be disclosed, not for advice, but 01:49:42 3 evidence and you want to exclude the 01:5126 3 factual information that she intended to 01:49:44 4 circumstantial evidence? Is that the way you 01751:28 4 disclose, that's no -- that's not privileged. 01A9A6 5 want to -- 01:51:30 5 But if it's something that she communicated to 01:49:46 6 MR. SIMPSON: I'm asking. You can object to 01:51:32 6 you in confidence with respect to getting legal 01:49:48 7 the form. 01:51:36 7 advice, then that would be privileged. 01:49:48 8 BY MR. SIMPSON: 01,51:39 8 THE WITNESS: Right. Okay. So Juan Alessi's 01:49:48 9 Q. My question is: What was -- what were you -- 01:51:45 9 deposition, Alfredo Rodriguez's deposition, and 01:49:51 10 what did you have in mind as supporting your conclusion 01:51A9 10 then considerable circumstantial evidence which 01A9:57 11 or belief that he -- that Professor Dershowitz visited 01:51:52 11 we don't have to rehash here involving the close 01:50:02 12 three to five times during that relevant period? 01:51:55 12 personal association between Epstein and 01:50:04 13 MS. McCAWLEY: And I'm sorry. Can I just 01:52:00 13 Dershowitz. 01:50:06 14 place an objection on the record. I'm going to 01:52:00 14 I mean, again, we can rehash all of that, but 01:50:07 15 object to the extent that -- so that you do not 01;52:03 15 those were -- those are -- that's kind of a 01:5010 16 reveal attorney/client privileged communication, 01:52:04 16 quick -- because I know you want to get to a lot 01:50:12 17 unless it's something that's already public that 01:52:06 17 of questions -- that's a quick sort of highlight 01:50:15 18 she's revealed. 01:52:09 18 film, if you will. 01:50:15 19 THE WITNESS: Okay. Right. So I'm going to 01:5209 19 BY MR. SIMPSON: 01:50:17 20 just exclude -- I take it your question isn't 01:5211 20 Q. Mr. Cassell, isn't it true that Mr. Rodriguez 01:5019 21 asking about any communications. 01:52:14 21 was not hired until several years after the Summer -- 01:50:19 22 BY MR. SIMPSON: 01:52:19 22 A. 2004. 01:50:22 23 Q. My question is asking about that, but I 01:52:20 23 Q. Let me ask it again. 01:50:24 24 understand you're going to refuse to provide it. 01:5221 24 -- until well after 2002? 01:50:25 25 MS. McCAWLEY: Unless it's already public. 01:52:22 25 A. Yeah, about 2004. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 241 243 01:50:28 1 THE WITNESS: Okay. So as of December 30th, 01:5223 1 Q. And Mr. Rodriguez would have no personal 01:50:30 2 I'm going to exclude any communications from 01:5228 2 knowledge of how often Professor Dershowitz visited 01:50:33 3 Virginia Roberts from -- 01,52:31 3 during a period two years or three years before he was 01:50:34 4 MR. SCAROLA: Except to extent that they have 01:52:34 4 hired; isn't that true? 01:50:37 5 already been made public. That is, if she has 01:52:35 5 A. So, look, this is -- this is why I was trying 0150:39 6 given express permission to make disclosures, 01,52:37 6 to speed up the answer to the question. We have a sex 01:50:43 7 these were not confidential communications, but 01:52:41 7 trafficking organization that is running a common scheme 0150:46 8 communications intended to be communicated to 01:52:43 8 and plan that is continuing on until it was interrupted 01:50:48 9 third parties, then you are permitted to include 01:52:45 9 by law enforcement about 2005 and 2006. 01:50:52 10 information from Virginia Roberts in your 01:52:49 10 So what the -- the criminal organization is 01150:54 11 response to that extent. And I -- go ahead. 01:52:51 11 doing in 2004, unless I have some significant evidence 01:51M 12 THE WITNESS: Okay. 01:52:54 12 that it's different than what was going on in 2002, 01:51:00 13 BY MR. SIMPSON: 01:52:58 13 2001, 2000, 1999, I think it's reasonable to conclude 01:51:00 14 Q. As of December -- 01:53:01 14 that the same sort of criminal activities are going on 01:5101 15 A. Right. 01.53:03 15 later. 01:51:03 16 Q. -- 30th, 2014 -- 0153:04 16 So if -- if you want -- if you want me to get 01:51:06 17 A. Right. 01,53:07 17 into the -- the full scope of the criminal organization, 01.51:06 18 Q. -- correct? So -- 01:53:09 18 we can get into it. But the fact that somebody in 2004 01:51:06 19 A. Yeah, that's right. 01:5313 19 sees this going on, leads me to conclude that it's 01:51:07 20 Q. -- any -- any public statements by her after 01'53:16 20 probably the same thing going on in the absence of other 01,51:10 21 December 30th, 2014 would not be included in the answer. 01:53:19 21 information in 2001. 01:51:14 22 A. Okay. 01:53:21 22 Q. So from Mr. Rodriguez's testimony about what 01:51:14 23 MS. McCAWLEY: But let me be clear. Let me 01:53:28 23 was going on, so to speak -- and my question related, 01:51:16 24 be clear about my objection. To the extent that 01;5132 24 what was going on the number of times that Professor 01,51:18 25 she revealed something to you in a nonprivileged 01753:35 25 Dershowitz visited. That's the topic. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 23 of 46 sheets Page 240 to 243 of 335 10/20/2015 01:08:15 PM 244 246 01:53:37 1 A. Right. 01:55:20 1 MR. SIMPSON: Really, objecting to the form 01:53:37 2 Q. That because he visited, according to 01:55:23 2 of the question preserves all of any problems 0163:40 3 Mr. Rodriguez, several times a year in 2004, 2005, he 01:55:26 3 there may be with the question. 01:53:45 4 must have visited several times a year in 2000 -- 19- -- 01:55.27 4 MR. SCAROLA: No, sir. 01:5362 5 middle of 1999 to the middle of 2002. 01:5627 5 MR. SIMPSON: We don't need a speech. 01:53:55 6 A. i didn't say must have. I said that that's 01.55:27 6 MR. SCAROLA: It doesn't. It doesn't. 01:5367 7 going to be evidence of the common scheme and plan, and 01:5627 7 BY MR. SIMPSON: 01:53:59 8 then, in the absence of, you know, some falling out 01:55:32 8 Q. Mr. Cassell, is it your testimony that, from 016462 9 between people or somebody becoming, you know, more 01:5517 9 Mr. Rodriguez's testimony about how often he says 0164:05 10 associated or less associated with a criminal 01:55:43 10 Professor Dershowitz visited in a 2004/2005 time frame, 01:54:07 11 organization. I mean, if you want to get into the 01:55:49 11 its fair to draw an inference about how often he 01.54:09 12 circumstantial evidence, in 2003, there's an article on 01:55:52 12 visited in an earlier -- three-year earlier time frame? 01:5413 13 which, you know, Dershowitz identifies himself -- 01:55:56 13 A. In the circumstances of this case, 01:54:15 14 Q. Let me interrupt you because I'm asking -- 01:5659 14 absolutely. 01:54:15 15 A. Okay. 01:55:59 15 Q. And would it be fair to infer from the number 0164:18 16 Q. -- about -- my only question is evidence of 01666316 of times that Donald Trump visited three years later, 0164:18 17 how -- not anything, whether engaged in conduct or 01:5608 17 how often he visited at an earlier period? 01:54:23 18 didn't engage in conduct, just how many times he came 01:56:09 18 A. I did not investigate the circumstances 01:54:26 19 during this period. 01:56:12 19 involving Trump. He wasn't somebody that was coming up. 01:54:26 20 A. Right. 0166.16 20 Q. Were you aware on December 30th of 2014 that 01:5426 21 MR. SCAROLA: Excuse me, counsel. That's the 01:5625 21 Donald Trump was quoted in Vanity Fair as saying: "I've 01:54:28 22 reason why I asked you to clarify whether you 01:5628 22 known Jeff" -- referring to Epstein -- oh, I'm sorry. 5164:30 23 want to limit this to direct evidence or whether 01:56:34 23 It was a New Yorker Magazine, not Vanity Fair. That he 01:54:33 24 you want all of the evidence including 01:56:37 24 was quoted as saying: "I've known Jeff.' -- referring to 01:54:35 25 circumstantial evidence, because as we both know, ESQUIRE DEPOSITION SOLUTIONS 0166:40 25 Epstein -- "for 15 years. Terrific guy. And he's a lot ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 245 247 01:54:39 1 circumstantial evidence is good evidence. A 01:5644 1 of fun to be with." It even said that: "He likes 01:54:42 2 well-connected chain of circumstance can be -- 01:56:47 2 beautiful women as much as I do, and many of them are on 01:54:45 3 MR. SIMPSON: We really don't need a speech. 016662 3 the younger side. No doubt about it, Jeffrey enjoys the 01:54:47 4 MR. SCAROLA: -- a well-connected -- 01:56:56 4 social -- social life"? Were you aware of that on 01:54,17 5 MR. SIMPSON: We really don't -- 01:58:57 5 December 30th, 2014? 5164:48 6 MR. SCAROLA: -- chain of circumstance may be 01:5668 6 A. Possibly. I mean that sounds vaguely 01:54:49 7 as compelling proof as direct evidence of a given 01:57:01 7 familiar. Trump has just not been somebody that -- that 01:5463 8 fact. That's the law. 01:57:05 8 I've paid much attention to in this case. 01:54:55 9 If you don't want -- 01:57:07 9 Q. Based on that statement, and the facts we 01:54:57 10 MR. SIMPSON: Really, sir. 01:57.14 10 discussed earlier about Mr. Trump visiting and being a 01:54:55 11 MR. SCAROLA: -- the circumstantial 01,57:21 11 friend, and the other circumstances we discussed, are 01:54:56 12 evidence -- 01:57:24 12 you suspicious about whether he engaged in sexual 01:54:57 13 MR. SIMPSON: Mr. Scarola -- 01:57:27 13 misconduct with minors? 01:54:57 14 MR. SCAROLA: -- tell us that. 01:57:29 14 MS. McCAWLEY: I'm going to object to the 0164:58 15 MR. SIMPSON: -- please don't make speeches, 01:57:30 15 extent that you can't reveal anything that my 01.54:59 16 and please don't coach the witness. 01:57:31 16 client has informed you of. 01:5501 17 MR. SCAROLA: Just tell us that. I'm not 01:57:33 17 THE WITNESS: Right. If we set aside that 01:5602 18 coaching the witness. I'm asking you -- you're 01:57:35 18 information, I'm not -- I'm not suspicious, no, 016606 19 asking ambiguous questions. 0167:39 19 not given the information I have. 016608 20 MR. SIMPSON: There's nothing ambiguous -- 01:57:39 20 BY MR. SIMPSON: 0165:09 21 MR. SCAROLA: If you want only direct 01:57:40 21 Q. Okay. So notwithstanding that his name is 0165:10 22 evidence, we will give you only direct evidence. 01:57:42 22 circled in the address book, he was a good friend, he 01:55:13 23 If you want a full and complete answer, it's 01:57:49 23 visited often, and he was quoted as saying that Jeff was 01:55:15 24 got to include circumstantial evidence, so don't 0167:54 24 a terrific guy who liked young women almost as much as 016619 25 cut him off when he's giving you that. 01:57:58 25 Trump did, you're not even suspicious? ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:08:15 PM Page 244 to 247 of 335 24 of 46 sheets 248 250 016801 1 A. Not -- you know, let's break that down in a 0200:11 1 and energy in that, right. 01:58:05 2 couple pieces. 020012 2 Q. And you referred to your pro bono case. What 01:58:06 3 The fact that his name is circled, if I were 02:0016 3 is your best estimate of how much money you have made 016808 4 running an FBI investigation, I'd go send somebody to 02:0021 4 representing victims of Jeffrey Epstein? 01:58:10 5 see what he knew about it, but no, it would take a lot 02:0024 5 A. In which case are we talking about now? 01:58:13 6 more for me to become suspicious that somebody is 020026 6 Q. Any -- any case representing a victim of 01:5816 7 involved in -- in sexual activity like that. 02:00:28 7 Jeffrey Epstein. 01:58:19 8 Q. Okay. So you would agree with me then, that 02:00,29 8 A. I need to confer with .- 01:5821 9 the fact that a person often visited the mansion, the 020013 9 MS. McCAWLEY: Yeah. I'm going to object. 01:5824 10 person -- the fact that a person was a friend of 02001310 BY MR. SIMPSON: 0168:27 11 Mr. Epstein for 15 years, the fact that the person had 02:00:34 11 Q. And that -- that's a fact -- that's not a 016812 12 stated publicly that: "Mr. Epstein liked young women 02:0036 12 privileged question. That's a factual question. 01:5816 13 almost as much as I do myself," and the fact that the 02:00:37 13 A. Factual. Well, there are -- there are -- 01:58:40 14 name is circled in the address book is not sufficient to 0200:38 14 Q. Just how much money? You don't have to tell 01:58:43 15 raise a suspicion that that person engaged in sexual 02:00:41 15 me who the clients are. Just how much money? 01:5047 16 misconduct? 0200:44 16 A. Okay. I need to -- 0168.47 17 A. So... 02:0046 17 MR. SIMPSON: There's a question pending. I 01:5048 18 Q. Yes or no. It's a yes or no question. 02:00:47 18 object to a break. There's no possible 0168:51 19 A. It requires -- 02:00:48 19 privilege. 01:58:51 20 MR. SCAROLA: You're not required to answer 02:00:48 20 MR. SCAROLA: He has a privilege -- he has a 01:58:53 21 yes or no, if a yes or no response alone would be 02:00:50 21 privilege question. He wants to consult with 01:58:55 22 misleading. 02:00:51 22 counsel. 01:58:56 23 THE WITNESS: The problem is the word 0200:51 23 MR. SIMPSON: Well, really? My question is 01;58:57 24 "suspicion." I'm not particularly suspicious on 020053 24 how much money, and that's privileged? 01:58:59 25 those facts, but it -- you know, what do you mean 02:00:5525 MR. SCAROLA: It may be. I don't know. We ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 249 251 016903 1 by "suspicion"? If I -- if I were running an FBI 02:00:56 1 need to talk. 01:59:04 2 investigation and somebody circled a name as -- 020067 2 THE WITNESS: That's why I need to -- 0169:05 3 as saying, look, this fellow may have some 0200:58 3 MR. SCOTT: There's no federal law or state 01:5909 4 information, I'd go follow up on that. 02:01:01 4 law that supports that financial information and 01:59:10 5 If you say that's suspicion, then the answer 02:01:02 5 fees is privileged. 01:59:13 6 would be, yes. But I -- you know, based on that 02:01:03 6 MS. McCAWLEY: We can argue about that 01:59:15 7 information alone, no. I mean that -- that 02:01:05 7 because that's in my motion, so we can argue 01:59:18 8 wouldn't -- wouldn't be enough for me to, you 020109 8 about that. 01:59:22 9 know, invest time and energy into that particular 02.01:09 9 MR. SIMPSON: Well, can -- can -- 01:59:26 10 possibility. 02:01:09 10 MR. SCOTT: That one, I know all about. 01:59:26 11 BY MR. SIMPSON: 02:01:10 11 MR. SCAROLA: You're objecting to our taking 01:59:27 12 Q. Okay. So none of those facts are sufficient 02:01:11 12 a break -- 0169:31 13 even to justify spending time and energy, correct? 020111 13 MR. SIMPSON: I am objecting -- 0169:34 14 A. Unless -- if I'm running -- this is -- again, 02:01:11 14 MR. SCAROLA: -- while this question is 01:59:37 15 what do you mean by "suspicion"? Time and energy in the 02:01:13 15 pending? 01:59:42 16 context of somebody who is running a pro bono case with 0201713 16 MR. SIMPSON: That's correct. 01:59:44 17 limited resources to try to figure out what the sex 02:01:14 17 MR. SCAROLA: It is our position that the 01:59:47 18 trafficking ring's going to do, I'm not going to chase 02:01:16 18 witness has a legal question about privilege. We 01:59:49 19 after that rabbit. It seems farfetched. 020120 19 are going to take a break. We are going to talk 01:59:53 20 I'm going to focus my efforts on the people 02:01:22 20 about it. It may turn out that it's not a 016963 21 who appear to be more directly involved. 