Condensed Transcript IN THE CIRCUIT COURT OF THE FIFTEENTH JUDICIAL CIRCUIT IN AND FOR PALM BEACH COUNTY, FLORIDA CIVIL DIVISION Plaintiff, CASE No. 502008CA028051XXXXMB AB JEFFREY EPSTEIN, Defendant. DEPOSITION OF LOUELLA RABUYO VOLUME I October, 20, 2009 10:10 a.m. 515 N. Flagler Drive Suite 200-P West Palm Beach, Florida 33401 Reported By: Teresa Whalen, RPR, FPR, Notary Public, State of Florida Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard E S [ iT RE Palm Beach Gardens, FL 33410 www.esquiresolutions.com an Alexandes Galle Company EFTA00181472

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Louella Rabuyo - Volume I 1 IN THE CIRCUIT COURT OF THE PIFTEENTH JUDICIAL CIRCUIT IN AND POR PALM BREACH COUNTY, FLORIDA CIVIL DIVISION CASE No. SO02008CA02H052XXXXMR AR Plaintif€, JEFFREY EPSTEIN, Defendant. DEPOSITION OF LOUELLA RABUYO October 20, 2009 APPEARANCES: On behalf of the Defendant: ROBERT D. CRITTON, JR., ESQUIRE BURMAN CRITTON LUTTIER & COLEMAN, LLP 303 Banyan Boulevard, Suite 400 West Palm Beach, Florida 33401 Phone: 561.842.2820 ‘On behalt of Plaintiff L.M.: BRADLEY J. EDWARDS, ESQUIRE CARA L. HOLMES, ESQUIRE youume ROTHSTEIN ROSENFELOT ADLER Tuesday, October, 20, 2009 10:20 - 3:30 p.m $15 N. Plegler Drive, Suite 200-P . West Palm Beach, Florida 33401 im BRUCE E. E LAW OFFICE OF BRUCE E. Reported By: 250 S. Australian Avenue, Suite 1400 Teresa Whalen, RPR, PPR West Palm Beach, Florida 33401 Notary Public, State of Florida Phone: 202.6360 West Palm Beach Office Job #116993 k 561-208-6300 ‘On behalf of Defendants/Jane Does 2 - & STUART S. MERMELSTEIN, ESQUIRE MERMELSTEIN & HOROWITZ, PA. 18205 Biscayne Boulevard, Suite 2218 Miami, Florida 33160 Phone: 305.931.2200 On behalt of Plaintiff in related Case No. 08-80611 JACK HILL, ESQUIRE (Partially via speakerphone) SEARCY, DENNEY, SCAROLA, BARNHART & SHIPLEY 2139 Palm Beach Lakes Boulevard ‘West Palm Beach, Florida 33409 Phone: 561.686.6300 2 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE No.08-CV-80119-CIV-MARRAJOHNSON JANE DOE NO. 2, Plainitt, S- JEFFREY EPSTEIN, LOUELLA RABUYO Defendant. WITNESS: DIRECT CROSS REDIRECT RECROSS BYMR. EDWARDS: 5 BY MR. MERMELSTEIN: BY MR. HILL: 156 BY MR. CRITTON: DEPOSITION OF LOUELLA RABUYO VOLUME | Tuesday, October 20, 2009 10:10 - 3:30 p.m. 515 N. Flagler Drive, Suite 200-P- West Palm Beach, Florida 33401 EXHIBITS NUMBER DESCRIPTION PAGE DEFENDANT'S EX. 1 COPIES, COMPOSITE PHOTOGRAPHS 103 DEFENDANT'S EX. 2 COMPOSITE PHONE MESSAGE BOOK 147 DEFENDANT'S EX. 3 COPY OF PHOTOGRAPH 162 Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard E S QU I RE Palm Beach Gardens, FL 33410 an Alesaader Galle Company www.esquiresolutions.com EFTA00181474

