wo ony Dn WH PF WH
NNNNNN BP BE ee pe pp A PUN HE OO OY AH eB WHF OO
wo On DY PP Wd BH
NNNNN DN HH eH eB ee ER “URW HEH COM ANY AU AW NHR OO
THE REPORTER: Hold on. Hold on. A, -- the absence of any -- MR. SCOTT: She can't take it down. THE WITNESS: Sorry. (Thereupon, marked as Plaintiff Exhibit 8.) THE REPORTER: It's okay. Go ahead. A. And | want to note the absence of any photograph of me with Virginia Roberts. BY MR. SCAROLA: Q. That's the photograph that you were referring to? A. I've seen this photograph in the newspapers.
Q. Yes, sir. And the woman on the far right of that photograph, who is that?
A. Ghislaine Maxwell.
Q. The woman that you and your friend Jeffrey Epstein have traveled with repeatedly, correct?
A. No. A woman who | may have traveled with on two or three occasions. J can't think of more times than that that 1 traveled with her, but it's possible. But not -- I wouldn't say repeated occasions. I've --
Q. Well --
ow OND YH PB WD
307
THE WITNESS: Excuse me, I need to a take a very quick bathroom break.
MR. SCAROLA: That's fine.
THE WITNESS: Probably be two minutes or less than two minutes.
VIDEOGRAPHER: Going off the record. The time is approximately 12:03 p.m.
(Sidebar held off the record.)
MR. SCAROLA: While we're waiting, let me mark the next numbered exhibits as well, That will save us some time.
MR. SCOTT: What is this?
MR. SCAROLA: Her calendar, his calendar.
MR. SCOTT: Who's calendar is this, Carolyn's?
MR. SCAROLA: Okay. This is Number 10.
MR. SCOTT: Carolyn's calendar.
(Thereupon, marked as Plaintiff Exhibit 10.)
MR. SCAROLA: This is Number 11.
(Thereupon, marked as Plaintiff Exhibit 11.)
MR. SCAROLA: This is Number 12.
(Thereupon, marked as Plaintiff Exhibit 12.)
306 :
A. -- probably been in her presence fewer
than a dozen times.
Q. I'm going to hand you --
A. But just to be clear, what I knew about Ghislaine Maxwell was that she was the daughter of a prominent British publisher --
Q. Lhaven't asked you what you knew about Ghislaine Maxwell. I asked you —-
A. Well, you asked --
Q. -- whether or not you recognized her in the photograph?
A. Yes. Yes.
Q. Thank you very much, sir.
I'm going to hand you an airport codes log that identifies the airports that are identified by abbreviations in the case -- in case that is of some assistance to you in answering the next series of questions that I'm about to ask you.
A. Right.
Q. And I'm going to hand you this composite exhibit, which we will mark as the next numbered composite.
A. Uh-huh, right.
(Thereupon, marked as Plaintiff
Exhibit 9.)
BY MR. SCAROLA: Q. Mr. Dershowitz, I have handed you a composite exhibit that is marked as Number 9. A. Yes. Q. The first document in that composite is a page from -- MR. SCOTT: Here's Number 9. BY MR. SCAROLA: Q. is a page from your wife's calendar; is that correct? A. Yes. MR. SCOTT: Take a moment to review the exhibit, please. A. Yes, it looks like -- I'm looking at the first page. It looks like my wife's -- my wife's handwriting, yes. BY MR. SCAROLA: Q. And the second page is another page from your wife's calendar; is that correct? A. Looks like it, yes. Q. And — MR. SCOTT: Take the time to review it before you answer questions, please. A. Right.
33 (Pages 305 to 308)
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