02:0124 21 problem at all. I don't know. 01:59:56 22 Q. Okay. So based on the facts that I gave you 02:0126 22 THE VIDEOGRAPHER: We are going off the video 0169:59 23 a moment ago, you think it's farfetched that Donald 0201,28 23 record, 10:38. 02:00:04 24 Trump was engaged in abusing minors? 020129 24 MR. SIMPSON: With my note, we are taking a 02:0007 25 A. If that's all I had, I would not invest time 02.0112 25 break over my objection. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 25 of 46 sheets Page 248 to 251 of 335 10/20/2015 01:08:15 PM 252 254 02:01:34 1 THE VIDEOGRAPHER: 10:38. 021051 1 counsel of record in three cases and you were involved 0201:41 2 (Thereupon, a recess was taken.) 02:18:56 2 in another case -- at least one other case in which you 02:15:10 3 THE VIDEOGRAPHER: We are back on the video 02:18:58 3 did not appear -- 02:16:42 4 record, 10:49 a.m. 0218,68 4 A. That's right. 02:1042 5 BY MR. SIMPSON: 0218:59 5 Q. -- as counsel of record; is that correct? 02:16:44 6 Q. Back on the record. My question, 0219:00 6 A. That's -- that's my recollection right now, 0216:46 7 Mr. Cassell, was: What is your best estimate of how 0219:03 7 yeah. 02:16:50 8 much money you have made representing victims of Jeffrey 0219:03 8 Q. All right. How many of those cases have been 02:16:56 9 Epstein? 02:19:05 9 resolved at this point? 02:16:56 10 A. In which case are we talking about? 021906 10 A. Ali. All -- of the four, I recall all four 02:1608 11 Q. In -- in any case. Combined total. 021908 11 have been resolved. 02:17:01 12 A. Okay. With regard to the CVRA case, that's 02:19:09 12 Q. Okay. Without telling me the amount, did you 0217:04 13 pro bono, no money there. With regard to the other 02:19:12 13 receive -- all four were settled; is that right? 0217:07 14 cases, I'd like to answer your question, but due to 02:1915 14 A. Correct. 02:17:10 15 confidentiality obligations that have been imposed upon 021915 15 Q. Without telling me the amount, is it correct 02:17:13 16 me by Jeffrey Epstein, in the course of negotiating 021921 16 that in all four of those cases, you received a legal 02:17:16 17 those cases, I'm not permitted to answer that question. 021927 17 fee? 021723 18 MR. SCAROLA: We are certainly willing to 02:19:28 18 A. i think that starts to call for a question I 02:17:25 19 respond appropriately to a court order in that 02:19:33 19 need to consult with my attorney about. 0217:27 20 regard, but it requires a court order to release 021036 20 Q. Simply the question of whether in each of 0217:30 21 us from the contractual confidentiality 02:19:39 21 them you received a fee? 02:17:33 22 obligations that we are under. 0219:40 22 A. I just want to... 02:17:33 23 BY MR. SIMPSON: 0219:42 23 THE WITNESS: Is -- is there any problem -- 02:17:36 24 Q. Is it your testimony, Mr. Cassell, that there 02:19:42 24 MR. SCAROLA: You can respond to that. You 02:17:41 25 are confidentiality agreements with Mr. Epstein that 02:19:43 25 can answer yes or no to that question. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 253 255 02:17:45 1 preclude you from giving the total amount paid without 02:19:44 1 THE WITNESS: Yes, I received something. 0217:51 2 breaking it down into particular cases? 0219:45 2 BY MR. SIMPSON: 02:17:53 3 A. I'm sorry. I didn't understand. 0210,18 3 Q. Okay. Was the fee -- and if it's different 0217:54 4 Q. Oh, maybe that wasn't clear. Let me do it 02:19:50 4 for the -- the cases, tell me, but was it a contingent 02:17:58 5 this way so we avoid -- 021904 5 fee or some kind of hourly fee? 021800 6 A. Yeah. 021906 6 MR. SCAROLA: That -- that does get into 02:1800 7 Q. -- the confidentiality issues. 0219:59 7 attorney/client privileged matters. The terms -- 0218:01 8 In how many cases have you been counsel for a 02:20:03 8 MR. SIMPSON: You're instructing him not to 021807 9 person suing Mr. Epstein alleging that she was a victim? 02:2004 9 answer? 02:18:12 10 A. Counsel of record? 0220:04 10 MR. SCAROLA: -- the terms of the 02:18:14 11 Q. Put it this way. How -- well, start with 022004 11 representation are attorney/client privilege. I 92:18:17 12 that, counsel of record. 0220:06 12 instruct him not to answer. 02:18:18 13 A. I believe three. 02:20:08 13 MR. SIMPSON: All right. 02:18:19 14 Q. Okay. And in addition to those three, have 022009 14 BY MR. SIMPSON: 02:18:26 15 you assisted other counsel in some way without becoming 0220:10 15 Q. In addition to these four cases that have 02:1829 16 counsel of record in cases by women suing Mr. Epstein 02:20:13 16 been resolved, are you representing any other clients 02:18:36 17 alleging that they had been abused? 02:20:18 17 who are alleging, in a case seeking monetary damages, 0218:38 18 A. I believe there's one other case in addition 02:20:23 18 that they were abused by Jeffrey Epstein? 0218:41 19 to the counsel of record case. 02:20:28 19 A. I -- 0218:42 20 Q. And without telling me -- 022028 20 MS. McCAWLEY: I'm going to object to the 02:18:44 21 A. I'd -- I'd have to go double-check my record. 02:20:29 21 extent that this seeks any information related to 02:18:46 22 This is an approximate best recollection. 02:2033 22 Virginia Roberts that could be deemed privileged 02:1846 23 Q. All right. 022025 23 or confidential. 02:18:48 24 A. It's about four. 02:20:36 24 THE WITNESS: So what's the... 02:18:49 25 Q. To the best of your recollection, you were 02:2036 25 ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:08:15 PM Page 252 to 255 of 335 26 of 46 sheets 256 258 0120:36 1 BY MR. SIMPSON: 0122:42 1 A. Yeah. That hasn't been something that I have 02:20:38 2 Q. I'm -- I'm trying to close a loop here. 02:22:44 2 focused on, no. I mean... 02:20:40 3 A. Yeah. 02:22:46 3 Q. It is -- it is correct, is it not, that you 02:20:40 4 Q. I'm asking whether you were involved in any 02:22:49 4 anticipate that if you are successful in setting aside 02:2044 5 other cases in which claims have been made against 02:22:53 5 the nonprosecution agreement, that the names of 02:20:47 6 Jeffrey Epstein for damages that are still active; they 02:22:58 6 additional victims will become known; didn't you testify 02:20:52 7 have not been resolved? 02:23:01 7 to that yesterday? 02:20:53 8 A. So we are talking civil cases, unresolved 0123:03 8 A. I -- I'm not -- I must be confused here. I 02:20:58 9 civil cases against Jeffrey Epstein right now? 02:23,07 9 don't remember. 0/2059 10 Q. Unresolved cases seeking money from Jeffrey 02:2357 10 Q. Well, wait -- I don't want to -- you know, 02:21:02 11 Epstein. 022309 11 let me ask the question -- 022152 12 MR. SCAROLA: And to the extent that that 02:23:09 12 A. Yeah. 022153 13 question calls for matters that are of public 0223:10 13 Q. -- rather than my recollection. 02:21:06 14 record, then, obviously, you can respond. 0223:11 14 A. Yeah, yeah. That's what I'm not... 02:21:08 15 THE WITNESS: Right. Yeah. None. 022312 15 Q. My question is: Do you anticipate that if 02:21:09 16 BY MR. SIMPSON: 02:23:15 16 you're successful in setting aside the nonprosecution 02:21:10 17 Q. Are there -- and I'm not asking for the name. 0223:18 17 agreement, that the names of additional victims will 02:21:11 18 Are there any not of public record that -- 02:232318 become known? 0121:15 19 A. What would be a "not"? 02:23:24 19 A. Additional Epstein victims at this point? 0221716 20 Q. Well, if you had made a claim that's not in 0123:26 20 Q. Yes. 02:21:19 21 suit, for example. 02:23:26 21 A. Again, it's pretty speculative. The 02:21:20 22 A. Oh, against Jeffrey Epstein? 02:23:30 22 the issue -- you know, the case, you know, the events 02:21:21 23 Q. Yes. 02:23:34 23 were roughly a decade ago. I mean, we are always hoping 02:21:21 24 A. Yeah. No, I don't -- I don't think there's 0223:38 24 that there might be somebody additional that would come 02:21:25 25 anything. Yeah, no -- no claims against Epstein, right. 02:23:40 25 forward, but that hasn't been the focus of the ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 257 259 02:21:30 1 Q. And -- and it's true, is it not, that if 02:23:43 1 litigation. 02:21:33 2 you're successful in the CVRA case, in setting aside the 02:23:43 2 Q. Whether -- 02:21:37 3 nonprosecution agreement, you expect to get other 02:23:45 3 A. And you always hope that there are -- yeah, I 02:21:41 4 clients who will have claims against Jeffrey Epstein? 0/23:48 4 mean, any time you file a case, ah, I hope some more, 0121:45 5 A. If we -- in civil claims? 02:23:50 5 you know, witnesses will come forward to support that 0/21:47 6 Q. Claims for damages, claims for money from 0223:52 6 case, but that hasn't been the focus, trying to secure 02:21:50 7 Jeffrey Epstein. 022355 7 additional -- additional witnesses. That is a 012151 8 A. That -- I mean, that starts to -- if the 02:23:57 8 possibility, though. I mean, I think in fairness to 02:21:55 9 nonprosecution agreement is set aside? 02:24:00 9 your question, that is a possibility that, you know, 02:2158 10 Q. Yes, if you're successful. 0224:02 10 if -- if the case attracts attention and -- and 02:2159 11 A. I haven't really -- that sounds pretty 02:24:05 11 somebody, you know, says, you know, gosh, now that I -- 0322:02 12 speculative. I haven't really thought about the 02:24:0912 I -- I -- you know, I moved away to escape Epstein and 02:22:04 13 civil -- the focus of the CVRA case is criminal. I 0224,1013 now it's safe for me to come back, or -- or now I 02:2258 14 haven't thought about, you know, whether, civil claims 02:24:13 14 realize I have a claim, that's always a possibility. 02:22:11 15 could somehow arise out of that. I mean, we are talking 02:24:15 15 I certainly wouldn't want to suggest that, 02:2214 16 about, you know, events that took place long ago. There 0224:17 16 you know, we are ruling that possibility out. 02:2118 17 would be statute of limitations issues, you know. 02:24:19 17 Q. And for the same reason that additional 02:22:20 18 Whether they are viable civil claims at this point has 0224:23 18 witnesses might become available -- known, additional 02:22:24 19 not been something that I have, you know, given much 02:24:27 19 clients might become known, correct? 02:22:25 20 thought to. 022428 20 A. That is a theoretical possibility, yes. 0122:26 21 Q. So is it your testimony then that you have 02:2430 21 Q. In these four cases that you mentioned, the 02:22:28 22 not thought about the question of whether success in the 02:24:34 22 three that were, which you were counsel of record and 02:22:33 23 CVRA case may or result in you obtaining additional 02:24:38 23 one in which you were not, did you meet at any time in 02:22:39 24 clients with claims for money damages against Jeffrey 0124744 24 person with the clients? And if it's different as to 02:22:41 25 Epstein? 012448 25 some than others, tell me that, but -- ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 27 of 46 sheets Page 256 to 259 of 335 10/20/2015 01:08:15 PM 260 262 02:24:50 1 A. Yes. 02:27:10 1 filing on December 30th of 2014, was the first time that 02:24:50 2 Q. In all four, you met with the clients? 02:27:16 2 you had ever, yes, ever on behalf of Virginia Roberts or 02:24:52 3 A. In three of the four. 02:27:21 3 any other client, accused Professor Dershowitz or 02:24:53 4 Q. And were those three the three in which you 02:2725 4 Prince Andrew of sexual abuse in a public filing? 02:24:57 5 were counsel of record? 02:27:29 5 A. If you're talking about direct allegation, 02:24:58 6 A. Yes. 02:27:31 6 that's correct. 02:24:59 7 Q. As of December -- 02:27'31 7 Q. Had you ever public -- well, at no other time 02:25:01 8 A. I believe I was counsel of record on all 022239 8 that -- you expected when you filed the pleading on 02:25:03 9 three of those. I would have to double-check. I know I 02:27:41 9 December 30th, 2014, that it would be -- be something of 02:25:05 10 was counsel of record in the federal case. The two of 02:27:45 10 public record that would generate publicity, correct? 0225:08 11 them are state cases, I believe, that it was pro hac in 02:27:48 11 A. Public record, the focus was not generating 02:25:11 12 the state cases. 02:27:51 12 publicity. Of course, when you file an allegation like 02:25:14 13 Q. Okay. I wont ask you the names, but in the 02:27:54 13 that, there certainly would have been -- we would 0225:14 14 four cases, what are the initials of your clients? 02:27:55 14 anticipate there would have been publicity, absolutely. 02:25:19 15 A. Okay. So the -- the -- 0227:58 15 Q. And before December 30th of 2014, to the best 02:25:20 16 Q. Put it this way: How are they identified in 022803 16 of your knowledge, neither you, nor anyone else, had 02:25:22 17 the caption that you filed? 02:28:08 17 told Professor Dershowitz that there were allegations 02:25:23 18 A. Well, also the three that were filed, one 0228:12 18 that he personally had engaged in sexual misconduct? 02:25:26 19 was -- one was the initials S.R. I referred to 02.28:12 19 A. um... 02:25:28 20 Miss S.R. yesterday. That was the Jane Doe case in 0228:19 20 MS. McCAWLEY: I'm going to object to that 02:25:32 21 Federal Court in front of Judge Marra. 02:28:20 21 date if that reveals anything that would be 0225:34 22 There were two state claims. I'll -- I'll 022821 22 privileged between something that would have been 02:25:37 23 identify the clients as E.W. and L.M. 0228:24 23 communicated by the client. 02:25:42 24 Q. And then the fourth one? 0228:25 24 MR. SIMPSON: No. These are communications 02:25:44 25 A. The fourth one, I believe -- the initial M. 02:28:27 25 to Professor Dershowitz. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 261 263 02:25:49 1 and I believe the last initial was B., but I may be 02:28:29 1 MR. SCAROLA: Yes. And that could very well 02:25:54 2 wrong about the B. First initial M. 02:2531 2 include attorney/client privileged 02:25:56 3 Q. At the -- okay. At the time that you filed 0228:33 3 communications. 0225:04 4 the joinder motion -- 02:28:36 4 MR. SIMPSON: Let me -- I'll ask my question. 02:26:05 5 A. Yes. 02:28:37 5 BY MR. SIMPSON: 0226:06 6 Q. -- in the federal case, so December 30th of 02:28:38 6 Q. My question is: Did you ever advise 02:26:10 7 2014, you knew that naming Prince Andrew would generate 0228:45 7 Professor Dershowitz that there were allegations that he 02:26:15 8 substantial publicity, correct? 0228:50 8 had engaged, himself, in sexual misconduct with minors? 02:26:18 9 A. I knew it would attract a lot of attention. 0228:56 9 A. Not me personally, no. 02:26:23 10 Yeah, I mean, "substantial" we could debate, but, sure, 02:28:57 10 Q. Are you aware of any e-mail, letter, other 02:26:25 11 I knew that that was going to -- you know, once you 0229:04 11 communication from anybody that went to Professor 0226:28 12 start exposing the extent of this criminal activity, 02:29:09 12 Dershowitz that told Professor Dershowitz that he had 0226:33 13 obviously, there were going to be a lot of people 02:29:12 13 been accused of engaging in misconduct himself? 02:26:36 14 interested, yes. 0229:17 14 A. Well, there -- I mean, I'm aware that there 0226:36 15 Q. And you also knew that naming Professor 0229719 15 was a deposition request in 2009. There was a 0225:41 16 Dershowitz would attract publicity? 