DOJ Epstein Files, Data Set 6 (EFTA00008870-EFTA00008874)

DOJ Data Set
Source
DOJ Epstein Files, Data Set 6
Date
2026-01-01
EFTA
EFTA00008870-EFTA00008874
Pages
1

Legacy entry: no record in the recorded source snapshot

Records Listed For: JEFFREY EPSTEIN from 04/11/2005 to 04/11/2005

From Message Phone Done
reminders
7:43AM
1. Call Gabriel Perahia 2. Call William
Gowen 3. Peter Mandelson In Paris on
Thursday 4. Pinto in Paris this week
n
8:54AM Just FYI flight info: and me Jetblue 623 arriving 12.20pm
WPB. 678 jetblue, leaving WPB 11.10 am, arriving JFK
1.45pm. Citicar picking up
Cecilia
9:35AM
LM for Emad to talk to Paul Gandy re phone system and electric distribution.
Cecilia
9:35AM
Yanush is picking up and and
Miles
9:37AM
Will email photos of beach house floor. D
Jean Luc
9:55AM
I lost my cell phone, but will be in the office after 10:30. ۵
G
10:13AM
You had wanted me to put the tiles on the Midnight express for
the cabana - the midnight express has not left yet as you know -
should I wait for the boat to come to FLA or orgnaise for the tiles
to be sent to PB
٦
Warren
Elsenstein
10:17AM
Where should I mail the DVD? ۵
10:20AM I’m available all week except for Thurs, if you’re around. ۵
Ira
Zicherman
10:22AM
Bought 50 000 CELG at $437.068 0
10:24AM Pis call. D
G
10:27AM
Looking in a realestate magazine - there are 2 hses for sale PB
w/ direct ocean front - Christine COndon in PB - +
another Carole Koeppel _ they were in the NY
times realestate mag
C
Cecilia
10:33AM
Lm for G to just send the tiles. D
Ira
Zicherman
10:35AM
Stock is trading at 36.79. I understand there are some additional shares, some blocks available in this area. Do you have any interest? ۵
Cecilia
10:49AM
LM for Jean Luc to call. 5
G
11:06AM
Jean bought bought the two vases (6.500 Euros) and the large console (4.200 Euros - nice surprise).

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Jean Luc
11:07AM
Call me at the office (I tried to connect you). Г
Prof. Camhi
11:16AM
Pis call.
Miles
Schnitman
11:24AM
Just calling to see where we stand. L)
Eric
11:34AM
Dr. Landon’s $25k quartly payment is due, please approve. D
Dan
Sperberg
11:38AM
Calling re meeting. I’m in NY until Mon. Pls email your reply. Г
George
Reenstra
11:40AM
Via email re photos of other 76 s: That is on temp hold,
apparently we are now painting all black with a camel stripe
5
Cecilia
12:17PM
LM for re is any of her friends back? П
Naomi
Campbell
12:18PM
Via email: Hello, naomi here would like to know when I can
speak with Jeffery, regarding my swimsuit line.For a meeting
with VS to see,I have pics and some of the sults with me Hope
is well
۵
Cecilia
12:26PM
LM and emailed Dan Sperberg to call. ۵
Bill Karr
12:27PM
I will email the plans later today. 5
Dr. Jarecki
12:33PM
Please call. Ŀ
Cecilia
12:43PM
LM for Jerry Goldsmith re has lawyer letter been sent out yet?
Amy Evans
12:50PM
Calling for Congressman Tom Reynolds regarding the June 14th annual dinner with Bush. NRCC Business Advisory. D
G
12:51PM
Spoke to Miles re sending the blue tiles for the cabana to PB -
you sd to him last week to keep them for the Tiki house kitchen
- plse advise
۵
Kenneth
Cole
12:51PM
Returning your call. D
1:45PM I’m back in NY. п
Melanie
2:04PM
From Dr. Moskovitz’ office. We’re trying to find some place in NY where can have her heart test done. ۵
2:29PM is back. ۵
And the second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second second se Call me re what we talked about. D

