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... |