0229:22 16 deposition request in 2011. That was accompanied by an 02:26:46 17 A. Well, when you say "naming," one of the 022527 17 exchange of correspondence that said, for example, 0225:49 18 things you've got to understand is the names were 02:29:29 18 numerous witnesses have placed you in the presence of 0226:50 19 already in the case, both Prince Andrew and Alan 02:29:31 19 Jeffrey Epstein and underaged girls. It didn't then go 0225:56 20 Dershowitz. We had pending discovery requests for 02:29:35 20 on to say, and you were committing sexual abuse of them, 0226:59 21 information about both of them. So when you say "naming 0229:38 21 but it said numerous witnesses had -- had done that. 02:27:00 22 them," you know, they were already named in the case. 02:2942 22 And I think a reasonable inference would be 02:27:02 23 Now, would the additional allegations have 02:29:43 23 that, you know, you're verily sure that a witness and 02:2705 24 attracted additional attention? Sure. 02:29:47 24 then that also raises the possibility of -- well, I 02:27:07 25 Q. Mr. Cassell, it's true, is it not, that the ESQUIRE DEPOSITION SOLUTIONS 02:2049 25 mean, I think Professor Dershowitz mentioned yesterday, ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:08:15 PM Page 260 to 263 of 335 28 of 46 sheets 264 266 022961 1 that if you're in the presence of a convicted sex 023203 1 MR. SIMPSON: I'm sorry. You were right, 02:2964 2 offender, or a sex offender and sex abuse is going on, 02:3208 2 yes. 0229:57 3 you would have obligations, for example, at a minimum to 02:32:08 3 MR. SCAROLA: Can you just show it to him? 02:30:00 4 report that, and it raises the possibility of other 02:3209 4 MR. SIMPSON: I'll read it, and then if he 02:3002 5 criminal activity as well. 023211 5 wants to look at it, that will be fine. 023004 6 Q. Is it your testimony, Mr. Cassell, that 02:32:12 6 MR. SCAROLA: Thank you. 0230:07 7 telling a person that multiple people have identified 02:32:73 7 BY MR. SIMPSON: 02:30:15 8 you as a witness to some activity is fair notice that 02:32:14 8 Q. This is a letter from Mr. Scarola to 02:30:20 9 you, yourself, are accused of engaging in criminal 02:3215 9 Mr. Dershowitz dated August 23rd, 2011. The second 02:30:26 10 misconduct? 0232:23 10 sentence says -- well, I'm going to read the whole 02:30:26 11 A. So -- so you, I think, recharacterized the 02:32:26 11 thing. 0230:29 12 letter that went to Mr. Dershowitz in 2011. The letter, 02:32:26 12 MR. SCAROLA: Yeah, thank you. 02:30:32 13 as I recall, doesn't say he is a witness. It says, if I 13 BY MR. SIMPSON: 02:30:3514 recall -- we can double-check the language -- but I 14 Q. "We do not" -- 023038 15 believe the language says: Numerous witnesses have 15 MR. SCAROLA: It's short, so it would be 0230:42 16 placed you in the presence of Jeffrey Epstein, underaged 16 helpful if you just read the whole thing. 02:30:45 17 girls, and Epstein. Then, you know, so at that point, 17 BY MR. SIMPSON: 02:30:48 18 given what we know in this case, given that at that 18 Q. Yeah. 02:30:52 19 point in 2011, there had been an ongoing set of 02:32:28 19 "We do not intend to inquire about any 02:3065 20 allegations against Mr. Epstein, I -- I think your 02:32:31 20 privileged communications or attorney work 02:30:59 21 question doesn't -- doesn't take into account this 02:32:33 21 product. We do, however, have reason to believe 02:3103 22 surrounding context. 02:32:37 22 that you have personally observed Jeffrey Epstein 02:31:04 23 Not to mention the fact there had been a 2009 0232:41 23 in the presence of underaged females, and we 02:31:07 24 deposition request and a 2013 document request. 02:32:44 24 would like the opportunity to question you under 02:31:12 25 Q. Okay. I think you accurately characterized 0232:47 25 oath about those observations. Thank you for ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 265 267 02:31:15 1 the communication about the deposition request that 02:32:51 1 your anticipated cooperation. Signed, Jack 02:31:20 2 multiple persons have placed you in the presence -- 023253 2 Scarola." 0231:23 3 A. Right. 02:32:54 3 If you would like to -- 0231:23 4 Q. -- of minors -- 02:32:54 4 A. Sure. 02:31:25 5 A. Right. 02:3265 5 Q. -- take a look at the letter to refresh 02:31:26 6 Q. -- correct? 02,32:57 6 yourself, you're welcome to. 02:31:27 7 A. i believe that's my recollection. Numerous 02:33:00 7 A. Great. Thanks. Okay. 02:31:29 8 witnesses have placed you in the presence of sex 02:33:06 8 Q. Now, first, you're aware, are you not, that 02:31,33 9 offend -- at that point, convicted sex offender Jeffrey 02:33:09 9 Professor Dershowitz answered that letter and said the 02:31:35 10 Epstein, who was convicted of sexually abusing underaged 02:33:12 10 assertion that he had observed Mr. Epstein in the 0231:38 11 girls, and underaged girls, and those are the subjects 02:33:15 11 presence of underage -- 02:31:42 12 we would like to question you about. 02:3322 12 MR. SCAROLA: Females. 02:31:43 13 And rather than getting a response that says, 02:33:22 13 BY MR. SIMPSON: 02:31:46 14 well, let me clear that all up, the response that's 02:33:23 14 Q. -- females was not true? 02:31:48 15 received was, something along the lines of, give me more 02:3324 15 A. Something along those lines, yeah. 02:31,51 16 information and -- and, quote: I'll decide whether I 0233:28 16 Q. Yeah. And I will read it from that letter -- 0231:54 17 want to cooperate, close quote, or something along those 02:33:29 17 A. Okay. That would be good. Yeah, that would 02:31:57 18 lines. 02:33:31 18 be great. 02:31:57 19 Q. Mr. Cassell, let me -- I'm going to read to 02:33:33 19 Q. And "I have never" -- this is a letter from 02:3169 20 you -- 0233:33 20 Mr. Dershowitz to Mr. Scarola, August 29th, 2011. 02:31:59 21 A. Good. 02:3138 21 "Dear Mr. Scarola, I have never personally 02:3169 22 Q. -- from the letter itself -- 02:3341 22 observed Jeffrey Epstein in the presence of 02:31:59 23 A. Okay. 02:3343 23 underaged females. I do not believe you have any 02:32:02 24 Q. -- and tell me if it's consistent with your 02:33:46 24 reasonable basis for believing that I have. If 02:32:03 25 recollection. 02:3349 25 you have -- if you claim to have reason to ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 29 of 46 sheets Page 264 to 267 of 335 10/20/2015 01:08:15 PM 268 270 02:33:52 1 believe, please provide me with any such reason. 02:35:33 1 In the context of this case, to say, you have 02:33,55 2 I am certain I can demonstrate to you that it is 02:35:35 2 been observed in the -- in -- by numerous 02:33:58 3 false." 02:35:37 3 witnesses in the presence of a convicted sex 02:33:59 4 Is that consistent with your recollection of 02,35:41 4 offender and underage girls, and we would like to 0/34:01 5 the response? 02:35:45 5 talk to you about those observations, I think 0/34:01 6 A. That sounds about right, yeah. 02:35:45 6 that puts you on notice that you're in -- in -- 02:34:03 7 Q. So Mr. Dershowitz did not ignore the letter; 02:35:49 7 in jeopardy of -- of criminal activity, 02:34:04 8 he responded to it, correct? 02:3552 8 particularly when you combine that with the fact 02:34:06 9 A. i think that's right. 02:35,54 9 that there is a duty to report child abuse in 02:34:07 10 Q. And go back to the first letter. 02,35:57 10 many states in this country, including the State 02:34:10 11 A. But, now, if we are -- if we're talking 02:35:57 11 of Florida. 02:34:11 12 about -- yeah, there's that one letter and now there's a 02:35:59 12 And so that if those observations were such 02:34:14 13 response letter, right. 02:36:02 13 that they would give rise to a reasonable 02:34:14 14 Q. My question to you is: Does the statement to 02:36,05 14 inference that sex abuse was -- of children was 02:34:21 15 a person that "we have reason to believe that you have 02:36:08 15 going on and you'd be obligated to report it, as 02:34:26 16 personally observed another person in the presence of 02:36:09 16 I think Mr. Dershowitz conceded yesterday, yes, 02:34:31 17 underage females and we would like to ask you about your 02:36:72 17 you -- I think that puts you on notice that -- 02:34:35 18 observations," put the recipient on notice that you, 02:36:14 18 that those kinds of things are being alleged. 02:34:41 19 yourself, are accused of criminal conduct in abusing 02:36:16 19 BY MR. SIMPSON: 02:34:45 20 minors? 02:36:18 20 Q. So, first, the letter itself, the letter from 02:34:46 21 A. Well, it puts you on notice that you're a 02:36:22 21 Mr. Scarola simply says, you were -- you were personally 02:34:49 22 potential, obviously, witness to this and then therefore 02:36:28 22 -- you personally observed Jeffrey Epstein in the 02:34:51 23 you could have potential involvement. 02:36:31 23 presence of underaged females, correct? 02:34,53 24 Let me give you a simple illustration. It'll 02:36:33 24 A. Correct. 0234,55 25 take about 20 seconds. If somebody says -- 02:36:33 25 Q. It does not say, you witnessed abuse of any ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 269 271 02:34:56 1 Q. Well, let me back up. My first question, 02:36:37 1 minor; we have reason to believe you observed abuse of 02,34:57 2 though, if you can answer the question. o2:36:39 2 minors? 02:3418 3 MR. SCAROLA: No. I'm sorry. The witness is 02,38:39 3 A. If those words do not appear there, but come 02:35:00 4 entitled to complete his response. If you 02:36,41 4 on, we -- we know -- we know in the context of this 02:35:01 5 don't -- if you believe it to be unresponsive, 02:36:44 5 case, when somebody is asking to take a deposition about 02:35:03 6 you can move to strike it, but he's entitled to 02:36:47 6 your observation of young girls, they weren't talking 02:35:06 7 complete it. 02:36:50 7 about preparations for birthday parties. They were 02:35:06 8 MR. SIMPSON: He -- 02:36:52 8 talking about sexual abuse of children. 0/35:06 9 MR. SCAROLA: So go ahead and complete your 02:36,56 9 And that was what Mr. Dershowitz was going to 02:35:08 10 response. 02:36:59 10 be asked about. And he did not -- he did not take that 02:35:08 11 MR. SIMPSON: Can we have a -- you can give 02:37:02 11 opportunity to try to clear the record; instead, we are, 02:35,09 12 an explanation, but a yes or no with an 02:37:05 12 you know, here today, because among other reasons, he 02:35:10 13 explanation. 02:37:09 13 he -- he wasn't deposed then. 02:35:11 14 MR. SCAROLA: You already got that. Could we 02:37:7214 Q. I want -- I want to comment. I'm just a 02:35:12 15 now have the completion of the response? 02,37:18 15 little bit non -- nonplussed, so I want to come back to 0235:14 16 THE WITNESS: Here's the simple illustration 02:37:21 16 this again. 02:35,16 17 I think makes it pretty clear: If somebody says, 02:37:27 17 A. Well, I'm -- I have to tell you, I'm a little 02:35:17 18 we have observed you in the presence of a kilo of 02:37:23 18 bit nonplussed that somebody would say that letter 02:35:20 19 cocaine, we would like to question you about the 02:37:24 19 doesn't put you on notice that you're potentially 0235:23 20 presence -- about your observations of this, that 02:37:27 20 involved in criminal activity. I mean, come on. 02:3516 21 doesn't directly state that you are a drug user 02:37:30 21 Q. I -- my question wasn't potentially involved 02:35:27 22 or a drug dealer, but it certainly puts you on 02:37:33 22 in criminal activity. We disagree about whether it does 02:35:29 23 notice that you're associated with that criminal 02:37:36 23 that. 02:35:37 24 activity and somebody is going to question you 02:37:37 24 A. Okay. I think it does. 02:35:31 25 about it. 02:37:38 25 Q. I suspect you -- that's how you read it? ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:08:15 PM Page 268 to 271 of 335 30 of 46 sheets 272 274 02:37A0 1 A. I think it puts you on notice in the context 02:4603 1 his criminal associates were doing. And he thought that 02:37:42 2 of a country which has required people to report the 02:4605 2 Mr. Dershowitz would have information and was trying to 0237:45 3 sexual abuse of children, and somebody wants to talk to 024067 3 collect that. 02:37,49 4 you about your observations of a convicted sex offender 02:40:08 4 Now, whether the -- the -- the tentacles of 02:37:52 5 with underage girls, that that's going to be one of the 024610 5 the organization would extend so that they wrapped 02:37:56 6 subjects that's going to be discussed, yes. 02:40:13 6 around Mr. Dershowitz himself, I guess was the subject 02:37:56 7 Q. My question was -- my initial question was: 02:40:16 7 that -- that Mr. Scarola, I am assuming, was hoping to 02:38:01 8 Does -- do the statements in this letter put the reader 02:40:18 8 explore. But Mr. Dershowitz prevented that opportunity. 02:38:05 9 on notice that you, personally, are accused of abusing 02:4622 9 Q. And Mr. Dershowitz, you knew, had been 02:3614 10 minors yourself, not that you have in some knowledge or 02:40:26 10 Mr. Epstein's attorney, correct? 02:38:19 11 evidence that someone else did it, but that you, 02:40:27 11 A. Correct. 02:38:22 12 yourself, did it; is that a way to give fair notice? 02:40:28 12 Q. And you knew, just as we have seen here today 02:38:26 13 A. Well, in fair notice in what context? You 02:4632 13 with multiple assertions of privilege, that he could not 02:38:30 14 know, is he on notice that a lawsuit is going to be 02:40:36 14 testify about anything he learned as an attorney? 02:38:31 15 filed the next day? 02:4637 15 A. He could testify, and the letter itself says, 02:38:32 16 Simply from that piece of -- that letter 02:4640 16 we are not going to ask you about any communications; we 02:3834 17 alone, they are on notice, you know -- I mean, I think 0240:43 17 are going to ask you about observations of sex abuse by 02:3837 18 that puts you on notice that there are serious 0240:47 18 a convicted sex offender, and your personal knowledge of 02:38:41 19 allegations afoot and it would be in your best interest 02:40:55 19 that. That would not have erased in the -- and 02:38:43 20 if you hadn't done anything, to show up, attend a 02:40:52 20 Mr. Scarola's a very good attorney, and I'm sure all of 02:38:46 21 deposition, let all the facts come out so that everybody 02:40:55 21 his questions that we saw the last couple of days would 02:38:48 22 can know them. 02:4658 22 have been very narrowly focused on observations about 02:38:49 23 Q. Would you agree that accusing someone of 02:41:01 23 what this criminal organization was doing. 023654 24 themselves abusing a minor is different than accusing 02:41:05 24 Q. And so to the bottom line is that your view, 023600 25 someone of having knowledge that somebody else did it? ESQUIRE DEPOSITION SOLUTIONS 02:41:08 25 your sworn testimony, this letter of August 23rd, 2011, ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 273 275 02:39:03 1 A. Yes. 0241,16 1 put Mr. Dershowitz, Professor Dershowitz, on fair notice 02:3964 2 Q. And to accuse someone of abusing a minor is a 02:4121 2 that he was being accused of being a sex offender 02:39:09 3 serious, serious accusation of criminal conduct, 02:4125 3 himself? 02,3614 4 personal criminal conduct, not just failing to report 02:4126 4 A. We -- we have gone over this. I think it put 02:39:17 5 somebody else, but you, yourself, are abusing people? 