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Messages

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c
2:38PM
Fiona
2:39PM
From Dr. Jarecki’s. Pls call. D
Melanie
2:43PM
From Dr. Moskowitz’s office. Can get the heart test done
on Fri in NY. Appt at 3.30pm, check-in 3.15pm. Faculty practice
radiology 530 1st ave, G elevator to 13th floor, $1656 total,
E.
2:44PM Is there a check for me?
Eric
2:54PM
Please confirm that I am wiring $3mm from your account to MJ LLC. C
2:55PM Can Danielle and I work this week?
Jerry
Goldsmith
2:57PM
Gowdy was out of town, but the letter will be delivered today. ٥
G
3:02PM
Leighton Chandler doesn’t know if she can organize for me to
see the mansion this week as it is just getting on the market.
She will check to see if she get me in tomorrow. If not, it will
have to be the next time I’m in town. *** Copied From
GHISLAINE MAXWELL *** Original Date and Time: 04/11/2005
at 2:19P
c
Greg Hersch
3:08PM
via my email: Please let Jeffrey know that if he intends to
participate in the Emerging Market Special Opportunities fund
that the deadline for subscription docs is next Wednesday, April
20 for May 1 trading. Thanks!
6
Cecilia
3:11PM
Jojo will pick up ’s prescription. WHere should I fedex it? Г
Eric
3:11PM
FYI: on the Dr. Landon quarterly payments, we (NYSG) billed
LHW/Abigail In advance as we have in prior years.
П
3:29PM Pis call. Ľ
Larry
Newman
3:39PM
I just need a few more minutes if you have time. Γ
4:17PM Just calling to check in. G
G
4:21PM
The Tel Aviv ticket was not a fraud. It was to get a renewal for your 2nd valid passport. We’re getting a refund for it. G
manu
4:26PM
The pool specialist can’t come tomorrow in PB. He can only come
on wednesday morning if it’s ok for you. Pis advice
۵
Cecile
4:27PM
Fro the power symposium, we are looking at 4 days between
January 6, 2006 and January 17th or 18th. The participants
working on their schedules and need to know ASAP. We also
need to let the hotel so we don’t lose our $20,000 deposit.
٥
Cecilia

Р ,

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Messages

Messages Page 4 of 4
4:27PM I had on the line for you. Å.
Dr. Victor
4:28PM
Pis call. ٥
4:29PM can work tomorrow at 4pm.
Cecilia
4:41PM
I had Dan Sperberg on the line for you. He will call back sind has no reception in the library. e he Π
Cecilia
4:45PM
I forwarded helicopter pictures from George Reenstra to you
yahoo.
r D
Cecilia
4:47PM
I had Dr. Jarecki on the line.
G
4:50PM
Lydia got her aesthetician license and can not do facials.
manu
4:54PM
GYM works in Paris: 3 weeks 1/2 to finish. Pinto waiting for starting date (possibly 8 days of advance to organize it). а П
Bill Karr
4:55PM
The mail server is down, but I will email the plans as soon a
can.
sI
Outstanding
4:56PM
did not call back Г
Callers
4:56PM
Prof. Camhi, Miles Schnitman,
Dr. Victor.

Mark Checked Messages as Read

(ACOMESSED) (COMPESSION) (PERSON HELLEND RE-LINE Instanticionation (Seatern Gallerse)

Copyright (c) 2000-2004, Epstein Interests, Inc. All Rights Reserved

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UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF NEW YORK
x
SEALED
UNITED STATES OF AMERICA INDICTMENT
20 Cr.
GHISLAINE MAXWELL,
Defendant.
x

COUNT ONE

(Conspiracy to Entice Minors to Travel to Engage in Illegal Sex Acts)

The Grand Jury charges:

OVERVIEW

  1. The charges set forth herein stem from the role of GHISLAINE MAXWELL, the defendant, in the sexual exploitation and abuse of multiple minor girls by Jeffrey Epstein. In particular, from at least in or about 1994, up to and including at least in or about 1997, MAXWELL assisted, facilitated, and contributed to Jeffrey Epstein’s abuse of minor girls by, among other things, helping Epstein to recruit, groom, and ultimately abuse victims known to MAXWELL and Epstein to be under the age of 18. The victims were as young as 14 years old when they were groomed and abused by MAXWELL and Epstein, both of whom knew that certain victims were in fact under the age of 18.

