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HOUSE_OVERSIGHT_010817

House Oversight Committee
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BY MR. SCAROLA:

Q. Of the first page of this composite is that there is a notation that says Alan Dershowitz 11:45 a.m., New York City, right?

A. Eleven -- A.D. 11:45 and then there's a word that I can't read.

Q. How about a.m.?

A. Oh, 5:00 a.m., New York City, yes.

Q. Okay. Thank you, sir.

And the next page, where did -- where did

your wife have opera instructions?

A. Ihave no idea. We go to the opera in Boston, we go to the opera in New York, we go to the opera in Florida. We do a lot -- a lot of opera. I don't know what "opera instructions" means.

Maybe it would be best if you asked my

wife about these things. It's her calendar.

Q. }--Lintend to, sir, but

A. Sure.

Q. -- these are calendars that you produced as part of the evidence that you contend exonerates you. So, } assumed that you had some knowledge of the meaning of these pages.

A. No.

Q. But f may be wrong.

A. We have --

Q. So you're telling me that you don't know where she was and that's --

A. We just -- we just gave you everything we had ~-

MR. SCOTT: We provided hundreds and hundreds of pages. You're picking out one. BY MR. SCAROLA:

Q. Let's go -- let's go to the next page, if we could, please, the third page in this composite.

A. The third, okay. Third, okay.

Q. And can we agree that this is a calendar from December of 2000?

A. Yes.

Q. Can we agree it's your calendar from December of 2000?

A. That's right, yeah.

Q. And can we also agree that during this period of time, you were making regular appearances in New York on Court TV?

MR. SCOTT: Review the document before you answer the question, please.

A. It says 12/30, Court TV, yes. There was a period of time where I had a contract with Court TV

and I would appear when they asked me to, yeah.

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BY MR. SCAROLA:

. And you would appear in New York --

. Well, no --

. =~ for those Court TV appearances ~~

. Lwould appear --

. ona regular basis, correct?

. Lwould appear wherever I was. So when I was in New York, | appeared in New York, but they would do it by remote when I was in a different city. And I clearly did some remotes for Court TV.

Q. In fact, you took an apartment in New York for purposes of convenience to facilitate your New York Court TV appearances, correct?

A. Totally false.

Q. Did you have an apartment in New York during this period of time in December of 20007

A. [Thad an apartment for -- I've had an apartment in New York for 30 -- 30 years or more. But I certainly didn't take an apartment for purposes of Court TV, no.

Q. On Tuesday, December 12, the entry is 1:30, Jeff, correct?

A. Right. Yeah.

Q. And that's a reference to Jeffrey Epstein, correct?

. I don't -- I don't know. . Well, what other Jeff might it be? I know -- [ know many, many Jeffs. . Tell me which other Jeffs it might have been a reference to --

A. Ihave 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. Ihave no idea.

Q. You don't know?

A. No, Ihave no idea whether he was on that plane. I 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)

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HOUSE_OVERSIGHT_010817