02:41:28 5 him on fair notice that there were serious questions 02:39:21 6 A. Oh, yeah. 02:41:31 6 being raised about what he knew about this criminal 02:39:21 7 MR. SCAROLA: Are you suggesting that that's 02:41:35 7 organization, what the potential criminal responsibility 02:39:23 8 not criminal conduct? 02:41:36 8 he had for failure to report sexual abuse of a child, as 02:39:25 9 MR. SIMPSON: I'm -- I'm -- my question 02A1:39 9 well as other possibilities. 0239:26 10 stands. 02:41:42 10 MR. SIMPSON: I'm going to move to strike as 02:39:26 11 BY MR. SIMPSON: 02:41:43 11 nonresponsive. 0239:26 12 Q. What is the answer to that? 02:41A3 12 BY MR. SIMPSON: 02:39:27 13 A. It is a very serious charge, I agree. That's 02:41:44 13 Q. My question is a very narrow one, whether 02:3630 14 why we are all here today. 02:41,47 14 this letter, in your opinion, under oath, fairly put 02:39:30 15 Q. Okay. And -- and if you wanted to put 02,41:53 15 Mr. -- Professor Dershowitz on notice that he himself 02:39:32 16 someone on fair notice that they are accused themselves 02:41:58 16 was accused of abusing minors. 02:39:36 17 of being a sex offender, a criminal who has abused 0242:02 17 A. Again, that's a vague question. I've tried 02:3641 18 children, wouldn't you tell them that? 02:42:04 18 to give the best answer I can. That was certainly a 02:3643 19 A. That's a speculative question because that 02:42:06 19 potential area of questioning. I think that puts him on 02:39:46 20 letter was designed to try to collect information about 02:42:09 20 notice that it would have been in his best interest to 02:39:48 21 an international sex trafficking organization. And so 0242:12 21 appear to answer those questions. 02:39:52 22 as to -- you know, I'm not going to speculate as to why 02:42:14 22 MR. SIMPSON: I'm going to object to the 02:3655 23 Mr. Scarola wrote it that way. But my sense, based on 02:42:16 23 answer again as nonresponsive. 02:3658 24 the public record is, that he was trying to get as much 02A2:16 24 BY MR. SIMPSON: 024601 25 information as he could about what Jeffrey Epstein and 02A2.18 25 Q. Its a really simple question. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 31 of 46 sheets Page 272 to 275 of 335 10/20/2015 01:08:15 PM 276 278 02:42:20 1 Does that letter put Mr. Dershowitz on fair 02:44:17 1 having abused minors? Can you answer that: Yes or no? 02:42:23 2 notice that he's accused of being a sex offender 02:4421 2 A. No. I think a yes-or-no answer would be 02:42:26 3 himself? 02:44:24 3 misleading, given the context of this case. 02:42:27 4 MR. SCAROLA: Objection. Repetitious. To 02:4427 4 Q. You referred in your earlier testimony to - 024228 5 the extent that you can improve upon the answer, 02:44A4 5 strike that for a moment. 02:42:32 6 you can improve upon the answer. If you cant, 0244,46 6 You referred in your earlier testimony to an 02:42:35 7 all you need to do is say that. 02:45:04 7 article that appeared today regarding 02:42:37 8 THE WITNESS: I -- and I'll try to -- 02:45:09 8 Professor Dershowitz's deposition testimony, correct? 02:4238 9 obviously, I want to be responsive -- 0245:11 9 A. I don't think so. 02:42:38 10 BY MR. SIMPSON: 02:4513 10 Q. Okay. Are you aware that -- well, perhaps it 02:42:38 11 Q. Let -- let me ask -- 02:45:17 11 was Miss McCawley who referred to it. 02:4240 12 A. -- to your question. 0245;19 12 Do you recall there being a reference this 02:42:40 13 Q. I'll ask you a different question. 02:45:21 13 morning to an article being published about 02:42:41 14 A. I don't think that's a yes or no question 02:45:24 14 Professor Dershowitz's testimony? 02:42:43 15 because of -- of you're including vague terms like fair 024626 15 MS. McCAWLEY: Oh, I'm sorry. It was me. I 02:42:46 16 notice and -- and those sorts of things. So -- but go 02:45:28 16 objected to the extent -- only to the extent it 02:42:49 17 ahead and ask your questions and I'll -- I mean, go 02:45:30 17 revealed something public that had been stated in 02:42:55 18 ahead. 02'45,33 18 public. 02:42:55 19 Q. You're a former federal judge? 0245:33 19 BY MR. SIMPSON: 0242:55 20 A. Right. 02:45,34 20 Q. Okay. And I -- you recall that? 02:42:56 21 Q. A former Supreme Court law -- law clerk? 02:4636 21 A. Yeah, I recall the objection. I think 02:42:58 22 A. Yes. 0245:37 22 there's an article that came out yesterday or a 02:42:59 23 Q. Professor at a law school? 02:45:39 23 communication. I -- I -- you know, I can't remember 02:43:02 24 A. Yes. 02:45:4224 the -- exactly where I -- I know that I received a 02:43:03 25 Q. Reading as -- reading the language of this 02:45:45 25 communication, either through publication or in some ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 277 279 02:43:09 1 letter, in your opinion, does the language itself put 02:45:47 1 other way from the -- from the -- you know, I became 024318 2 the recipient on notice that the recipient is accused of 02:45:51 2 aware that there was a statement that the -- what's the 02:43:23 3 abusing minors himself? 02:4655 3 name of the outfit? It's the Business Investor -- 0243:27 4 A. It puts him on notice that that is going to 02:45:57 4 MR. SCAROLA: Daily Business Review. 02:43:29 5 be a potential subject of inquiry at the -- at the -- 02:45:58 5 THE WITNESS: Daily Business Review that was 02:43,33 6 the deposition. 02:46:01 6 stating that David Boies was saying that the 02:43:34 7 Q. So your answer then is, yes, it puts the -- 02:46:04 7 representations made by Mr. Dershowitz were 02:43:37 8 the -- the person on notice; that's your reading? 02:46:08 8 false. 02:43:40 9 A. You're -- I think you're putting words in my 02:46:08 9 MR. SCAROLA: I did just coach the witness. 02:43:42 10 mouth. You're -- you're trying to ask, you know, a 0246:09 10 I apologize. 02:43:44 11 question that on the one hand, you're suggesting is 02:46.10 11 THE WITNESS: Yeah. And, I'm sorry, just for 02:43:47 12 narrow, and on the other hand is broad. It -- I mean, 0246.1212 the name of that, so... 02:43:50 13 this is probably the simplest way to answer that 0246:12 13 BY MR. SIMPSON: 02:43:50 14 question. 02:4613 14 Q. And you -- in your earlier testimony, you 02.43:51 15 If I had gotten that letter, I would have 02'46.14 15 referred to it -- you didn't recall the name, but you 02:43:52 16 said, schedule the deposition in the next 24 hours, and 02:46,17 16 referred to it as a reputable -- 02:43:55 17 come on down here now, and I will be available for a 02:46:18 17 A. That's right. 02:43:58 18 week. That's what I would have said if I had gotten 024619 18 Q. -- publication? 0244:01 19 that letter. 02:4621 19 A. That's right. That's the one we are talking 0244:02 20 MR. SIMPSON: Move to strike as 02:4621 20 about, right. 02:44:03 21 nonresponsive. 024621 21 Q. Right. And in that article it states: 02:44:03 22 BY MR. SIMPSON: 0246:31 22 "McCawley," referring to our colleague, 02:44:06 23 Q. Is it your testimony you can't answer yes or 0246:32 23 "later issued a statement on Boies's behalf 02:44,09 24 no whether that letter, on its face, puts the recipient 02:46:35 24 saying, because the discussions that Mr. Boies 02:44:12 25 on notice that the recipient is accused himself of 0246:37 25 had with Mr. Dershowitz were expressly privileged ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:08:15 PM Page 276 to 279 of 335 32 of 46 sheets 280 282 0246:40 1 settlement discussions, Mr. Boies will not, at 02.48:13 1 MR. SCAROLA: Why don't you start over again? 02:46:43 2 least at this time, describe what was actually 02:48:15 2 MR. SIMPSON: No. I just want "- 02:46:46 3 said. However, Mr. Boies does state that 0248:15 3 MS. McCAWLEY: We disagree with 02:46:50 4 Mr. Dershowitz's description of what was said is 02:4816 4 your characterization of that as a waiver. It 02:46:54 5 not true." 02:48:19 5 was a statement that was issued in order to stop 02:46:55 6 A. That's the one. 0248:22 6 the waivers that Mr. Dershowitz was trying to 02:46:55 7 Q. You read that? 02:48:22 7 engage in, and we -- we don't agree that's a 02:46:56 8 A. Yeah. I -- I learned of it -- yeah, I don't 02:48:25 8 waiver and we will not allow any testimony 02:46:58 9 remember whether I read or how I got it, but yeah, 02:48:27 9 regarding those communications. 02:47:00 10 that's the one. 02:48:28 10 MR. SIMPSON: Okay. I disagree with the 02:47:00 11 Q. In light of that statement by Mr. Boies, 02:48:31 11 position and the characterization, but I just 02:47:03 12 would you agree that any privilege has been waived? 02:48:33 12 wanted to clarify on the record, I didn't have to 02:47,06 13 A. i would not. 02:4815 13 ask those questions again. 02:47:06 14 Q. So -- 02:48:35 14 MR. SCAROLA: Sure. 02:47:07 15 A. That's -- that's a newspaper article. 0248:38 15 MS. McCAWLEY: I understand. 02.47:08 16 Q. Its a pub -- it's a quote. Let me clarify. 02:4838 16 MR. SIMPSON: And, obviously, our position is 0247:12 17 That's a statement -- quoting a statement issued by 02:48:39 17 that if it hadn't already been -- if it hadn't 0247:16 18 Ms. McCawley and quoting Mr. Boies as saying, 02:48:41 18 already been waived -- either it wasn't 02:47:20 19 Mr. Dershowitz's description of what was said is not 02:4043 19 privileged or hadn't been waived, its now 02:47:23 20 true, so that's a public statement by Mr. Boles saying 02:4847 20 waived. 02:4726 21 that Mr. Dershowitz's testimony is not true; is that a 02:4047 21 THE WITNESS: And my -- just '- 0247:29 22 waiver in your view? 0248750 22 MR. SIMPSON: I don't have a question. 02:47:30 23 A. No. And that would require -- I'm with -- 02:48:51 23 THE WITNESS: I know, but I -- but I think 02:47:32 24 I'm just putting you on notice, talking about notice, if 0248:52 24 now in light of, since the record has these 024715 25 you want me to, i could give you the law professor 02:48:53 25 characters, I just want to put one sentence into ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 281 283 02:47:39 1 answer as to why that's not a waiver. Off the top of my 02:48:57 1 the record, which is: It doesn't seem to me that 02:47:41 2 head, I can start talking about that. 0248:58 2 an attorney can inject into a deposition 0247:43 3 Q. No. I don't -- I don't need that. 02:45:01 3 confidential settlement proceedings, have 02:47:44 4 A. Right. That's why I just wanted to let you 02:49:03 4 somebody deny that, and then say, aha, they're no 0247:46 5 know, so... 02:49:05 5 longer confidential settlement proceedings, so 024746 6 Q. But I really wanted to clarify -- and what I 02:49:05 6 that's -- 0247:49 7 wanted to clarify was -- 02:49:08 7 MR. SIMPSON: There's no question pending. I 02:47:49 8 A. I do not -- let me just be clear, so the 02:49:10 8 move to strike the comments. 0247,51 9 record is clear: I absolutely do not believe that's a 02:49:12 9 THE WITNESS: Right. I just didn't want your 02:47:52 10 waiver and I could give you an extended answer, but I 02:4914 10 comments to -- to reflect back on my earlier 0247:55 11 know time is drawing short -- 0249:15 11 answer. 02:47:55 12 Q. All right. 02:49:15 12 BY MR. SIMPSON: 02:47:56 13 A. -- so... 024018 13 Q. I want to go back, Mr. Cassell, get back to 0247:56 14 Q. But you -- what I want to clarify is that, 02:49:2314 yesterday's exhibits. I'm going to hand you what was 02:48:00 15 notwithstanding that statement, you will continue to 02:49:26 15 marked yesterday as Cassell Exhibit Number 2, which is 02:48:02 16 answer all my questions about the substance of 02:49:30 16 the joinder motion, and when you have that in front of 0248:05 17 discussions with Mr. Boies; you're continuing not to 02:4916 17 you '- 02:48:08 18 answer, you're continuing -- 02:4916 18 A. Got it. 02:48:10 19 MS. McCAWLEY: Yes -- 02:4917 19 Q. Do you have that in front of you? 02:48,10 20 MR. SCAROLA: You just said you -- 02:49:38 20 A. I do. 02:48:10 21 MS. McCAWLEY: -- I believe -- 024919 21 Q. All right. Would you -- find my copy of 0248:11 22 MR. SCAROLA: -- continue to answer. 0249,4222 it -- if you would turn to page -- bottom of page 3, 02:48:11 23 MS. McCAWLEY: I'm sorry. 02:4050 23 part of -- top of page 4; do you have that? 024811 24 MR. SIMPSON: I'm sorry. 024052 24 A. Got it. 02:48,12 25 MS. McCAWLEY: Continue not to answer. 02:4053 25 Q. All right. I'm going to read it. Tell me if ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 33 of 46 sheets Page 280 to 283 of 335 10/20/2015 01:08:15 PM 284 286 02:49:55 1 I've read it correctly. 025221 1 speak words. They both have the same physical ability 02:49:56 2 A. Okay. 025224 2 to speak the English language, yes. 02:49:56 3 Q. "Epstein also sexually trafficked the 02:52:25 3 Q. And, in fact, before, at least three years 02:49:59 4 then-minor Jane Doe -- and that's Virginia Roberts, 02:52:31 4 before December 30th, 2014, she had the ability to be 0250:02 5 correct? 02:52:35 5 quoted in an article, more than one article, in the 02:50:02 6 A. Yes. 02:52:39 6 Daily Mail in London about her experiences, correct? 02:50:03 7 Q. -- "making her available for sex to 02:52:42 7 A. That's correct. 02:50:05 8 politically-connected and financially-powerful people. 02:5243 8 Q. And am I correct that as of December 30th, 02:50:09 9 Epstein's purposes in lending Jane Doe, along with other 02:52:48 9 2014, you didn't know whether she was paid for that 02:5014 10 young girls, to such powerful people were to ingratiate 02:52:50 10 interview or not? 02:5020 11 himself with them for business, personal, political, and 02:52:51 11 A. I wasn't sure. That's right. 02:50:24 12 financial gain, as well as to obtain potential blackmail 02:52:53 12 Q. And after December 30th, 2014, the references 02:50:29 13 information." 02:52:58 13 to Prince Andrew and Professor Dershowitz generated 02:50:30 14 Did I read that correctly? 02'53:04 14 international publicity; isn't that true? 02:50:31 15 A. You did. 02:53:07 15 A. Okay. Which -- yes, I mean, in a general 02:50:31 16 Q. What did you mean by "obtain potential 02:53:11 16 sense, I could ask which allegations, but these 02:50:35 17 blackmail information"? 02:53:13 17 allegations did generate publicity, certainly. 02:5026 18 A. Okay. Let me just double-check. 025315 18 Q. Yes. The allegations in your joinder motion 02:50:41 19 Once the criminal organization had put the 02:53:18 19 that Prince Andrew and Professor Dershowitz had abused 02:50:45 20 bait out, so to speak, to various people, and they took 02:53:24 20 Virginia Roberts, then known as Jane Doe Number 3, 0250:49 21 the bait that -- you know, I'm -- I'm speaking 025326 21 generated a firestorm of publicity; did it not? 0250:49 22 colloquially here. These are -- these are young girls 02:53:30 22 A. It generated a lot of publicity, yes. 02:50:54 23 who are being sexually abused. Once the criminal 0253:32 23 Q. And within days of that, you were -- you were 02:50:56 24 organization had gotten people to sexually abuse 02:53:35 24 participating in attempting to arrange an interview with 0250:58 25 these -- these young girls, at that point, they had 0253:38 25 ABC News; isn't that true? ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 285 287 02:51:01 I information that they could use to blackmail those 02:53:39 1 A. That -- within days of -- the chronology is 02:51:02 2 people and -- and then get favors in exchange. 