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Louella Rabuyo - Volume I 5 PROCEEDINGS 1 3 Deposition taken before Teresa Whalen, 4 Registered Professional Reporter, Florida 5 Professional Reporter, and Notary Public in and for 6 7 8 9 the State of Florida at Large, in the above cause. Thereupon, worms nnewvne (LOUELLA RABUYO) having been first duly sworn or affirmed, was examined 11 and testified as follows: THE WITNESS: | do. 13 DIRECT EXAMINATION 14 MR. EDWARDS: Does anyone want to put on the 15 record what case this is being taken in? | noticed 16 it in LM. versus Epstein. | don't know if anybody 17 Cares to say who your clients are, what the case 18 Style is or anything else for when she types it up. 19 MR. MERMELSTEIN: | don't have a problem with 20 that. Are we doing initials? 20 21 MR. EDWARDS: Yeah. Initials. 21 22 MR. MERMELSTEIN: Okay. 22 BY MR. EDWARDS: Q Allright. Will you state your name for the record. 6 1 A Louella Rabuyo. 2 Q_ And what's your current address? 3 A 904 Summer Street, Lake Worth. 4 Q Allright. How long have you lived at 904 5 Summer Street? 6 7 8 9 A About two years. Q Two years. Where did you live prior to 904 Summer Street? A_ In Palm Ridge Apartment, that's in Mango Drive. Q_ How long did you live there? A About a year. Q Allright. Where did you live prior to that, the Palm Ridge Apartment? 15 A_ Ina townhouse in West Palm Beach. 16 Q_ Okay. How long did you live in the townhouse in West Palm Beach? A Less than a year. Q_ Have you ever lived at Jeffrey Epstein's location of 358 El Brillo Way? No, sir, Where are you currently employed? Mr. Epstein. And what address do you report to work? 358 El Brillo Way. ESQUIRE an Alesaader Galle Company rs) w >oOoro>,r October 20, 7 Q_ How long have you been employed by Mr. Epstein? It will be five years this November 17th. So you started November 17th, 20047 Yes, sir. And how did you get hired by Mr. Epstein? Through an agency. What agency? It's Regal Domestics. = . Epstein for? Housekeeper. z O>F>ZO>O0FO0>0> that name? A Yes. Q_ And that person, | believe he represented that he was also maybe a house manager. |!s that correct? A Correct. Q Would he have been, at some point in time, your boss or your superior? A Yes. Q_ That's somebody who you answered to, Alfredo Rodriguez? A (Nodding head). Sometimes -- 8 > You have to say yes or no, you can't nod your head. BY MR. EDWARDS: Q Yes? A Yes. MR. CRITTON: No, no. She said sometimes, then you put yes in her mouth. MR. EDWARDS: | didn't put anything in her mouth, | don't want the record - MR. CRITTON: Let me take it back. You said yes, but she started to say something before she was interrupted. BY MR. EDWARDS: Q That's fine, You can answer the question, then we'll instruct you on the deposition. MR. BEEING: Did you want to explain that further? THE WITNESS: Because we were supposed to work together, but he was bossy, he was bossy. BY MR. EDWARDS: Q Okay. Have you ever had your deposition taken before like this? A No. Q Allright. Well, there is one court reporter, and it's very easy in casual conversation to nod your And what was your position that you were hired We've taken the deposition of another witness in this case, Alfredo Rodriguez. Are you familiar with Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Paim Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181475

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Louella Rabuyo - Volume I OCweiwtinnewne 9 head or shake your head, and she can't take that down. A Allright. Q It's also very easy to say uh-huh or huh-uh, but it kind of looks the same on paper, so you can't do that either. I'm going to wait until you finish your answer, and you have to wait until | finish my question, because if we talk over one another, then the court reporter can't get it down. A Okay. Yes, sir. Q Allright. So if you don't understand the question, tell me you don't understand and I'll try to ask a better question. A Yes. Q Okay. So you were hired in November of 2004 to be the housekeeper for Mr. Epstein? A Yes. Q_ And when you were hired, who exactly hired you, who -- let me strike that. When you were hired to be the housekeeper for Mr. Epstein, who did you interview with? A Ms. Maxwell. Q Is that Ghislaine Maxwell or just Laine Maxwell? A Ghislaine Maxwell, Q_ And where did the interview take place? 10 A At358 El Brillo Way. Q And what did Ms. Maxwell and you speak about prior to your being hired as the housekeeper? A My duties. Q_ And what did she tell you your duties would be? A To tidy, to make beds, do laundry. Q_ Did she tell you what would take place in the house on a day-to-day basis? A No. Q_ So going into that position, you had no idea who the guests would be or who the people coming in the house would be, or what would generally go on? A Can you simplify the question? Q Sure. When you talked about with Ghislaine Maxwell at this interview, your duties being you would make the bed and tidy up, did she also tell you that there would be a lot of guests, there would be a few guests, did she talk to you about that at all? A She mentioned that if there are guests, we have to, like, you know, prepare the room, and, what's this, attend to the guests. Q_ And what did you understand that to mean that you have to attend to the guests? A You have to prepare the room and see to it 2 | ESQUIRE an Alexander Galle Company ee FOwoewnu eww re October 20, 2009 11 that it's clean and appropriately, what's this... Q And as | understand this property, there is a main house and then there's also a staff house on the Property; is that right? A Yes, sir. Q_ And when the guests would come over, would you stay in the main house, or would you go to the staff house? MR. BE Can we get a time trame to the question? BY MR. EDWARDS: Q Over the last five years while you worked there. A | usually stay in the staff house and do the laundry, then I go to the kitchen and then tidy the kitchen. Q_ You were hired in November of 2004, and what were your hours that you worked there back in November of 2004 when you were hired? A Eight to five, Q How many days a week? A Depends. Q How would the schedule be relayed to you? A When Mr. Epstein is there, then I'm supposed to report, but usually it's five days a week. 12 Q > Soam/| correct in understanding that there was one schedule when Mr. Epstein was in town, and the schedule may be a little bit different if Mr. Epstein was out of town? A Yes, sir. Q Allright. Tell me the differences when Mr. Epstein is in town versus when Mr, Epstein was not in town. A It he stays like three or four days, then I'm supposed to be there, and then the house is to be cleaned. And then when they do not come, then | can either go there, or I'm given free days off. Q_ Three days off? A No. A free day. Q Ob, okay. But typically back in 2004 when you were hired, you worked an average of about five days a week; is that correct? A Yes. Q Allright. And | guess by the way that you're explaining it, if Mr. Epstein was in town for a longer period of time, you may work more than five days, and if Mr. Epstein was not in town, you may work less than five days? A Yes. Q Okay. Did you ever talk to Mr. Epstein prior Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181476

