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- "page_number": "156",
- "document_number": "747",
- "date": "08/10/22",
- "document_type": "Court Transcript",
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- "full_text": "Case 1:20-cr-00330-PAE Document 747 Filed 08/10/22 Page 156 of 228 832 LC2Qmax5 - corrected Alessi - Direct 1 A. My understanding she was Ms. Maxwell's assistant. 2 Q. Anyone else you remember? 3 A. There were a couple chefs. They were cam -- they came with him, they travel with him and Ms. Maxwell. 4 5 Q. Let me pause you there. 6 If there were chefs who traveled with Mr. Epstein and 7 Ms. Maxwell, why would you need to prepare breakfast? 8 A. Sometimes I needed to prepare breakfast even when the chefs 9 were there because they were -- had the privilege to sleep 10 late, and I have to prepare breakfast at 5:00 in the morning 11 for Mr. Epstein. 12 Q. Other than chefs and Emmy Tayler, any other employees you 13 remember? 14 A. Well, my wife worked for me during that time. 15 Q. Were there any other assistants you remember working for 16 Mr. Epstein or Ms. Maxwell? 17 A. At the very end, I saw Sarah Kellen at the very end of my 18 stay there. 19 Q. About how long before you left in December of 2002 do you 20 remember Sarah Kellen starting to work for Mr. Epstein? 21 A. Couple weeks. I have very little interaction with Sarah. 22 Q. Can we pull up what's already in evidence as Government 23 Exhibit 327, Ms. Drescher? 24 Do you recognize the person in this photograph, 25 Mr. Alessi? SOUTHERN DISTRICT REPORTERS, P.C. (212) 805-0300 DOJ-OGR-00012441",
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- "content": "1 A. My understanding she was Ms. Maxwell's assistant. 2 Q. Anyone else you remember? 3 A. There were a couple chefs. They were cam -- they came with him, they travel with him and Ms. Maxwell. 4 5 Q. Let me pause you there. 6 If there were chefs who traveled with Mr. Epstein and 7 Ms. Maxwell, why would you need to prepare breakfast? 8 A. Sometimes I needed to prepare breakfast even when the chefs 9 were there because they were -- had the privilege to sleep 10 late, and I have to prepare breakfast at 5:00 in the morning 11 for Mr. Epstein. 12 Q. Other than chefs and Emmy Tayler, any other employees you 13 remember? 14 A. Well, my wife worked for me during that time. 15 Q. Were there any other assistants you remember working for 16 Mr. Epstein or Ms. Maxwell? 17 A. At the very end, I saw Sarah Kellen at the very end of my 18 stay there. 19 Q. About how long before you left in December of 2002 do you 20 remember Sarah Kellen starting to work for Mr. Epstein? 21 A. Couple weeks. I have very little interaction with Sarah. 22 Q. Can we pull up what's already in evidence as Government 23 Exhibit 327, Ms. Drescher? 24 Do you recognize the person in this photograph, 25 Mr. Alessi?",
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- "content": "SOUTHERN DISTRICT REPORTERS, P.C. (212) 805-0300",
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- "content": "DOJ-OGR-00012441",
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- "entities": {
- "people": [
- "Ms. Maxwell",
- "Mr. Epstein",
- "Emmy Tayler",
- "Sarah Kellen",
- "Mr. Alessi",
- "Ms. Drescher"
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- "organizations": [
- "SOUTHERN DISTRICT REPORTERS, P.C."
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- "dates": [
- "December 2002",
- "08/10/22"
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- "1:20-cr-00330-PAE",
- "747",
- "327",
- "DOJ-OGR-00012441"
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