02:53:43 2 important here: The allegations were filed in this 02:51:05 3 And that's Epstein at the head of the o2:53:45 3 pleading on December 30th. Several days after that, 0251:08 4 organization would be the one who would benefit most 02:53:48 4 Mr. Dershowitz then took to the airwaves to denounce, 0251:11 5 directly from the black -- the blackmail information. 02:5353 5 not only Brad and me, but -- but particularly of concern 02:51:12 6 Q. And by "blackmail information," do you mean 02:5256 6 to me was Virginia Roberts, this victim of sex D2:5117 7 that Mr. Epstein then had information that he could 02:5358 7 trafficking. 02:5119 8 threaten to disclose if the other person didn't do what 02:53:59 8 And, at that point, as one of -- as one of 02:5124 9 Epstein asked them to do? 0254:01 9 her attorneys, I was looking for a way to respond to 0251:24 10 A. Precisely. 02:54:05 10 that media assault on her by Mr. Dershowitz. 0251:26 11 Q. As of December 30th, 2014, if Miss Roberts 02:54,09 11 MR. SIMPSON: Move to strike as 02:51:32 12 had access to publicity, she had exactly the same 02:54:09 12 nonresponsive. 02:5135 13 ability to blackmail people; isn't that true? 02:54:09 13 BY MR. SIMPSON: 0251:38 14 A. Absolutely not. A billionaire has far more 02:5415 14 Q. Did -- within 24 hours of this pleading being 0251:43 15 resources than a victim of child sex abuse, particularly 02:54:22 15 filed, there was publicity about the allegations against 02:51746 16 one that has been forced into hiding in Australia to 02:54:27 16 Prince Andrew and Mr. Dershowitz -- Professor 02:51:49 17 escape the criminal organization. 02:54:31 17 Dershowitz; isn't that correct? 02:51,51 18 So for you to suggest that Virginia Roberts 02:54,32 18 A. I don't know the exact time frame, but 02:51,52 19 had the same ability to blackmail somebody as Jeffrey 02,54:34 19 that -- you know, roughly that time frame sounds about 02:5156 20 Epstein is, I think, preposterous. 02:5426 20 right. 025200 21 Q. As of -- Miss -- Miss Roberts had the same 02:54:36 21 Q. If Mr. -- if Professor Dershowitz had never 02:52:03 22 ability as Jeffrey Epstein to reveal publicly the names 0254:39 22 said anything, wouldn't you expect that these 02:52:12 23 of the people who she says sexually abused her, as did 02:54:42 23 allegations as to Prince Andrew, in particular, and 02:52:17 24 Mr. Epstein; isn't that true? 02:54:47 24 Professor Dershowitz would get substantial publicity? 0252:19 25 A. You're talking about physical ability to 02:54:50 25 A. There was -- there was -- ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:08:15 PM Page 284 to 287 of 335 34 of 46 sheets 288 290 02:54:51 I MR. SCAROLA: Excuse me. To the extent the 02:56:15 1 Prince Andrew had sexually abused Virginia Roberts, 0254:53 2 question calls for speculation, I object. 02:56:19 2 correct? 52:54:55 3 MR. SIMPSON: No. I'm asking for his state 02:56:19 3 A. That was one of the allegations in here, 5254:57 4 of mind when he filed this document. 02:56:21 4 sure. 02:54:59 5 THE WITNESS: There's no doubt that -- 02:56:21 5 Q. And the allegations that Professor Dershowitz 02:54:59 6 MR. SCAROLA: So the question is: At the 02:56:25 6 had sexually abused Virginia Roberts, correct? 0255:01 7 time of the filing -- 0256:31 7 A. That's right. It was in a -- what we were -- 02:55:02 8 MR. SIMPSON: Please -- please don't coach 0256:32 8 what we were starting to document and allege here was 02:55:03 9 the witness. 02:56:35 9 that terrible things that Epstein's criminal 02:55:03 10 MR. SCAROLA: No, I'm not coaching him. I 02:56:39 10 organization had done. 02:55:05 11 just want to understand the question. You're 0215639 11 Q. Let me refer you to page 6 -- 0255:06 12 asking what his state of mind was at the time of 02:56:42 12 A. Okay. 02:55:09 13 filing? 02:56:42 13 Q. -- of your filing. It's the first full 02:55:09 14 MR. SIMPSON: Did he -- did he anticipate -- 02:56:48 14 paragraph. 02:55:09 15 MR. SCAROLA: Because the other question was: 02:5648 15 A. Yep. 02:55:11 16 What do you -- what's your position today. 02:56:49 16 Q. I'm going to read it. "Epstein also 02:55:13 17 MR. SIMPSON: Mr. Scarola, really. 02:56,51 17 trafficked Jane Doe Number 3 for sexual purposes to many 02:55:14 18 MR. SCAROLA: That's -- that's a different 02;56:56 18 other powerful men." 02:55:15 19 question. So I just want to know which one 02:56:57 19 A. Okay. 02:55:17 20 you're asking. 0256:57 20 Q. "Including numerous prominent American 02:55:18 21 Do you want to know his state of mind then, 02:57:00 21 politicians, powerful business executives, foreign 02:55:21 22 or his state of mind today? 02:57:05 22 presidents, a well-known prime minister, and other world 02:55:23 23 MR. SIMPSON: I will take that as an 02:57:10 23 leaders. Jane -- Epstein required Jane Doe Number 3 to 02:55:25 24 objection to the form of the question. 0257:15 24 describe the events that she had with these men so that 02:55:25 25 02:5718 25 he could potentially blackmail them." ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 289 291 02:5525 1 BY MR. SIMPSON: 02:57:20 1 Did I read that correctly? 02:5527 2 Q. As of -- 02:57:21 2 A. You did. 02:55:27 3 MR. SCAROLA: It's a request for a 02;57:22 3 Q. With respect to blackmail, the ability to 025528 4 clarification of an ambiguous question. 02:57:28 4 blackmail, is that the same potential we talked about a 02:55:33 5 MR. SIMPSON: It's coaching the witness. 02:57:30 5 moment ago in your testimony? 02:55:33 6 BY MR. SIMPSON: 02:57:32 6 A. Sure. 0255:34 7 Q. As of -- 02:57:32 7 Q. And you're referring there to -- 025634 8 A. Yeah, I don't need any coaching. I mean... 02:57:34 8 A. Roughly, yeah. I mean, if there's something 02155:35 9 Q. Let me ask the question. 02:57:35 9 that you want clarified, go ahead and clarify it. 0255:36 10 As of December 30th -- that's true -- as 025737 10 Q. I just -- I just wanted to make sure I 02:55:39 11 of -- 02:57:39 11 understand correctly that when you refer that -- to 02:55:39 12 A. Right -- 02:57:42 12 Epstein requiring Virginia Roberts to describe these 02:55:39 13 Q. -- we agree that's coaching. 0257:44 13 events so that he could potentially blackmail them, what 02:55:39 14 A. -- but that wasn't coaching. That wasn't 025748 14 you had in mind was, Epstein wanted to know what 02:55:41 15 coaching, so the suggestion that it's coaching is -- is 0257:52 15 Virginia Roberts did with these men so that he had the 02:55:43 16 not fair. 02:57:55 16 ability to threaten to disclose it if they didn't do 02:55:43 17 Q. Okay. We disagree. 0257:58 17 what he wanted them to do? 02:55:46 18 As of December 30th, 2014, did you anticipate 02:57:59 18 A. That was -- that was part of it, yes. 0255:52 19 that naming Prince Andrew in a public filing as having 02:5601 19 Q. And isn't it true you could have 02:55:58 20 abused Virginia Roberts would generate substantial 02:5804 20 accomplished -- in terms of furthering Virginia 02:56:02 21 publicity? 02:58:07 21 Roberts's legal interests, you could have accomplished 02:5603 22 A. "Substantial" is a debatable word, but 02:58:10 22 exactly the same thing by saying Epstein also 02:56:06 23 certainly, it's going to generate publicity, yes. 02:5814 23 trafficked -- trafficked Jane Doe Number 3 for sexual 02:56:10 24 Publicity about the allegations. 02:5818 24 purposes to other well-known men, period? 02:5612 25 Q. Yes. And -- and the allegations are that 0258:24 25 A. No, I don't think so. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 35 of 46 sheets Page 288 to 291 of 335 10/20/2015 01:08:15 PM 292 294 0268:26 1 Q. Okay. You felt that it furthered her legal 0104:31 1 break. I appreciate that. 02:58:30 2 interests to specify American politicians, powerful 03:04:32 2 Q. Okay. 02:58:34 3 business executives, foreign presidents, a well-known 03:04:32 3 MR. SCAROLA: Could you just read back the 02:58:38 4 prime minister and other world leaders; that was your -- 0104:34 4 last question for me? I just want to orient 0268:42 5 you -- you believe that furthered her legal interest? 03:04:37 5 myself as to where we are. Thank you. 02:58:43 6 A. Yes. 0104:37 6 (Thereupon, a portion of the record was read 0258:43 7 Q. Did you also anticipate that that would 03:05:33 7 by the reporter.) 02:58:47 8 titillate the Press, so to speak, that there would be a 0305:33 8 MR. SCAROLA: Yeah, I didn't I think the 02:58:49 9 lot of speculation on who these people are? 03:05:34 9 answer was -- 02:58:52 10 A. That wasn't the -- that wasn't the focus 03:05:34 10 THE WITNESS: I guess I was mid-sentence, so 02:58:54 11 of the -- those comments, no. 03:05:36 11 think I will just stick with the same word, 0268,55 12 Q. You said it wasn't the focus. Did you 03:05:38 12 preposterous. And one -- one thing that occurred 02:58:57 13 realize it would happen? 03:0639 13 to me during the break, in the context of this 02,5868 14 A. Sure. I mean, this was a case that had 03:05:42 14 case, is that there had been allegations that 026962 15 been already -- this litigation had been going on at 03:05:44 15 Epstein was part of the -- the sex trafficking 02,59:02 16 that point for seven years and lots of people were 0105:47 16 organization, had video cameras mounted 02;59:04 17 following it. This is -- this case is one of the most 01064917 throughout many of his -- his mansions. And so, 02,5967 18 egregious examples of a violation of Crime Victims' 03,05:52 18 whereas a young woman could say, or a young girl 02:59:11 19 Rights in the history of this country. 03:05:55 19 could say, look, I was a victim of sex abuse, 02:59:13 20 And so against that context, yes, there were 03:05:58 20 people would attack her; people wouldn't believe 02:59:14 21 going to be people interested in every word that was 03:06:00 21 her, that unless she had, you know, corroborating 02:59:16 22 going into this pleading. Whether we had gone more 03:06:02 22 evidence, people would say, well, look, it didn't 0269:19 23 broadly or more narrowly than what we did, people were 03:0665 23 happen. 0269:23 24 going to be interested in this. 03,06:05 24 And so Epstein had managed to collect 02:59:23 25 Q. And as of December 30th of 2014, Miss Roberts 0106:08 25 apparently a lot of videotapes and other kinds of ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 293 295 02:59:31 1 had the same ability to disclose who these individuals 0306:11 1 information that would have been -- given him the 02:59i34 2 were publicly, as did Jeffrey Epstein, correct, because 0106:14 2 ability to make the blackmail kinds of charges 02:5918 3 she had personal knowledge of who they were? 03,06:15 3 that the girls that he was trafficking would -- 02.59:40 4 A. She had the ability to speak the words, but, 03:06:18 4 would not have had the ability to do. 02:5642 5 again, I think its preposterous to say that a victim of 03:06:18 5 BY MR. SIMPSON: 02:59:45 6 sex trafficking has the same power as the sex trafficker 036620 6 Q. Mr. Cassell, didn't you testify yesterday 025948 7 to disclose information. 0106:22 7 that any videotapes from Mr. Epstein's house had been 02:59:51 8 For example, Virginia Roberts could be 03:0627 8 destroyed? 02:5962 9 attacked, and I think as we were talking about 0106:28 9 A. I -- when I used the word "destroyed," I 02:59:54 10 yesterday, we have seen evidence of the kind of attack 03:06:30 10 probably should have been more precise. They had been 0259,57 11 that powerful people can mount against the victims of 03:06:32 11 concealed from law enforcement, is what I meant. That 03:00:01 12 sex trafficking. So to say that the young women in sex 0106:35 12 when Palm Beach Police Department went up to the Epstein 03:00:04 13 trafficking schemes have the same power as their 0106:37 13 mansion, they found surveillance cameras and other 03:00:07 14 traffickers to do this -- I'm sorry. I'm going to have 0106,41 14 cameras. I can't remember exactly where the cameras 03:00:11 15 to take a break. 03:06:44 15 were, but they found surveillance cameras, and when they 03:00:12 16 THE VIDEOGRAPHER: We are going off the video 0366,46 16 looked for the tapes associated with those cameras, I 03:00:14 17 record, 11:32 a.m. 03:06:50 17 used the word "destroyed"; and as I say, I probably 03:04:14 18 (Thereupon, a recess was taken.) 03:06:50 18 should have said they were missing. And so they were 03:04:14 19 THE VIDEOGRAPHER: We are back on the video 03:06:52 19 never able to locate those -- those missing videotapes. 03:0420 20 record, 11:36 a.m. 03:06:55 20 Q. So as of December 30th of 2014, to your 03:0424 21 BY MR. SIMPSON: 03;07,01 21 knowledge, there were no videotapes available? 010427 22 Q. Had you finished your answer, Mr. Cassell? 03:07:03 22 A. There were no videotapes available to law 03:0428 23 A. I think I had. 03:07:06 23 enforcement or to Brad and his pro bono crime victim 0364,28 24 Q. Okay. 03:07:09 24 attorneys to help document our case. We were trying to 03:04,29 25 A. Thank you. Thank you for letting me take a ESQUIRE DEPOSITION SOLUTIONS 03:07:12 25 get those and we are continuing to try to get those, ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:08:15 PM Page 292 to 295 of 335 36 of 46 sheets 296 298 03:07:13 1 but, obviously, Epstein and his criminal associates have 0109:34 1 intended to be a direct quote? 03:07:18 2 had the ability to -- to destroy the evidence that's 03:09:36 2 MR. SIMPSON: Back up. 03:07:21 3 been -- that we have been trying to gather. 03:0937 3 BY MR. SIMPSON: 0307:23 4 Q. And in -- in your answer a couple of 03:09:39 4 Q. What is your understanding of Judge Marra's 03:07:26 5 questions -- 03:09:41 5 ruling with respect to these allegations about Professor 030727 6 A. I -- I'm sorry. I shouldn't say "destroyed." 03:09:45 6 Dershowitz and Prince Andrew? 03:07:28 7 They have been able to conceal would probably be a more 03:09A6 7 A. That they were premature. 03:07:30 8 accurate term, the -- the evidence that we are trying to 03:09:48 8 Q. That's your understanding of his order? 03:07:33 9 gather. 03:09:50 9 A. Yes. 03:07:33 10 Q. In my answer -- in my answer -- 03:09:50 10 Q. Okay. 03:07:33 11 A. Yeah. 03:09:54 11 A. And I -- maybe I should -- I see some 0107:36 12 Q. -- in the question and answer, your answer to 03:0958 12 skepticism there, so let me explain why I think those 03:07:38 13 my question a couple of questions ago, you talked about 03:10:00 13 allegations - 0107:42 14 whether Mr. Epstein and Virginia Roberts would have the 03:10:01 14 Q. Yeah. Well, we can pull -- 03:07:46 15 same or equal ability to disclose -- 03:10:01 15 A. -- are appropriate. 03'07:49 16 A. Right. 03:10:01 16 Q. -- we will pull out the order itself -- 03,07:49 17 Q. -- what these prominent politicians, 03:10:01 17 A. Sure. 03:07:53 18 et cetera, had done, correct? 03:10:05 18 Q. -- at the appropriate time, but first, your 03:07:54 19 A. Correct. 03:10:05 19 understanding is that the judge didn't find that those 03:0755 20 Q. Without attempting to make any comparison, 03:10:09 20 allegations, at the time they were made, were so 03:07:50 21 you would agree, would you not, that as of December 03:10:13 21 irrelevant to the case, that they should be stricken 03:08:01 22 30th, 2014, Miss Roberts had the ability to name the 03:10:15 22 from the public record? 0308:07 23 names of the people who are referenced in this document? 