DOJ-OGR-00011852.json 3.7 KB

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  4. "document_number": "743",
  5. "date": "08/10/22",
  6. "document_type": "Court Transcript",
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  10. "full_text": "Case 1:20-cr-00330-PAE Document 743 Filed 08/10/22 Page 80 of 247 208 LBUCmax3 Visoski - cross 1 A. Sure. 2 Q. But even if you weren't told all the names or you didn't 3 have all the names, you did try to keep track of how many 4 people were on the plane; right? 5 A. That's correct. 6 Q. Because as you mentioned before in testimony, pilots need 7 to fill out a passenger manifest for each flight; right? 8 A. They don't have to on general aviation. It was more for 9 weight and balance. It was my understanding we kept passenger 10 information more for tax reasons on who flew on the aircraft in 11 the early days. Might not be the case at this point, but we 12 still tried to keep as accurate records, if we could, even if 13 it wasn't necessary. 14 Q. Fair enough. So but you did try to keep passenger 15 manifests for flights on Epstein's planes? 16 A. Absolutely, yes. 17 Q. And a manifest, I think you described, among other things, 18 contains the list of the passenger names if you have them; is 19 that right? 20 A. That's correct. 21 Q. And if you didn't know their names, you might put in 22 something like one female or one male or one passenger to note 23 a named passenger? 24 A. Exactly. We tried to at least identify the sex rather than 25 just put one passenger. So that's why we had put male or SOUTHERN DISTRICT REPORTERS, P.C. (212) 805-0300 DOJ-OGR-00011852",
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  19. "content": "1 A. Sure. 2 Q. But even if you weren't told all the names or you didn't 3 have all the names, you did try to keep track of how many 4 people were on the plane; right? 5 A. That's correct. 6 Q. Because as you mentioned before in testimony, pilots need 7 to fill out a passenger manifest for each flight; right? 8 A. They don't have to on general aviation. It was more for 9 weight and balance. It was my understanding we kept passenger 10 information more for tax reasons on who flew on the aircraft in 11 the early days. Might not be the case at this point, but we 12 still tried to keep as accurate records, if we could, even if 13 it wasn't necessary. 14 Q. Fair enough. So but you did try to keep passenger 15 manifests for flights on Epstein's planes? 16 A. Absolutely, yes. 17 Q. And a manifest, I think you described, among other things, 18 contains the list of the passenger names if you have them; is 19 that right? 20 A. That's correct. 21 Q. And if you didn't know their names, you might put in 22 something like one female or one male or one passenger to note 23 a named passenger? 24 A. Exactly. We tried to at least identify the sex rather than 25 just put one passenger. So that's why we had put male or",
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  24. "content": "SOUTHERN DISTRICT REPORTERS, P.C. (212) 805-0300",
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  29. "content": "DOJ-OGR-00011852",
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  33. "entities": {
  34. "people": [
  35. "Epstein"
  36. ],
  37. "organizations": [
  38. "SOUTHERN DISTRICT REPORTERS, P.C."
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  40. "locations": [],
  41. "dates": [
  42. "08/10/22"
  43. ],
  44. "reference_numbers": [
  45. "1:20-cr-00330-PAE",
  46. "743",
  47. "DOJ-OGR-00011852",
  48. "(212) 805-0300"
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