{ "document_metadata": { "page_number": "38", "document_number": "17-295", "date": "07/26/17", "document_type": "transcript", "has_handwriting": false, "has_stamps": false }, "full_text": "Censor & Associates Reporting and Transcription, Inc. Page 38 1 A. Yes. 2 Q. Was that the truth? 3 A. No. 4 Q. In fact, you went to right? 5 A. Yes. 6 Q. So you lied to Mr. Epstein again, correct? 7 A. Yes. 8 Q. Is Wellington the college that you told Jeff's assistant that you were attending? 9 10 A. I don't remember having that conversation 11 with her, so I wouldn't know if that's what I said. 12 Q. That was a lie, though, wasn't it? 13 14 MR. LEOPOLD: Objection to the form of the 15 question, lack of foundation. You're making an 16 assumption. She just answered you she can't tell 17 you that. 18 MR. TEIN: Speaking objection. And you 19 well know that, Mr. Leopold. 20 MR. LEOPOLD: She can't answer that 21 question. The way you phrased that question, 22 you're purposely making her not be honest in her 23 testimony. She can't answer a question like that. 24 She doesn't remember. So then you say, \"So you 25 were lying.\" That's improper and you know that. 26 That's not a proper question. And any attorney 27 Ph. 561.682.0905 - Fax. 561.682.1771 28 1655 Palm Beach Lakes Blvd., Suite 500 - West Palm Beach, FL 33401 29 07/26/17 Page 2713 Public Records Request No.: 17-295 DOJ-OGR-00033026", "text_blocks": [ { "type": "printed", "content": "Censor & Associates Reporting and Transcription, Inc.", "position": "header" }, { "type": "printed", "content": "Page 38", "position": "header" }, { "type": "printed", "content": "1 A. Yes. 2 Q. Was that the truth? 3 A. No. 4 Q. In fact, you went to right? 5 A. Yes. 6 Q. So you lied to Mr. Epstein again, correct? 7 A. Yes. 8 Q. Is Wellington the college that you told Jeff's assistant that you were attending? 9 10 A. I don't remember having that conversation 11 with her, so I wouldn't know if that's what I said. 12 Q. That was a lie, though, wasn't it? 13 14 MR. LEOPOLD: Objection to the form of the 15 question, lack of foundation. You're making an 16 assumption. She just answered you she can't tell 17 you that. 18 MR. TEIN: Speaking objection. And you 19 well know that, Mr. Leopold. 20 MR. LEOPOLD: She can't answer that 21 question. The way you phrased that question, 22 you're purposely making her not be honest in her 23 testimony. She can't answer a question like that. 24 She doesn't remember. So then you say, \"So you 25 were lying.\" That's improper and you know that. 26 That's not a proper question. And any attorney", "position": "main" }, { "type": "printed", "content": "Ph. 561.682.0905 - Fax. 561.682.1771 1655 Palm Beach Lakes Blvd., Suite 500 - West Palm Beach, FL 33401 07/26/17 Page 2713 Public Records Request No.: 17-295 DOJ-OGR-00033026", "position": "footer" } ], "entities": { "people": [ "Mr. Epstein", "Jeff", "Mr. Leopold", "Mr. Tein" ], "organizations": [ "Censor & Associates", "Wellington" ], "locations": [ "West Palm Beach", "FL" ], "dates": [ "07/26/17" ], "reference_numbers": [ "17-295", "DOJ-OGR-00033026" ] }, "additional_notes": "The document is a transcript of a deposition or testimony. It appears to be a page from a larger document. The text is typed, and there are no handwritten notes or stamps visible on the page. The document contains a blacked-out section, likely redacted for privacy or confidentiality reasons." }