031017 23 A. In that pleading at that time, remember, we 03:08:10 24 A. Physical ability, yes. 03:10:20 24 had in our -- our brief -- let me explain the — the 03:0811 25 Q. And -- well, let me ask this: You say a 03:10:24 25 nine reasons why we thought that those allegations were ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 297 299 03:08:17 1 well-known prime minister. Is that Prime Minister 03:10:27 1 relevant to the case, since I think your question calls 53:08:22 2 Barak? 03:10:28 2 for that. 03:08:22 3 MS. McCAWLEY: I'm gonna instruct you not to 0319:29 3 Q. Are those the nine reasons you gave 03:08:25 4 reveal any attorney/client communications you had 03:10:31 4 yesterday? 03:08:26 5 with Virginia Roberts on the specifics of her 03:10:31 5 A. No, I didn't have a chance to. 03:08:29 6 counsel to you about these individuals. 0310:32 6 Q. Are they the nine reasons that are set forth 03:08:31 7 BY MR. SIMPSON: 03:10:34 7 in your -- in your brief? 03:08:32 8 Q. Is one of the other -- one of the powerful 03:10:35 8 A. They are. Those are the nine reasons that 03,08:34 9 business executives, Les Wexner? 03:10:37 9 are set forth in the brief. 03:0817 10 MS. McCAWLEY: Again, same instruction. 03:10:38 10 Q. Okay. And -- and Judge Marra had that brief 03:08:40 11 BY MR. SIMPSON: 03:10:41 11 in front of him when he held that, these allegations 03:08:41 12 Q. Okay. Now, you mentioned yesterday -- well, 03:10:45 12 were so not relevant to the issues before the court, 03:0640 13 a moment ago, you testified that these -- in your view, 03:10:48 13 that they would be stricken and not part of the public 03:08:51 14 these allegations about other powerful men furthered 03:10:52 14 record? 03:08:58 15 Miss Roberts' legal position in the case, correct? 0310:52 15 A. At that time, in that particular pleading -- 03119:02 16 A. Yes. 03:10:55 16 I think you're mischaracterizing Judge Marra's ruling in 0309:02 17 Q. And it's also your position, I assume, that 03:1100 17 its entirety. He specifically said that the allegations 030910 18 the allegations regarding Professor Dershowitz and 03:11:01 18 could be reasserted, if they were relevant to issues 03:09:14 19 Prince Andrew furthered Miss Roberts' legal position; is 03:11:04 19 that are -- that were coming up. And so, in following 03:09:21 20 that right? 0371107 20 that ruling, we went to the U.S. Attorney's Office, 030921 21 A. Absolutely. 03:11:10 21 propounded discovery requests and said, look, we believe 03:09:21 22 Q. Does the fact that Judge Marra struck those 03:11:13 22 you're sitting on information that Dershowitz was, you 03:0924 23 allegations as impertinent, scandalous, and completely 0111:16 23 know, connected with the -- with the criminal 03:09:30 24 irrelevant to the case, cause you to reassess? 03:1117 24 trafficking here; we would like you to produce those 03:09:32 25 MR. SCAROLA: Excuse me. Is that -- is that 0111,19 25 documents. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 37 of 46 sheets Page 296 to 299 of 335 10/20/2015 01:08:15 PM 300 302 03:11:20 1 And rather than say, hey, we don't have any 011141 1 the United States Attorney for the Southern District of 0311:22 2 such documents, the U.S. Attorney's Office gave us the 0113:45 2 Florida to represent victims, correct? 03:11:26 3 response indicating, to our view, that there were such 011148 3 A. Yes. Through the -- through the NPA, yeah, D3:11:27 4 documents, and as you know, since you're one of 03:1151 4 there was an apparatus that led to his selection. 03:11:29 5 Mr. Dershowitz's attorneys, we have drafted a pleading 0313:54 5 Q. And does that answer reflect holding the U.S. 03:11:32 6 now to try and collect that information, that law 03:14:01 6 Attorney for the Southern District of Florida in that 0111:36 7 enforce -- federal law enforcement agencies have 031403 7 office in high regard? 031 1:39 8 collected, and -- and to figure out the appropriate way 0114:04 8 A. Sure. 0111:42 9 to litigate that so that we can get that information and 0314:05 9 Q. Do you contend that at the time the United 031 1:44 10 move forward with the case. 0314:11 10 States Attorney for the Southern District of Florida 0111:46 11 That's just one example of -- of how the 031414 11 negotiated the NPA, they knew that Professor Dershowitz, 03:11:49 12 allegations, if they were premature at that point, are 03:1420 12 himself, had been involved in abuse of minors? 03:11:53 13 no longer going to be premature as the case moves along. 03:14:25 13 A. I don't know exactly what information they 03:11:57 14 Q. Is it or is it not your understanding that 03:14:27 14 had. I do know that we have been propounding discovery 0112:01 15 Judge Marra ruled that the allegations in this pleading 03:14:30 15 requests on all of these subjects, including 03:12:08 16 in front of you were so irrelevant to the pleading in 03:14:32 16 Professor Dershowitz's involvement, when the U.S. 0312:14 17 which they were stated, that they should be stricken 03:14:35 17 Attorney knew. They are asserting privilege over that. 011217 18 from the public record? 03:14:37 18 I would wish they would waive the privilege or at least 03:12:18 19 A. In that particular pleading at that 031439 19 provide the information to pro bono crime victims' 03:1220 20 particular time, that's right. 03:14:43 20 attorneys that they have, so we can get to the bottom of 03:12:21 21 Q. Does that cause you to reassess, in any way, 03:14:45 21 this. 03:12:24 22 having filed this document? 03:14:45 22 But there have been, you know, a nonstop 03:12:25 23 A. Well, I think certainly as a tactical matter, 03:14:47 23 series of assertions of privilege and other barriers 0112:28 24 we should have reserved the -- the allegations for -- 0314:49 24 interposed against us in this case, and I think 03:1231 25 for another motion. I -- I think that's -- you know, ESQUIRE DEPOSITION SOLUTIONS 031453 25 inappropriately so, and -- and we have been arguing that ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 301 303 03:12:34 1 certainly, with the -- you're -- now, we are now sort of 03:14:55 1 now for a number of years. 03:12:38 2 speculating, would we have done something different if 0314:56 2 Q. Would you agree with me that if the United 03:12:39 3 we knew that? And the answer to that is, sure, we would 03:15:00 3 States Attorney's Office had been aware that Professor 031241 4 have tried to do something that Judge Marra thought was 03:15:04 4 Dershowitz had engaged in sexual misconduct with minors, 0312:44 5 the appropriate way to handle it, so... 03:15:07 5 or himself had observed Mr. Epstein do so, that it would 03:12:46 6 Q. And Judge Marra also reminded counsel of 03:1512 6 have been improper and unethical for them to let Mr. -- 0312:49 7 their Rule 11 obligations; didn't he? 03:15:17 7 Professor Dershowitz negotiate the terms of the NPA with 0312:51 8 A. That's right. Yeah. 03:1519 8 them? 011252 9 Q. And did it cause you to question, not 031519 9 A. If they had direct personal knowledge of 03;12:57 10 tactics, but whether you were acting properly in filing 03:1521 10 that, sure. I mean, the -- the -- but the realities are 03:13:00 11 this? 03:1123 11 a little bit more complicated in that Professor 03:13:00 12 MR. SCAROLA: Excuse me. I -- 03:1126 12 Dershowitz, over the last couple of days as 03:13:02 13 MR. SIMPSON: I'm just asking if it caused 0315:27 13 frequently -- has frequently used the word "continuum," 03:13:03 14 him to reassess. 03:15:29 14 and so if they were certain of that, it absolutely would 03:13:04 15 MR. SCAROLA: I understand what you're 031131 15 have -- would have been unethical. 03:13:05 16 asking, and you're asking him about his mental 011533 16 The question is: Well, what if they had a 03:13:07 17 processes in connection with pending litigation. 03:1135 17 suspicion or what if -- you know, a reasonable suspicion 03:1112 18 That's work product. I instruct you not to 0315:36 18 or a possible suspicion. Those are the kinds of 031113 19 answer that question. 0115:39 19 dimensions that you've got to, you know, take into 031314 20 BY MR. SIMPSON: 011142 20 account in the real world about, you know, what they .- 0113:15 21 Q. All right. You testified yesterday that one 03:15,44 21 what they would have done. 03:13:19 22 reason that you found the filing of the complaint on 03:15:50 22 I mean, it seems pretty clear, for example, 0313:27 23 behalf of Jane Doe 102, who is Virginia Roberts, by 031152 23 that at some point, you know, later on, they got a black 03:13:34 24 the -- Bob )osefsberg and -- and why that was 03:15,55 24 book in which Professor Dershowitz's name had been 03:13:37 25 significant was that Bob )osefsberg had been selected by 03:15:58 25 circled. Now, what they did with that information, I -- ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:08:15 PM Page 300 to 303 of 335 38 of 46 sheets 304 306 03:18:00 1 I don't know. 0317:59 1 certainly believe i have a good-faith basis, along with 0316:00 2 Q. And what they did with the fact that Courtney 03:18:02 2 my co-counsel, to explore that subject, and try to see 0316:04 3 Love and Donald Trump were circled, you don't know also, 03:18:04 3 how someone who is fifth in line to the British Throne 031006 4 correct? 03:18:07 4 might have been able to use the contacts and power that 03:16:06 5 A. That's right. Fair point. 03:1809 5 he has to influence a -- a -- a disposition in this -- 0116:07 6 Q. But somehow it's suspicious as to 03:18:15 6 in the Crime Victims' Rights Act case that it would have 03:16:10 7 Mr. Dershowitz, but not as to anyone else? 03:1019 7 been favorable to one of his friends and potentially 03:16:12 8 MR. SCAROLA: Objection. Argumentative. 03:18:23 8 favorable to himself. 03:16:12 9 THE WITNESS: And I'm -- I'm glad to argue on 03:18:23 9 Q. And -- and you have that view, 03:16:14 10 that point, let me, because they -- 03:18:25 10 notwithstanding that the government had represented they 03:16:14 11 MR. SIMPSON: I'll withdraw the question. 03:18:27 11 have no record of that? 03:16:15 12 THE WITNESS: All right. Because I would 03:18:30 12 A. They didn't -- no, no, no, no. Let's not "... 011616 13 have a -- 03:18:31 13 not -- let's not slip and try to get me to admit 03:16:16 14 MR. SIMPSON: Let -- 031634 14 something that is not what the record reflects. The 0316:17 15 THE WITNESS: -- a substantial argument on 03:18:36 15 government said they did not have documents. They did 03:16:18 16 that. 03:18:38 16 not say that they didn't have any information along 03:1610 17 MR. SIMPSON: I -- I will withdraw the 03:18:40 17 those lines. 03:16:20 18 question. 031041 18 To the contrary: They asserted a whole 03:16:20 19 BY MR. SIMPSON: 03:18:43 19 series of privileges every time we tried to get 031028 20 Q. With respect, again, to the -- 0318:47 20 information along these lines. So the fact that they 031610 21 MR. SCAROLA: And I'll withdraw the 03:18:49 21 didn't have a letter, signed Prince Andrew, saying, 03:1632 22 objection. 03:18:51 22 please do the best you can for this convicted sex 031632 23 MR. SIMPSON: Thank you. 03:18:54 23 offender is one thing. That's the request for 03:16:33 24 BY MR. SIMPSON: 03:1856 24 production of documents. 031616 25 Q. At the time that you filed this joinder 0118:57 25 But they never said that they -- they -- that ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 305 307 03:16:40 1 motion, Exhibit 2, you knew that the United States 031900 1 something along these lines had never happened and, to 03:16:44 2 Attorney's Office had denied having any contact -- any 0119:03 2 the contrary, we were faced with assertions of privilege 03:16:48 3 documents reflecting any contact with Prince Andrew; 03:19:07 3 over roughly, if i remember correctly, about 10,000 0316:51 4 isn't that true? 0319:08 4 pages of documents where a whole host of privileges were 03:1601 5 A. They had -- there were -- there were various 03:19:11 5 being asserted. 03:16:56 6 discovery requests that had been propounded, and I think 031912 6 Q. Do you think it's credible that the United 03:1669 7 with regard to one, they had denied, and my recollection 03,19:16 7 States Attorney's Office would be discussing an NPA with 03:17:01 8 is with regard to another, where there had been an 0319:20 8 a member of the British Royal Family? 03:17:04 9 assertion of privilege. 0319:22 9 A. Not directly, but there certainly are 03:17:07 10 Q. Is it not true, that before December 30th, 03:19:24 10 possibilities of surrogates. I -- my -- somebody who is 03:17:09 11 2014, in response to a request asking the government: 0119:27 11 that powerful certainly wouldn't go out at it directly. 03:1715 12 Are there any documents reflecting contact with -- by 03:1929 12 What they would probably do is try to find the best 03:17:20 13 Prince Andrew regarding the NPA, the government 03:19:32 13 lawyers they could around the United States and -- and, 03:1724 14 represented, there were none? 03:19:33 14 you know, and some of the, you know, big-named lawyers 03:17:26 15 A. That -- with regard to the -- you're talking 03:1036 15 and try to bring them in there to -- to work a deal. 03:17:30 16 about RFPs, request for production of documents, I 0319:38 16 That's, I think, how, you know, we're -- you're 0317:32 17 believe that's -- I believe that's correct. 03:19:42 17 asking -- your question is asking for speculation and 03:17:33 18 Q. And on December 30th, 2014, knowing that, you 0119:42 18 I'm saying that -- that based on, how would you 0317:38 19 named Prince Andrew in this motion, correct? 0319:46 19 influence a deal in an American criminal justice system? 03:1740 20 A. Correct. 03:19:49 20 You go try to get the best defense lawyers you could and 0317:41 21 Q. And is it your testimony that you believe 03:19:52 21 see -- you know -- you know, figure out which political 0117:4622 that Prince Andrew somehow attempted to influence the 0119:54 22 party was in power; and try to get people who are 011762 23 negotiations of an NPA in the United States as to 03:19,58 23 well-connected to that political party, things like 0317:56 24 Mr. Epstein? 0319:58 24 that. 03:17:57 25 A. I don't have direct evidence of that, but I 03:19,59 25 So that's the way that I think somebody might ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 39 of 46 sheets Page 304 to 307 of 335 10/20/2015 01:08:15 PM 308 310 03:20:01 1 have gone about trying to -- to put pressure for a -- a 03:2217 1 know -- I can't recall sitting here today whether 0320:04 2 favorable plea deal. 03:22:20 2 Nightline, is that an ABC program or NBC or -- or some 03:20:06 3 Q. And that's what you just referred to as 012235 3 other network. 0320,08 4 speculation, correct? 032225 4 Q. If you look at the exhibit, the e-mail in the 03:20:09 5 A. Well, your question said: Well, how would 012239 5 second -- the bottom half of the first page, it has her 03:20:10 6 they go do this? And I -- I -- I gave you my answer as 0322:42 6 e-mail address. Does that -- @abc.com? 03:20:14 7 to how I think somebody could well do that, yes. 03:22:45 7 A. Yeah, yeah, yeah. That's good. Thank you. 03:20:16 8 Q. And -- and your pleading doesn't allege how 03:22:48 8 Q. So ABC. So in this e-mail on January 4th of 03:20:22 9 someone would do it; it alleges that they did it; isn't 03:22:51 9 2015, you told Miss Jesko of CBS News [sic] that -- 03:20:26 10 that correct? 