New

location 27 mentions 60% confidence

Also known as: NEW

Document Mentions (27)

Document Volume Page Context
1320-12.pdf - 17 gs 21 every now and then. 22 THE WITNESS: Okay. 23 BY MS. McCAWLEY: 24 Q. So you mentioned that you traveled to New 25 York. If you turn to page -- fl...
1320-12.pdf - 90 ne? 7 A. No. 8 Q. Ecstasy? 9 A. No. 10 Q. Heroin? 11 A. No. 12 Q. When was the second trip you took to New 13 York? 14 A. Later. Maybe 2005. I don't k...
1320-12.pdf - 92 Page 91 1 BY MS. MENNINGER: 2 Q. If you asked him to buy a ticket to New 3 York, that might be something that he would do? 4 A. I never asked him to d...
1320-12.pdf - 121 just 4 asking. 5 Did Virginia say anything to you about 6 having met Prince Andrew before this time in New 7 York? 8 MS. McCAWLEY: Objection. 9 THE WI...
1320-12.pdf - 124 any of the famous people? 11 A. Only Dershowitz came up. 12 Q. Did you two talk about the incident in New 13 York with the puppet? 14 A. I don't recal...
1327-29.pdf - 30 just 4 asking. 5 Did Virginia say anything to you about 6 having met Prince Andrew before this time in New 7 York? 8 MS. McCAWLEY: Objection. 9 THE WI...
146.pdf - 55 word that best describes everything abo_ut the case against Epstein, 54, an enigmatic money mana~er in New Y orkCity who counts Bill Cli_nton, ancl Do...
153.pdf - 64 civil lawsuits and one in state co.urt related to- his behavior. At least one ,vomafi has sued him in New Y oik, whe_re .he owns a. Sl,000-squ.are-foq...
166.pdf - 37 e resi_d,enc:e. in .IVlanhattan, is orily a piece of the.extravagant worl¢ Epstein built 9ver time. In New.Mexico, he cpnstruc:te.d a 27,000-square-fo...
166.pdf - 138 t private. residence in Manhattan, is only a: piece of theextravagantworld Epstein built over time. In New.Mexico1 he constructed a 27,000-square-foot...
166.pdf - 139 appearances, they did not become close friends until after Clinton left th_e Oval Office and moyed to New Y<>rk. ,Epstein ;has donated more than $100,...
171.pdf - 152 Epstein's:house in Palm Beach. •• While.heartened that Epsteih.hoWfaces serious criinina:1 charges in New: York, Cassell said he would conti'nue to pu...
EFTA00008631.pdf VOL00006 28 she also sometimes fly commercially? A. Yes, she did. Q. Was Maxwell sometimes present on the trips to New A. Yes. 99 Q. You testified earlier that wa...
EFTA00008920.pdf VOL00006 28 she also sometimes fly commercially? A. Yes, she did. Q. Was Maxwell sometimes present on the trips to New A. Yes. Q. You testified earlier that was s...
EFTA00009016.pdf VOL00007 35 nd on, I was in Washington. They -- you know, 18 Ken Starr was in Washington. I think III had moved to New 19 York but then came back to Washington to...
EFTA00009632.pdf VOL00007 3 exact, and -- 18 Q And where is his primary residence? 19 A His primary residence, he has an office in New 20 York, but his primary residence I believ...
Interview Transcript - Maxwell 2025.07.24 (Redacted) (1).pdf - 31 don't know, were you in New York on 9/11? I mean, 8 9/11 ... 9 And it was a scary time if you were in New 10 York. You didn't know, I didn't know, nob...
Interview Transcript - Maxwell 2025.07.24 (Redacted) (2).pdf - 31 don't know, were you in New York on 9/11? I mean, 8 9/11 ... 9 And it was a scary time if you were in New 10 York. You didn't know, I didn't know, nob...
Interview Transcript - Maxwell 2025.07.24 (Redacted) (3).pdf - 31 don't know, were you in New York on 9/11? I mean, 8 9/11 ... 9 And it was a scary time if you were in New 10 York. You didn't know, I didn't know, nob...
Interview Transcript - Maxwell 2025.07.24 (Redacted) (4).pdf - 31 don't know, were you in New York on 9/11? I mean, 8 9/11 ... 9 And it was a scary time if you were in New 10 York. You didn't know, I didn't know, nob...
Interview Transcript - Maxwell 2025.07.24 (Redacted) (5).pdf - 31 don't know, were you in New York on 9/11? I mean, 8 9/11 ... 9 And it was a scary time if you were in New 10 York. You didn't know, I didn't know, nob...
Interview Transcript - Maxwell 2025.07.24 (Redacted) (6).pdf - 31 don't know, were you in New York on 9/11? I mean, 8 9/11 ... 9 And it was a scary time if you were in New 10 York. You didn't know, I didn't know, nob...
Interview Transcript - Maxwell 2025.07.24 (Redacted).pdf - 31 don't know, were you in New York on 9/11? I mean, 8 9/11 ... 9 And it was a scary time if you were in New 10 York. You didn't know, I didn't know, nob...
Interview Transcript - Maxwell 2025.07.24-cft (Redacted) (1).pdf - 9 don't know, were you in New York on 9/11? I mean, 8 9/11 ... 9 And it was a scary time if you were in New 10 York. You didn't know, I didn't know, nob...
Interview Transcript - Maxwell 2025.07.24-cft (Redacted).pdf - 9 don't know, were you in New York on 9/11? I mean, 8 9/11 ... 9 And it was a scary time if you were in New 10 York. You didn't know, I didn't know, nob...
Interview Transcript - Maxwell 2025.07.25 (Redacted).pdf - 106 - I don't recollect, anyway, ever 8 seeing them in any other context. 9 I don't remember him at his house in New 10 York. Like I said, I don't believe...
Interview Transcript - Maxwell 2025.07.25-cft (Redacted).pdf - 28 - I don't recollect, anyway, ever 8 seeing them in any other context. 9 I don't remember him at his house in New 10 York. Like I said, I don't believe...