  2. As a part and in furtherance of their scheme to abuse minor victims, GHISLAINE MAXWELL, the defendant, and Jeffrey Epstein enticed and caused minor victims to travel to

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Epstein’s residences in different states, which MAXWELL knew and intended would result in their grooming for and subjection to sexual abuse. Moreover, in an effort to conceal her crimes, MAXWELL repeatedly lied when questioned about her conduct, including in relation to some of the minor victims described herein, when providing testimony under oath in 2016.

FACTUAL BACKGROUND

  1. During the time periods charged in this Indictment, GHISLAINE MAXWELL, the defendant, had a personal and professional relationship with Jeffrey Epstein and was among his closest associates. In particular, between in or about 1994 and in or about 1997, MAXWELL was in an intimate relationship with Epstein and also was paid by Epstein to manage his various properties. Over the course of their relationship, MAXWELL and Epstein were photographed together on multiple occasions, including in the below image:

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  1. Beginning in at least 1994, GHISLAINE MAXWELL, the defendant, enticed and groomed multiple minor girls to engage in sex acts with Jeffrey Epstein, through a variety of means and methods, including but not limited to the following:

a. MAXWELL first attempted to befriend some of Epstein’s minor victims prior to their abuse, including by asking the victims about their lives, their schools, and their families. MAXWELL and Epstein would spend time building friendships with minor victims by, for example, taking minor victims to the movies or shopping. Some of these outings would involve MAXWELL and Epstein spending time together with a minor victim, while some would involve MAXWELL or Epstein spending time alone with a minor victim.

b. Having developed a rapport with a victim, MAXWELL would try to normalize sexual abuse for a minor victim by, among other things, discussing sexual topics, undressing in front of the victim, being present when a minor victim was undressed, and/or being present for sex acts involving the minor victim and Epstein.

c. MAXWELL’S presence during minor victims’ interactions with Epstein, including interactions where the minor victim was undressed or that involved sex acts with Epstein, helped put the victims at ease because an adult woman was present. For example, in some instances, MAXWELL would

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massage Epstein in front of a minor victim. In other instances, MAXWELL encouraged minor victims to provide massages to Epstein, including sexualized massages during which a minor victim would be fully or partially nude. Many of those massages resulted in Epstein sexually abusing the minor victims.

d. In addition, Epstein offered to help some minor victims by paying for travel and/or educational opportunities, and MAXWELL encouraged certain victims to accept Epstein’s assistance. As a result, victims were made to feel indebted and believed that MAXWELL and Epstein were trying to help them.

e. Through this process, MAXWELL and Epstein enticed victims to engage in sexual activity with Epstein. In some instances, MAXWELL was present for and participated in the sexual abuse of minor victims. Some such incidents occurred in the context of massages, which developed into sexual encounters.

  1. GHISLAINE MAXWELL, the defendant, facilitated Jeffrey Epstein’s access to minor victims knowing that he had a sexual preference for underage girls and that he intended to engage in sexual activity with those victims. Epstein’s resulting abuse of minor victims included, among other things, touching a victim’s breast, touching a victim’s genitals, placing a sex toy such as avibrator on avictim’s genitals,

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directing a victim to touch Epstein while he masturbated, and directing a victim to touch Epstein’s genitals.

MAXWELL AND EPSTEIN’S VICTIMS

  1. Between approximately in or about 1994 and in or about 1997, GHISLAINE MAXWELL, the defendant, facilitated Jeffrey Epstein’s access to minor victims by, among other things, inducing and enticing, and aiding and abetting the inducement and enticement of, multiple minor victims. Victims were groomed and/or abused at multiple locations, including the following:

a. A a multi-story private residence on the Upper East Side of Manhattan, New York owned by Epstein (the “New York Residence”), which is depicted in the following photograph:

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b. An estate in Palm Beach, Florida owned by Epstein (the “Palm Beach Residence”), which is depicted in the following photograph:

c. A ranch in Santa Fe, New Mexico owned by Epstein (the “New Mexico Residence”), which is depicted in the following photograph:

d. MAXWELL’s personal residence in London, England.