0322:59 10 MS. McCAWLEY: ABC. I'm sorry. You said 03:20:27 11 A. Did what? 03:22:59 11 CBS. 012027 12 Q. Let me -- let me rephrase it. 0322:59 12 MR. SIMPSON: I'm sorry. 03:20:29 13 A. No. I -- I -- the -- 03:2259 13 THE WITNESS: There you go. 0320,30 14 Q. I -- I withdraw the question. 032100 14 MS. McCAWLEY: Now, we are really confused. 03:20:30 15 A. Yeah. 0123:00 15 MR. SIMPSON: I'm sorry. Let me start again, 0120:36 16 Q. We only have about ten minutes here. There 03:23:04 16 and thank you. 03:20:38 17 are a couple of things that I -- 03210517 MS. McCAWLEY: Sure. 03:20:38 18 A. Sure. Absolutely. 03:23:06 18 BY MR. SIMPSON: 03:20:41 19 Q. -- wanted to get before we -- we will come 03:23:06 19 Q. In this e-mail on January 4th, 2015, you told 0320:41 20 back to these when we resume. We have a lot more 03:23:10 20 Miss Jesko of ABC News, quote: I represent, along with 03:20:43 21 questions. 03:23:15 21 Brad Edwards in Florida, the young woman who was 03:20:44 22 A. Great. I look forward to it. 012118 22 sexually abused by Prince Andrew and Alan Dershowitz, 03:20:46 23 MR. SIMPSON: I'm going to ask the reporter 03:23:22 23 period, close quote. Have I quoted that correctly? 03:20:48 24 to mark as Exhibit -- what are we up to -- 6, 03:23:25 24 A. You have. 03,20:55 25 Exhibit 6, a document bearing Bates stamp numbers 03:23:25 25 Q. So is it fair to say that in this e-mail, you ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 309 311 03:21:01 1 BE-510 through -514. 03:23:28 1 have told ABC News that Mr. -- Professor Dershowitz, in 03:21:01 2 (Cassell's I.D. Exhibit No. 6 - series of 0323:33 2 fact, had abused Virginia Roberts? 0121,01 3 e-mails, Bates numbered BE-510 - -514 was marked for 03:23:37 3 A. No. I think it says that I'm the lawyer who 03:21:18 4 identification.) 03:23:39 4 is representing someone who has -- has made those 03:21:18 5 BY MR. SIMPSON: 0323:42 5 allegations. 03:21:19 6 Q. I will give that to the witness. And to 03:23:42 6 Q. That's how you read this e-mail? 03:21:30 7 identify the document further, its a series of e-mails, 032144 7 A. Yes. 0121:36 8 the most -- the latest one in date being at the top, 03:2345 8 Q. In the e-mail you identified Miss Roberts as: 03:21:40 9 which appears to be an e-mail from Paul Cassell to 03:23:49 9 "The young woman who was sexually abused by 0321:44 10 Jacqueline S. Jesko on Sunday, January 4th, 2015 at 03:2353 10 Prince Andrew and Alan Dershowitz." 03:21:49 11 12:48 p.m. 0323:55 11 That doesn't read to you as a statement that 03:21:51 12 A. Right. 03:24:00 12 she was abused? 03:21:51 13 Q. My first question is whether you, in fact, 03:24:01 13 A. In context, I think it was understood that I 03:21:57 14 sent this e-mail that -- that this -- had this exchange 03:24:03 14 was the attorney representing her with that claim. 03:22:02 15 of e-mails with Miss Jesco? 03:24:14 15 MR. DERSHOWITZ: Move on. 03:22:04 16 A. Yes. 0324:14 16 BY MR. SIMPSON: 03:22:04 17 Q. And Miss Jesko -- who is Miss Jesko? 012414 17 Q. Who -- 0322:08 18 A. She works for -- which -- which -- oh, 03:24:15 18 THE WITNESS: I'm sorry. What was that? 03:22:13 19 Nightline. She works for Nightline, yes. 03:24,15 19 Who -- who was that? 032215 20 Q. So she's with ABC News? 032416 20 MR. SIMPSON: Who is speaking? 03:22:17 21 A. I believe that's right, yes. 0324:18 21 THE WITNESS: I heard somebody say "move on" 0322:19 22 Q. And -- 0324:20 22 or something. Could somebody identify 03:22:19 23 A. I mean, I -- I can't remember. The network 03:24:23 23 themselves, please? Did I -- 01222224 wasn't significant to me, but she's with the Nightline 03:24126 24 MR. SIMPSON: In any event, I -- I will move 032225 25 program. I knew that was a major program. I don't 03:2427 25 on. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:08:15 PM Page 308 to 311 of 335 40 of 46 sheets 312 314 03:24:27 1 THE WITNESS: Well -- well, who -- I'm sorry. 012662 1 MR. SIMPSON: Okay. I -- 03:24:30 2 Who was that? The speaker? I want to know who 03:26:02 2 THE COURT REPORTER: I cant hear. 0324:32 3 is on the line here. Could somebody identify 03:26:02 3 MR. SIMPSON: I heard it and I'll -- I'll 0324,34 4 themselves, please? 0326:03 4 repeat it. 03:24:36 5 If somebody is eavesdropping in my 012663 5 MR. SCAROLA: "It was me who said it." 0324,37 6 deposition, I would like to know who it is. 0326:05 6 MR. SIMPSON: "And I thought my mute 03:24:40 7 MR. SIMPSON: No one has the call-in number 032666 7 button" -- 0124:42 8 other than counsel and parties. 03:26:06 8 MR. SCAROLA: "I thought my" -- 03:24:44 9 THE WITNESS: So -- 0326:06 9 MR. SIMPSON: -- "was on." 03:24:45 10 MR. SIMPSON: To my knowledge. 03:26:06 10 MR. SCAROLA: -- "mute button was on." 03:24:46 11 MR. SCAROLA: Yeah, but that -- 03:2666 11 And that was Mr. Dershowitz making that 0324:46 12 THE WITNESS: But who is that person? 03:2669 12 comment? 03:24:47 13 MR. SCAROLA: -- that doesn't preclude 0126:09 13 MR. SIMPSON: Yes, it was. 03:24:48 14 someone from sharing that call-in number. And 032612 14 MR. SCAROLA: Okay. Thank you. 03:24:50 15 it is appropriate that anybody on the line 0126:12 15 MR. DERSHOWITZ: I was trying to instruct my 03:24:52 16 identify themselves. 03:26:14 16 attorney. 0324:58 17 And if the people on the line refuse to 03:2614 17 MR. SCAROLA: Then we are ready to move on. 03:25:01 18 identify themselves, then it's our intention to 032614 18 BY MR. SIMPSON: 03:25:04 19 cut off the line, and the people who are 0326:18 19 Q. Have you told any -- all right. 03:2607 20 authorized to be on the line can call back in. 03:26:25 20 Putting aside counsel who are working with 03:25:10 21 MR. SCOTT: I agree with that. 03:26:28 21 you, and putting aside those who you identified as being 03:25:12 22 MR. SIMPSON: Could -- could the people on 012622 22 within the common-interest privilege -- 03:2612 23 the line identify themselves? 03:26:34 23 A. Right. 03:25:17 24 MR. SCAROLA: Okay -- 03:26:34 24 Q. -- so not those people -- 012617 25 MR. DERSHOWITZ: Alan Dershowitz. 012624 25 A. Right. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 313 315 03:2617 1 MR. SCAROLA: -- cut it off. 032136 1 Q. -- have you told anyone that Professor 032617 2 MS. McCAWLEY: He just -- he just -- 03:26:45 2 Dershowitz abused Virginia Roberts or any other minor? 03:25:17 3 THE WITNESS: So he -- 03:2651 3 A. No. I've -- what I have tried to say is that 03:25:20 4 MR. SIMPSON: Alan Dershowitz. Anyone else? 0126:53 4 I'm representing a young woman who has made those 03:25:24 5 MR. SCAROLA: So the only person on the line 012055 5 allegations. As an attorney, I'm proud to represent 03:2627 6 is Alan Dershowitz, and it was Mr. Dershowitz who 03:26:58 6 her, proud to present her case in court, proud to 0125:29 7 made the comment "move on"; is that correct? 0127:02 7 present arguments to whoever will listen that she's been 0125:32 8 MR. SIMPSON: Well, he's the only one on the 0327:06 8 sexually abused by various people. 03:25:34 9 line. I know -- I've only got three minutes left 03:27:07 9 Q. Okay. And you have spoken with 03:25:37 10 here. 0327:09 10 representatives of the News Media on the record and off 03:25:37 11 MR. SCAROLA: Well, I'll give you three more 03:27:15 11 the record about this case; isn't that -- is that not 0125:39 12 minutes. I want to know: Was it Mr. Dershowitz 0327:17 12 correct? 03:25:41 13 who made that comment "move on" because if it 03:27:17 13 A. Well, on the record, yes; with regard to off 03:25:45 14 wasn't, there's somebody else on the line -- 0127:21 14 the record, there have been some communications that I 03:2545 15 MR. WEINBERG: I -- I -- 0127:24 15 think now have been turned over to the -- to the 012647 16 MR. SCAROLA: -- that refuses to identify 0127:26 16 defense. So I don't -- I'm not sure if there still 0125:48 17 themselves. 03:27:29 17 remain any off the record -- I suppose probably there 03:25:51 18 MR. WEINBERG: Marty Weinberg for Epstein. 03:27:32 18 are a few, but I would -- I think most of the -- what 0325:51 19 I've been on the line on occasion. I have a mute 03:27:36 19 were originally off-the-record communications have now 03:25:56 20 button and have said nothing and just kept on 03:27:38 20 been provided to -- to the defense time. 113:25.56 21 going with no statements on my end. 0127:41 21 Q. Mr. Cassell, is it not true -- true, that you 03:25:56 22 MR. DERSHOWITZ: It was me who said it. I -- 03:27:44 22 have spoken with reporters on what you referred to as 012566 23 I -- I thought my mute button was on. 03:27:49 23 quote, background, close quote? 0125:56 24 THE COURT REPORTER: I can't hear. I cant 03:27:50 24 A. Yeah. I mean that's different than -- your 0326:02 25 hear. 03:27:54 25 'earlier question was off the record and on the record. ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 41 of 46 sheets Page 312 to 315 of 335 10/20/2015 01:08:15 PM 316 318 03:27:57 1 There is an intermediate category of 03:30:17 1 your client, my client, or any joint defense 03:2758 2 background information as well, and I have spoken to 031022 2 communications. You can't reveal that. 03:28:01 3 some reporters in that capacity, yes. 013024 3 THE WITNESS: All right. So I'm going to 03,28:04 4 Q. And -- and -- and background means that its 03:30:27 4 follow that instruction and not answer. 03:28:08 5 not for attribution, correct? 013628 5 BY MR. SIMPSON: 03:28:10 6 A. Right. The background means the reporter can 0130:46 6 Q. With respect to the -- what's now still 0128:13 7 use the information, but shouldn't attribute it to a 03:30:52 7 Exhibit 2, the motion for limited intervention -- 03:28:16 8 particular person. 03:30:56 8 MR. SCAROLA: Let me just observe for the 03:28:17 9 Q. And, in fact, you have -- 03:30:57 9 record that it's 12:02. I don't think we used 03:28.19 10 A. Or let me -- let me just clarify. Some 03:31:01 10 the three minutes that I said I was going to give 03,2821 11 time -- well, background, I think, you know, we are now 03:31:03 11 you, but we will go to 12:03 anyway. 03:28:23 12 talking about sort of -- when I use the term 03:31:10 12 MR. SIMPSON: This line of questioning will 03:28:25 13 "background," it would generally mean that this is 03:31:11 13 take a little -- a little time, so -- 03:28:28 14 something maybe that you want to investigate and see if 03:31:14 14 MR. SCAROLA: Well, what's a "little"? Oh, 0328:31 15 you can confirm in other ways, but it shouldn't be 03:31:14 15 so you -- 03:28:34 16 sourced to -- that I shouldn't be quoted directly 03:31:15 16 MR. SIMPSON: Five minutes. 03:28:38 17 because they are going to have to find other -- other 03:31:16 17 MR. SCAROLA: So you prefer to wait then? 03,28:40 18 sources that confirm that same information. 03:31,20 18 MR. SIMPSON: Let me ask -- I can ask you a 0128:42 19 Q. Okay. And so my question is that it is true 03:31:22 19 few questions here. 03:28:45 20 that you have spoken with a number of reporters on 03:31:23 20 THE WITNESS: Sure. 03:28:49 21 background about Virginia Roberts's allegations in this 0131:23 21 BY MR. SIMPSON: 03:28:53 22 case, correct? 03:31:24 22 Q. I'm going to keep going. On the -- this is 03:28:54 23 A. Well, a number -- a few, I would say, is 03:31:28 23 your brief actually -- 03:28:56 24 probably a more accurate characterization. 03:31:29 24 A. Which -- 03:29,00 25 Q. And in any of those background conversations, ESQUIRE DEPOSITION SOLUTIONS 03:31:29 25 Q. -- Exhibit 1. ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 317 319 03:20:04 1 did you ever identify Miss Roberts as someone who had 03:31:30 1 A. Which -- let me just make sure which one is 03:29:06 2 been sexually abused by Mr. -- Professor Dershowitz? 03:31:33 2 it. I have Exhibit 2, but I don't think I have 03:29:11 3 A. I tried to identify myself as the attorney 0131:38 3 Exhibit 1. 03:29:14 4 representing someone who said that she had been sexually 03:31:39 4 Q. Oh, I probably have Exhibit 1. Let me give 0319:16 5 abused by Dershowitz. I think you've received -- you 03:31:41 5 you Exhibit 1. I will give you 2 back so we don't lose 0329:20 6 know, we can go through -- you know, we have produced, I 03:31:44 6 it -- 03:29:24 7 think, 2,500 pages of discovery. Many of those pages 0131,44 7 A. Okay. 03:29:26 8 are media communications. And, you know, we can go 03:31:45 8 Q. -- or keep it in front of you with the 0329:30 9 through, and I think you know that there are a number of 03:31,46 9 others. 03:29:33 10 examples, many examples, where I have said, I represent 0331,46 10 A. Okay. So, now, let's see. Okay. Yeah. I 03:29:35 11 a woman who has alleged that... Some verbal formulation 03:31:50 11 have it. 03:29:40 12 along those lines. 03:31:51 12 Q. In preparing this brief, did you personally 03:29:44 13 I mean, attorneys represent victims all the 0312,00 13 review the citations to the record that were given to 03:29:46 14 time and -- and I don't think people generally 03:3205 14 support the factual assertions? 03:2949 15 understand when an attorney makes a statement, that the 03:32:08 15 A. As opposed to somebody else on the legal 03:29:51 16 attorney is adopting and vouching for that statement. 0312:11 16 team? 0129:55 17 They are -- they are serving in a representative 0312:12 17 Q. Yes. I'm trying to ascertain whether you, 03:29:58 18 capacity. 03:3214 18 yourself, reviewed citations -- I'm going to be asking 03:29:59 19 Q. Have you finished your answer? 0312:18 19 you about a deposition transcript -- citations to the 03:30:00 20 A. I have. 0332.22 20 record evidence that are cited as representing to the 03:30:01 21 Q. Okay. Do you -- are you a party to any fee 0312:26 21 court as supporting the factual assertions? 03,30:06 22 agreement of any kind that would relate to a possible 013229 22 A. I mean, I reviewed some, and others. You 0130.10 23 recovery from Les Wexner? 03:32:32 23 know, maybe I need to -- this is starting to get into 03:30:13 24 MS. McCAWLEY: Objection to the extent that 03:32:36 24 work product. If you're asking, you know, what did Brad 0130:15 25 it reveals any confidential communications with 03:3218 25 do, what did you do, what did the paralegals do -- ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-.4400 (954) 331-4400 10/20/2015 01:08:15 PM Page 316 to 319 of 335 42 of 46 sheets 03:32:42 1 Q. Let -- let me ask you a different question 03:34:54 1 visiting? 320 322 03:32:43 2 then. 0134:55 2 "Uh-huh. Answer. 03:32:43 3 A. Okay. 0134:56 3 "Question: How often did he come? 03:32:43 4 Q. By -- by submitting this brief with your name 03:34:59 4 "Answer: He came pretty -- pretty often. I 03:32:46 5 signing it, you were representing that the factual 03:35:02 5 would says as least four or five times a year." 013200 6 allegations, factual assertions, were support -- are 0135:06 6 And that's what is cited as the support for 03:32:54 7 supported by the record citations that are given for 0335:09 7 the proposition -- 03:32,58 8 those, correct? 03:35:09 8 A. I'd -- I would like to look at the document. 