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488 KB

Extraction Summary

3
People
0
Organizations
0
Locations
1
Events
1
Relationships
10
Quotes

Document Information

Type: Legal document
File Size: 488 KB
Summary

This legal document, dated December 8, 2021, is page 4 of a filing addressed to The Honorable Alison J. Nathan. It argues that testimony from Ms. Maxwell is insufficient to authenticate Deposition Exhibit 13 and Exhibit 52 for admission as evidence. The document quotes Ms. Maxwell's April 2016 testimony where she denies knowledge of the document's creation and states it was not her job to keep track of Jeffrey Epstein's contact information.

People (3)

Name Role Context
Alison J. Nathan The Honorable
Addressee of the document, likely a judge.
Ms. Maxwell
Subject of the document, whose testimony is being discussed and quoted.
Jeffrey Epstein
Mentioned in a question to Ms. Maxwell regarding keeping track of his contact information.

Timeline (1 events)

2016-04
Ms. Maxwell gave testimony or a deposition, which is quoted in this document.

Relationships (1)

Ms. Maxwell professional Jeffrey Epstein
The document quotes testimony where Ms. Maxwell denies that keeping track of Jeffrey Epstein's contact information was her job, implying a professional or working relationship where her duties were defined.

Key Quotes (10)

"How was this document created?"
Source
— Unnamed Questioner (Q) (Excerpt from Ms. Maxwell's April 2016 testimony.)
DOJ-OGR-00008268.jpg
Quote #1
"I don’t know how this document was created."
Source
— Ms. Maxwell (A) (Excerpt from Ms. Maxwell's April 2016 testimony.)
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Quote #2
"You were involved in the creation of this document?"
Source
— Unnamed Questioner (Q) (Excerpt from Ms. Maxwell's April 2016 testimony.)
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Quote #3
"I think you can see from the date that it’s 2004, 2005, so no."
Source
— Ms. Maxwell (A) (Excerpt from Ms. Maxwell's April 2016 testimony.)
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Quote #4
"Did you ever have to keep track of address or phone contact information for Jeffrey Epstein?"
Source
— Unnamed Questioner (Q) (Excerpt from Ms. Maxwell's April 2016 testimony.)
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Quote #5
"That was not my job."
Source
— Ms. Maxwell (A) (Excerpt from Ms. Maxwell's April 2016 testimony.)
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Quote #6
"Did you ever do it?"
Source
— Unnamed Questioner (Q) (Excerpt from Ms. Maxwell's April 2016 testimony.)
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Quote #7
"I am not responsible for keeping his numbers so that wasn’t my job at all."
Source
— Ms. Maxwell (A) (Excerpt from Ms. Maxwell's April 2016 testimony.)
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Quote #8
"Do you know how this book was created?"
Source
— Unnamed Questioner (Q) (Excerpt from Ms. Maxwell's April 2016 testimony.)
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Quote #9
"No."
Source
— Ms. Maxwell (A) (Excerpt from Ms. Maxwell's April 2016 testimony.)
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Quote #10

Full Extracted Text

Complete text extracted from the document (1,299 characters)

Case 1:20-cr-00330-PAE Document 532 Filed 12/09/21 Page 4 of 8
The Honorable Alison J. Nathan
December 8, 2021
Page 4
For her part, Ms. Maxwell wasn’t even shown a book, let alone a book that was either two inches thick or 1/4 inch thick. She was shown photocopies of pages from something, the origin of which no one knows.
Second, even if Deposition Exhibit 13 was the same as Exhibit 52 (which it isn’t), Ms. Maxwell’s testimony about Exhibit 13 is insufficient to authenticate or lay the foundation for the admission of Exhibit 52. Ms. Maxwell expressly and repeatedly disclaimed any knowledge of who created Deposition Exhibit 13, when it was created, and whether it was a complete and accurate copy of whatever it was copied from:
Q. How was this document created?
A. I don’t know how this document was created.
April 2016 TR, p 312.
Q. You were involved in the creation of this document?
A. I think you can see from the date that it’s 2004, 2005, so no.
Id. at 313
Q. Did you ever have to keep track of address or phone contact information for Jeffrey Epstein?
A. That was not my job.
Q. Did you ever do it?
A. I am not responsible for keeping his numbers so that wasn’t my job at all.
Id. at 314.
Q. Do you know how this book was created?
A. No.
Id. at 317.
DOJ-OGR-00008268

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