  1. Among the victims induced or enticed by GHISLAINE MAXWELL, the defendant, were minor victims identified herein as Minor Victim-1, Minor Victim-2, and Minor Victim-3. In particular, and during time periods relevant to this Indictment, MAXWELL engaged in the following acts, among others, with respect to minor victims:

a. MAXWELL met Minor Victim-1 when Minor Victim-1 was approximately 14 years old. MAXWELL subsequently interacted with Minor Victim-1 on multiple occasions at Epstein’s residences, knowing that Minor Victim-1 was under the age of 18 at the time. During these interactions, which took place between approximately 1994 and 1997, MAXWELL groomed Minor Victim-1 to engage in sexual acts with Epstein through multiple means. First, MAXWELL and Epstein attempted to befriend Minor Victim-1, taking her to the movies and on shopping trips. MAXWELL also asked Minor Victim-1 about school, her classes, her family, and other aspects of her life. MAXWELL then sought to normalize inappropriate and abusive conduct by, among other things, undressing in front of Minor Victim-1 and being present when Minor Victim-1 undressed in front of Epstein. Within the first year after MAXWELL and Epstein met Minor Victim-1, Epstein began sexually abusing Minor Victim-1. MAXWELL was present for

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and involved in some of this abuse. In particular, MAXWELL involved Minor Victim-1 in group sexualized massages of Epstein. During those group sexualized massages, MAXWELL and/or Minor Victim-1 would engage in sex acts with Epstein. Epstein and MAXWELL both encouraged Minor Victim-1 to travel to Epstein’s residences in both New York and Florida. As a result, Minor Victim-1 was sexually abused by Epstein in both New York and Florida. Minor Victim-1 was enticed to travel across state lines for the purpose of sexual encounters with Epstein, and MAXWELL was aware that Epstein engaged in sexual activity with Minor Victim-1 after Minor-Victim-1 traveled to Epstein’s properties, including in the context of a sexualized massage.

b. MAXWELL interacted with Minor Victim-2 on at least one occasion in or about 1996 at Epstein’s residence in New Mexico when Minor Victim-2 was under the age of 18. Minor Victim-2 had flown into New Mexico from out of state at Epstein’s invitation for the purpose of being groomed for and/or subjected to acts of sexual abuse. MAXWELL knew that Minor Victim-2 was under the age of 18 at the time. While in New Mexico, MAXWELL and Epstein took Minor Victim-2 to a movie and MAXWELL took Minor Victim-2 shopping. MAXWELL also discussed Minor Victim-2’s school, classes, and family with Minor Victim-2. In New Mexico, MAXWELL began her efforts to groom Minor Victim-2 for abuse by Epstein by, among other things, providing

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an unsolicited massage to Minor Victim-2, during which Minor Victim-2 was topless. MAXWELL also encouraged Minor Victim-2 to massage Epstein.

c. MAXWELL groomed and befriended Minor Victim-3 in London, England between approximately 1994 and 1995, including during a period of time in which MAXWELL knew that Minor Victim-3 was under the age of 18. Among other things, MAXWELL discussed Minor Victim-3’s life and family with Minor Victim-3. MAXWELL introduced Minor Victim-3 to Epstein and arranged for multiple interactions between Minor Victim-3 and Epstein. During those interactions, MAXWELL encouraged Minor Victim-3 to massage Epstein, knowing that Epstein would engage in sex acts with Minor Victim-3 during those massages. Minor Victim-3 provided Epstein with the requested massages, and during those massages, Epstein sexually abused Minor Victim-3. MAXWELL was aware that Epstein engaged in sexual activity with Minor Victim-3 on multiple occasions, including at times when Minor Victim-3 was under the age of 18, including in the context of a sexualized massage.

MAXWELL’S EFFORTS TO CONCEAL HER CONDUCT

  1. In or around 2016, in the context of a deposition as part of civil litigation, GHISLAINE MAXWELL, the defendant, repeatedly provided false and perjurious statements, under oath, regarding, among other subjects, her role in facilitating the

9

abuse of minor victims by Jeffrey Epstein, including some of the specific events and acts of abuse detailed above.

STATUTORY ALLEGATIONS

  1. From at least in or about 1994, up to and including in or about 1997, in the Southern District of New York and elsewhere, GHISLAINE MAXWELL, the defendant, Jeffrey Epstein, and others known and unknown, willfully and knowingly did combine, conspire, confederate, and agree together and with each other to commit an offense against the United States, to wit, enticement, in violation of Title 18, United States Code, Section 2422.