0132:58 9 A. Yeah. I mean, obviously, when you write a 0135:10 9 Q. I'm going to give you the document before I 03:33:00 10 brief, you're -- you're -- you know, you're trying to 03:35:12 10 ask you to comment on it. 03:33:02 11 represent that this is the best product I can come up 0135:15 11 A. Sure. 03:33:04 12 with. 03:35:15 12 Q. I will -- I will go beyond what was cited to 03:33:05 13 Now, you know, in a 40-page brief did -- 03:35:16 13 the court -- 0133:07 14 did -- is there some, you know, error in citation or 03:35:16 14 A. Okay. 03:33:10 15 something like that? I have to -- I'm not perfect. I'm 013616 15 Q. -- to put it in context. 03:33:12 16 sure that's a possibility, but, you know, I worked hard 0135:20 16 A. But I mean, there's -- this is a large - 0133:15 17 to try to put together the best product that I could on 03:362217 well, that's what I'm saying. I would like -- my 03:33:18 18 behalf of Virginia Roberts when I filed this brief. 0335:24 18 recollection is that there are number of parties to the 03:33:21 19 Q. And -- and in general, when a lawyer signs a 0135:26 19 Alessi depo "- 03:33:24 20 brief, its a representation to the court that the 03:35:27 20 Q. No. My -- my only question is in this brief, 03:33:28 21 citations to the record support the factual -- 03:35:30 21 the lawyers signing it represented to the court that 03:3128 22 A. Yeah, to the -- 03:35:32 22 this citation supported that factual assertion. 03:33:32 23 Q. -- propositions given to the court? 03:35:35 23 A. But that's true, yes. 03,33:34 24 A. Yeah, that's right. To the best of, you 0135:36 24 Q. Okay. I will read it. 03:33:36 25 know, your ability, sure. ESQUIRE DEPOSITION SOLUTIONS 03:35:40 25 "Do you have any recollection of V.R., ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 321 323 013137 1 Q. Take a look if you would at page 29 -- 013643 1 Virginia Roberts, coming to the house when 03:33:40 2 A. Okay. 03:3644 2 Prince Andrew was there? Question. 03:33:41 3 Q. -- the top of the page -- 03:35:46 3 "Answer: It could have been, but I'm not 0333:42 4 A. Okay. 03:35:49 4 sure. 03:33:42 5 Q. -- the statement: "lane Doe number 3 came to 03:35:50 5 "Not sure. When Mr. Dershowitz was visiting? 03:33:50 6 the house when Dershowitz was there." And then its 03:3653 6 "Uh-huh. 03:33:53 7 "Id." which is a citation to the Alessi deposition, page 03:35:54 7 "How often did he come? 03:33:56 8 73, line 18 to 20. Do you see that? 0135:55 8 "He came pretty -- he pretty often. I would 03:33:59 9 A. I do. 03:35:58 9 says at least four or five times a year." 0134:01 10 Q. So that sentence if I -- do you agree with me 0136:00 10 A. Okay. 0134:03 11 that sentence is representing to the court that Virginia 0136:01 11 Q. Do you want to take a look at that? 0334:08 12 Roberts came to the Palm Beach house when Professor 013002 12 A. Yeah. 0134:12 13 Dershowitz was there? 03:36:04 13 MS. RICHARDSON: Page 73. 03:3412 14 A. Yes. 03:36:04 14 BY MR. SIMPSON: 03:34,13 15 Q. I'm going to read you what's cited for that 013606 15 Q. Page 73, line -- its right here (indicating) 03:34:15 16 proposition. I can show it to you if you like. 03:36:08 16 if it helps you find it. 0314:17 17 A. I would like to see it because, you know, 03:36:11 17 A. Yeah. Okay. All right. That's what those 0134:18 18 it's possible I'm off. 03:36:15 18 lines say, yes. 03:3420 19 Q. Let me read it for the record. 0136:1619 Q. Okay. So my -- my question is: In your 03:3422 20 A. Sure. 03:36:19 20 view, as an attorney, does that quotation -- does that 03:34:22 21 Q. And I will read what is cited. Its page 73, 03:36:23 21 testimony support the assertion that Professor 03:34:31 22 lines 22 to 25. 01302722 Dershowitz and Virginia Roberts were in the house at the 03:3439 23 Actually -- I'm -- yeah, I'm sorry. 73, 18 03363023 same time? 03:34:44 24 to 20. Line 18: 013030 24 A. Those -- those lines 18 to "- 013451 25 "Not sure. When Mr. -- Mr. Dershowitz was 0336:34 25 Q. And if you want to put it in the context of a ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 43 of 46 sheets Page 320 to 323 of 335 10/20/2015 01:08:15 PM 324 326 03:36:35 1 couple of lines above it that do refer to Virginia 03:38:27 1 A. The lawyer -- look, this is not the first 03:3339 2 Roberts, put it in the context. 03:38.27 2 time - 0336:41 3 My question is: Does that, fairly read, 033327 3 Q. I'm not asking the - - 03:36:46 4 constitute testimony that Virginia Roberts and Professor 03:38:29 4 A. -- a lawyer has cited the wrong line number 03:36:49 5 Dershowitz were in the house at the same time? 03:38:31 5 on a transcript or something, and if you're suggesting 0336:51 6 A. Those three sentences, three lines. 03:38:34 6 that -- you know, I will concede that I cited the wrong 03:36:55 7 Q. What -- yes, what the brief cites. 03:38:38 7 line number for that particular assertion. 03:36:57 8 A. Those -- those three lines: "Not sure. When 03,38:41 8 Q. And this is what I want to clarify: When you 03:37:03 9 Mr. Dershowitz was visiting. Uh-huh. How often did he 03:38:43 9 say the wrong line number, if you look at the quotation, 033736 10 come?" Those -- those three lines, I agree, that looks 03:38:46 10 there is, up above -- you cited 18 to 20 -- 22 to 25 -- 03:37:10 11 like a miscitation there. I agree with you on that. 03:38:46 11 no, 18 to 20. I'm sorry. You cited 18 to 20 which is 03:3714 12 Q. And isn't it true that -- first of all, 03:38:56 12 -- do you see that? 0337:16 13 nothing else is cited in the brief or elsewhere to 03:38:57 13 A. I do see 18 to 20, yes. 03:37:22 14 support -- put -- put aside. 0338:59 14 Q. And those lines don't refer to Virginia 033723 15 Other than Virginia Roberts's own testimony, 033931 15 Roberts coming to the house, correct? 0137:26 16 this is the only evidence that you cited to the court to 03:39:02 16 A. Lines 18 to 20 do not refer to Virginia 03:37:30 17 support -- 03:39,10 17 Roberts -- oh, no, wait a minute. Now, this is -- 03:37:37 18 A. No, no, no, no, no. That would require a 03:39:12 18 because when I look at it here, line 15: 03:37:34 19 30-minute answer. 03,39:17 19 "Do you have any recollection of V.R., 03:37:34 20 Q. Okay. I won't ask you a 30-minute answer -- 03:39:20 20 Virginia Roberts, coming to the house when 03:37:37 21 MR. SCAROLA: How about -- how about wrapping 03'39:21 21 Prince Andrew was there?" 0337:38 22 it up then because its now 12:10. 0339:23 22 Answer: "It could have been. I'm not sure. 03:37:41 23 MR. SIMPSON: I will wrap it up. I have one 03:39:25 23 "Not sure. When Mr. Dershowitz was 03:37:42 24 more -- one more question. 0339:28 24 visiting?" 0337:43 25 THE WITNESS: Okay. 033930 25 So now when I read it, actually, I'm now ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 325 327 03:37:43 1 BY MR. SIMPSON: 03:39:32 1 going to withdraw my earlier answer, I would -- because 0337:43 2 Q. And that is: I just want to confirm that you 03:39:35 2 you know, its getting late in the day. I'm getting a 03:37:47 3 do agree with me that what was cited to the court for 03:39:37 3 little fuzzy here. When Mr. Dershowitz was visiting, 03:37:50 4 the proposition that they were together, in this 033340 4 uh-huh, could be an affirmative answer read in context 03:37:52 5 sentence, doesn't support that proposition? 013345 5 to saying, I don't recall about Prince Andrew, but I do 033734 6 A. I will agree with you that there appears to 03:39:47 6 recall Virginia Roberts being there. And I think when 03:37:56 7 be a miscitation of the line number -- of the lines 18 0339:49 7 we unpack the entirety of the deposition, which we don't 0138:01 8 through 20. 0339:52 8 have time right now, that the context that I'm 03:38:02 9 Now, you're saying that there is not 03:39:54 9 suggesting now would be accurate. So I am not prepared 03:3304 10 information outside of 8 -- lines 18 through 20 to 03:39:57 10 to say, as I sit here right now, that those were the 033838 11 support the allegation, and that's going to require a 033939 11 wrong line numbers. 0338:11 12 much longer answer. 03:4301 12 Perhaps those are the correct line numbers, 03:38:1213 Q. I don't want a long answer, but I do want to 03:40:0313 but what I think I should have done was to cite 03:38:15 14 clarify. When you say "outside" -- 03:40:05 14 additional parts of the transcript that would have, in 0338:15 15 MR. SCAROLA: You also said one more 03:40:10 15 context, made clear that the assertion was correct. 03:38:15 16 question. 0340:14 16 MR. SCAROLA: With that - - 0338:15 17 MR. SIMPSON: Well, I -- let me just finish 0340:15 17 MR. SIMPSON: I -- I just need to finish this 0338:16 18 this, so we are not going to have this hanging, 0140:16 18 one or two questions, but this is the topic, so 03:38,19 19 because I want to make sure we are communicating. 0340:18 19 let me finish it. 0338:21 20 THE WITNESS: Okay. Sure. 03,40:19 20 BY MR. SIMPSON: 03:38:21 21 BY MR. SIMPSON: 034319 21 Q. Did you ever watch the video -- 03:38:22 22 Q. I understand you're -- you're saying that 03:40:19 22 MR. SCAROLA: Running out of tape -- 0338:2523 there -- there may be evidence -- 03:40:19 23 BY MR. SIMPSON: 03:38:26 24 A. Yeah. 03:40:22 24 Q. -- of the transcript? 03:38:27 25 Q. -- elsewhere? 03:40:22 25 MR. SCAROLA: We are also running out of tape ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 10/20/2015 01:08:15 PM Page 324 to 327 of 335 44 of 46 sheets 328 330 03:4025 1 right now. 03:41:54 1 MR. SCAROLA: Right. 03:40:26 2 MR. SIMPSON: I've got -- 03:41754 2 THE VIDEOGRAPHER: We are going off the video 03:40:26 3 THE VIDEOGRAPHER: Two minutes. 03:41:55 3 record, 12:14 p.m. 03:40:28 4 MR. SIMPSON: Two minutes. All right. That 4 03:40:28 5 won't take -- 5 (Witness excused.) 03:4028 6 BY MR. SIMPSON: 6 (Deposition was adjourned.) 03:40:29 7 Q. I want you to look at the video of that -- 7 03:40:31 8 that testimony. Would you play it, please, for the 8 03:40:33 9 witness? This is from the videotape of the deposition. 9 03:40:35 10 THE WITNESS: I do not want to watch just -- 10 03:4017 11 I want to watch -- what -- what I'm seeing here 11 0140:42 12 as I dive into this, I would -- if you're going 12 03:40:45 13 to ask me questions about what's in these 13 03:40:47 14 particular lines, I want to see -- I want to go 14 03:40:50 15 back. I want all of the -- the relevant parts of 15 03:40:54 16 Virginia Roberts's testimony played. And I 16 03:40:56 17 believe there are approximately four points in 17 03:40:59 18 the transcript where she's mentioned, so can we 18 03:41:00 19 play all four of those? 19 03:41:02 20 MR. SCAROLA: We are not going to do that. 20 03:41:03 21 We have run out of time. Per agreement, this was 21 0141:05 22 supposed to stop at noon. 22 03:41:05 23 MR. SIMPSON: Okay. 23 0341:08 24 MR. SCAROLA: It is now 12:12, so this 24 03:41.09 25 deposition is ended. There were a lot of things 25 ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 329 331 03:41:10 1 that I would have like to have finished with 1 DEPOSITION ERRATA SHEET 03:41:13 2 Professor Dershowitz and wasn't permitted to do 2 0141:14 3 that. So by agreement, this deposition is now 3 Assignment no: 220190 03:41:17 4 over. 4 BRADLEY J. EDWARDS and PAUL G. CASSELL vs. 03:41:18 5 MR. SIMPSON: It -- its -- its ending over 5 ALAN M. DERSHOWITZ 03,41:20 6 my objection and the witness's -- 6 03:41:21 7 MR. SCAROLA: I -- I understand that. 7 DECLARATION UNDER PENALTY OF PERJURY 03A1:22 8 MR. SIMPSON: -- the -- I'm going to make my 8 03:4123 9 record. 9 I declare under penalty of perjury that I have 0341:23 10 MR. SCAROLA: Okay. 10 read the entire transcript of my deposition/examination 03:41:24 11 MR. SIMPSON: -- the witness's refusal to 11 under oath taken in the captioned matter or the same 03:4125 12 look at the videotape of the portion of the 12 has been read to me, and the same is true and accurate, 03:41:29 13 deposition that he just characterized in his 13 save and except for changes and/or corrections, if any, 03:41:32 14 testimony as suggesting an affirmative answer to 14 as indicated by me on the DEPOSITION ERRATA SHEET 03:41:35 15 the question of whether Virginia Roberts and 15 hereof, with the understanding that I offer these 03:41:38 16 Professor Dershowitz were there at the same time, 16 changes as if still under oath. 03:41:39 17 and I will represent -- 17 03:41:40 18 MR. SCAROLA: That record is clear. 18 Signed on the day of , 03:41:41 19 MR. SIMPSON: -- and anyone looking at that 19 2015. 03:41:43 20 videotape would know, to a moral certainty, that 20 03:41:46 21 that was false. 21 . 03,41,46 22 THE WITNESS: Okay. And I -- I want to make 22 PAUL G. CASSELL 03:41,18 23 clear that I would be happy to look at 23 03:41:50 24 everything. We will do that at another time 24 03,41:52 25 perhaps. 25 ESQUIRE DEPOSITION SOLUTIONS ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 45 of 46 sheets Page 328 to 331 of 335 10/20/2015 01:08:15 PM 332 334 1 DEPOSITION ERRATA SHEET 1 CERTIFICATE OF OATH 2 3 Page No._Line No. Change to: 4 5 Reason for change: 6 Page No. Line No. Change to: 2 3 STATE OF FLORIDA ) 4 COUNTY OF BROWARD ) 5 6 I, the undersigned authority and Notary 7 Public certify that PAUL G. CASSELL personally 7 8 appeared before me and was duly sworn on Saturday, the 8 Reason for change: 9 17th day of October, 2015. 9 Page No. Line No. Change to: 10 10 11 Sworn to before me this 19th day of October, 11 Reason for change: 12 Page No._Line No. Change to: 13 14 Reason for change: 15 Page No. Line No. Change to: 16 12 2015. 13 14 15 16 17 18 Theresa Tomaselli, RMR 17 Reason for change: Notary Public - State of Florida 18 Page No. Line No. Change to: 19 My Commission No. FF 226528 19 My Commission Expires 8/27/2019 20 Reason for change: 20 220190 21 Page No. Line No. Change to: 22 23 Reason for change: 24 SIGNATURE: DATE: ,2015 25 PAUL G. CASSELL ESQUIRE DEPOSITION SOLUTIONS 1 DEPOSITION ERRATA SHEET 21 22 23 24 25 ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 (954) 331-4400 333 2 1 REPORTER'S CERTIFICATE 3 Page No. Line No. Change to: 2 4 3 5 Reason for change: 4 I, THERESA TOMASELLI, Registered Merit Reporter and Notary Public in and for the State of 6 Page No._Line No. Change to: 5 Florida at Large, do hereby certify that I was authorized to and did report said deposition in 6 stenotype; and that the foregoing pages are a true and 7 correct transcription of my shorthand notes of said 7 deposition. 8 Reason for change: 8 I further certify that said deposition was 9 Page No._Line No. Change to: taken at the time and place hereinabove set forth and 9 that the taking of said deposition was commenced and 10 completed as hereinabove set out. 10 11 Reason for change: I further certify that I am not an 11 attorney or counsel of any of the parties, nor am I a 12 Page No._Line No. Change to: 12 relative or employee of any attorney or counsel of party connected with the action, nor am I financially interested in the action. 13 13 The foregoing certification of this 14 Reason for change: 14 transcript does not appfy to any reproduction of the same by any means unless under the direct control and/or 15 Page No._Line No. Change to: 15 direction of the certifying reporter. 16 16 DATED this 19th day of October, 2015. 17 Reason for change: 18 Page No._Line No. Change to: 19 20 Reason for change: 21 Page No. Line No. Change to: 22 23 Reason for change: 24 24 SIGNATURE: DATE: ,2015 25 25 PAUL G. CASSELL ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 17 18 19 THERESA TOMASELLI 20 220190 21 22 23 (954) 331-4400 10/20/2015 01:08:15 PM Page 332 to 335 of 335 46 of 46 sheets 335