  2. It was apart and object of the conspiracy that GHISLAINE MAXWELL, the defendant, Jeffrey Epstein, and others known and unknown, would and did knowingly persuade, induce, entice, and coerce one and more individuals to travel in interstate and foreign commerce, to engage in sexual activity for which a person can be charged with a criminal offense, in violation of Title 18, United States Code, Section 2422.

Overt Acts

  1. In furtherance of the conspiracy and to effect the illegal object thereof, the following overt acts, among others, were committed in the Southern District of New York and elsewhere:

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a. Between in or about 1994 and in or about 1997, when Minor Victim-1 was under the age of 18, MAXWELL participated in multiple group sexual encounters with Epstein and Minor Victim-1 in New York and Florida.

b. In or about 1996, when Minor Victim-1 was under the age of 18, Minor Victim-1 was enticed to travel from Florida to New York for purposes of sexually abusing her at the New York Residence, in violation of New York Penal Law, Section 130.55.

c. In or about 1996, when Minor Victim-2 was under the age of 18, MAXWELL provided Minor Victim-2 with an unsolicited massage in New Mexico, during which Minor Victim-2 was topless.

d. Between in or about 1994 and in or about 1995, when Minor Victim-3 was under the age of 18, MAXWELL encouraged Minor Victim-3 to provide massages to Epstein in London, England, knowing that Epstein intended to sexually abuse Minor Victim-3 during those massages.

(Title 18, United States Code, Section 371.)

COUNT TWO

(Enticement of a Minor to Travel to Engage in Illegal Sex Acts)

The Grand Jury further charges:

  1. The allegations contained in paragraphs 1 through 8 of this Indictment are repeated and realleged as if fully set forth within.

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  1. From at least in or about 1994, up to and including in or about 1997, in the Southern District of New York and elsewhere, GHISLAINE MAXWELL, the defendant, knowingly did persuade, induce, entice, and coerce an individual to travel in interstate and foreign commerce to engage in sexual activity for which a person can be charged with a criminal offense, and attempted to do the same, and aided and abetted the same, to wit, MAXWELL persuaded, induced, enticed, and coerced Minor Victim-1 to travel from Florida to New York, New York on multiple occasions with the intention that Minor Victim-1 would engage in one or more sex acts with Jeffrey Epstein, in violation of New York Penal Law, Section 130.55.

(Title 18, United States Code, Sections 2422 and 2.)

COUNT THREE

(Conspiracy to Transport Minors with Intent to Engage in Criminal Sexual Activity)

The Grand Jury further charges:

  1. The allegations contained in paragraphs 1 through 8 of this Indictment are repeated and realleged as if fully set forth within.

  2. From at least in or about 1994, up to and including in or about 1997, in the Southern District of New York and elsewhere, GHISLAINE MAXWELL, the defendant, Jeffrey Epstein, and others known and unknown, willfully and knowingly did combine, conspire, confederate, and agree together and with each other to commit an offense against the United States, to

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wit, transportation of minors, in violation of Title 18, United States Code, Section 2423(a).

  1. It was apart and object of the conspiracy that GHISLAINE MAXWELL, the defendant, Jeffrey Epstein, and others known and unknown, would and did, knowingly transport an individual who had not attained the age of 18 in interstate and foreign commerce, with intent that the individual engage in sexual activity for which a person can be charged with a criminal offense, in violation of Title 18, United States Code, Section 2423(a).

Overt Acts

  1. In furtherance of the conspiracy and to effect the illegal object thereof, the following overt acts, among others, were committed in the Southern District of New York and elsewhere:

a. Between in or about 1994 and in or about 1997, when Minor Victim-1 was under the age of 18, MAXWELL participated in multiple group sexual encounters with EPSTEIN and Minor Victim-1 in New York and Florida.

b. In or about 1996, when Minor Victim-1 was under the age of 18, Minor Victim-1 was enticed to travel from Florida to New York for purposes of sexually abusing her at the

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New York Residence, in violation of New York Penal Law, Section 130.55.

c. In or about 1996, when Minor Victim-2 was under the age of 18, MAXWELL provided Minor Victim-2 with an unsolicited massage in New Mexico, during which Minor Victim-2 was topless.

d. Between in or about 1994 and in or about 1995, when Minor Victim-3 was under the age of 18, MAXWELL encouraged Minor Victim-3 to provide massages to Epstein in London, England, knowing that Epstein intended to sexually abuse Minor Victim-3 during those massages.

(Title 18, United States Code, Section 371.)

COUNT FOUR (Transportation of a Minor with Intent to Engage in Criminal Sexual Activity)

The Grand Jury further charges:

  1. The allegations contained in paragraphs 1 through 8 of this Indictment are repeated and realleged as if fully set forth within.

  2. From at least in or about 1994, up to and including in or about 1997, in the Southern District of New York and elsewhere, GHISLAINE MAXWELL, the defendant, knowingly did transport an individual who had not attained the age of 18 in interstate and foreign commerce, with the intent that the individual engage in sexual activity for which a person can be charged with a criminal offense, and attempted to do so, and

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aided and abetted the same, to wit, MAXWELL arranged for Minor victim-1 to be transported from Florida to New York, New York on multiple occasions with the intention that Minor Victim-1 would engage in one or more sex acts with Jeffrey Epstein, in violation of New York Penal Law, Section 130.55.

(Title 18, United States Code, Sections 2423(a) and 2.)

COUNT FIVE (Perjury)

The Grand Jury further charges:

  1. The allegations contained in paragraphs 1 through 8 of this Indictment are repeated and realleged as if fully set forth within.

  2. On or about April 22, 2016, in the Southern District of New York, GHISLAINE MAXWELL, the defendant, having taken an oath to testify truthfully in a deposition in connection with a case then pending before the United States District Court for the Southern District of New York under docket number 15 Civ. 7344, knowingly made false material declarations, to wit, MAXWELL gave the following underlined false testimony:

  • Q. Did Jeffrey Epstein have a scheme to recruit underage girls for sexual massages? If you know.
  • A. I don’t know what you’re talking about.

• • •

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  • Q• List all the people under the age of 18 that you interacted with at any of Jeffrey’s properties?
  • A. I’m not aware of anybody that I interacted with, other than obviously [the plaintiff] who was 17 at this point.

(Title 18, United States Code, Section 1623.)

COUNT SIX (Perjury)

The Grand Jury further charges:

  1. The allegations contained in paragraphs 1 through 8 of this Indictment are repeated and realleged as if fully set forth within.

  2. On or about July 22, 2016, in the Southern District of New York, GHISLAINE MAXWELL, the defendant, having taken an oath to testify truthfully in a deposition in connection with a case then pending before the United States District Court for the Southern District of New York under docket number 15 Civ. 7344, knowingly made false material declarations, to wit, MAXWELL gave the following underlined false testimony:

  • Q: Were you aware of the presence of sex toys or devices used in sexual activities in Mr. Epstein’s Palm Beach house?

  • A: No, not that I recall. . .

  • Q• Do you know whether Mr. Epstein possessed sex toys or devices used in sexual activities?

  • A. No.

  • Q. Other than yourself and the blond and brunette that you have identified as having been involved in three-way sexual activities, with whom did Mr. Epstein have sexual activities?

  • A. I wasn’t aware that he was having sexual activities with anyone when I was with him other than myself.

  • Q. I want to be sure that I’m clear. Is it your testimony that in the 1990s and 2000s, you were not aware that Mr. Epstein was having sexual activities with anyone other than yourself and the blond and brunette on those few occasions when they were involved with you?

  • A. That is my testimony, that is correct.

  • Q. Is it your testimony that you’ve never given anybody a massage?

  • A. I have not given anyone a massage.

  • Q. You never gave Mr. Epstein a massage, is that your testimony?

  • A. That is my testimony.

  • Q. You never gave [Minor Victim-2] a massage is your testimony?

  • A. I never gave [Minor Victim-2] a massage.

(Title 18, United States Code, Section 1623.)

Audy Straws

AUDREY STRAUSS Acting United States Attorney

FOREPERSON

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Form No. USA-33s-274 (Ed. 9-25-58)

UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK

UNITED STATES OF AMERICA

v.

GHISLAINE MAXWELL,

Defendant.

INDICTMENT

(18 U.S.C. §§ 371, 1623, 2422, 2423(e), and 2)

AUDREY STRAUSS Acting United States Attorney

Foreperson

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