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Louella Rabuyo - Volume I = FOMUumuannewne to being hired? A_ No, sir. Q_ Where did this meeting, within the house where A_ Inthe living room. Q_ Aside from telling you that you were going to be required to make the beds and just generally tidy up, did she specify anything else that you would be required to do? A No. Q_ Where had you worked prior to working for Mr. Epstein? A_ | work as a certified nursing assistant. Q Where? A Atthat time | was doing private duty. Q_ How long have you been a certified nursing assistant? A_ Since about ten years. Q_ And what made you change professions from being a certified nursing assistant to be a housekeeper for Mr. Epstein? A The agency called me that there is an interview; if | like, | go to, so that's how it started, Q_ And when you went to the interview, obviously you're going to this very big house and you talked to 14 Ghislaine Maxwell, right? A Yes. Q_ And did you decide right then that you liked this and that you were going to change professions and you were going to be his housekeeper? A No. Q Okay. Then walk me through that, how did you go about eventually accepting the position? A_ | didn't expect to be hired, because there were other interviewers (sic), interview people that were to be interviewed. Q Okay. A And then | receive a call from Ms. Maxwell if | like, | can do a try-out. Q = Okay. Did she tell you how long this try-out period would last? A No. Q_ And what did you tell her when she made that offer for you to try out? A I told her that | am still taking care of this patient, so she said if you like, you can come Saturday and try it. Q = Okay. And what did you tell her, did you accept that? A Yes, | did. ESQUIRE an Alenaader Gallo Company wer nnewn October 20, 2009 is Q Did she tell what you would be paid at that time? A Not yet. Q_Did you show up that Saturday? | guess that's November 17th of 2004? A No, that's not. Q_ No. Was it prior to November 17th of 2004, or after? A Atter. Q Okay. The interview that you first went to was November 17th, 2004 with Ms. Maxwell; is that the date that you gave us? A_ | cannot remember. Q_ The only reason I'm using that date Is | believe the question | asked was when did you start working for Mr. Epstein, and | thought the date that you gave me was November 17th, 2004. A Yes. Q Okay. And in the course of this whole thing, it sounds like you interviewed with Ghislaine Maxwell, there were other interviewees, you received a call and you were asked to try out on a Saturday? A Yes. Q_ And where does that Saturday fall in related to November 17th, 2004? 16 A When | accepted the job offer. Q Okay. And did they tell you at that time when you accepted the job offer how much you were going to be paid? Yes. What was that? It was 32,000 per annum. And has your salary increased over time? Yes, sir. And can you walk us through the increments of increase in your salary? A it was promised yearly increase. Q By whom? A Ms. Maxwell. Q_ Was that at the time when you were interviewed, or took the job? A Yes, sir. Q_ Did she promise you what your yearly increase would be? A No. Q And have you received a yearly increase every year? A Idid. Q_ And what has that yearly increase been? A Upto 42. Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181477

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Louella Rabuyo - Volume I wemrrwrnnewne Q Today? A Yes. Q_ So you're making $42,000 today, and that's the most that you've made over the five-year period you've worked for Mr. Epstein? A Yes, sir. Q Atthe time when you - when we took Alfredo Rodriguez's deposition, he described you as a very religious Catholic woman. Does that accurately describe you? MR. CRITTON: Let me just object to the form. ur. a: You can answer the question if you understood it. THE WITNESS: | am a Catholic and | go to mass. BY MR. EDWARDS: Is that something you go to regularly? If | have time, | go regularly. When do you normally go to mass? Sunday masses and weekdays. How many weekdays? If can, every day. And in the five-year period that you've worked for Mr. Epstein, have you tried to go every day if you could? 18 A No. Q ina typical week would you normally go on Sunday to mass? A Yes, sir. Q And how many days during the week will you also attend mass? A If the schedule permits, then | go, but if not, then | don't go. Q_ Sois there a way that you could give me an average of how many times a week that you go during the week to mass? A This time? Q Right. Yeah. | guess today, these days. A lattend Sunday masses only. Q And back in 2004, when you first started with Mr. Epstein? A_ I tried to go if | have the time, sir. Q_ Was there ever a time that you went every day? A No. Q But your testimony is that if time permitted, you tried to go every day? A Yes. Q_ ts there a reason why now these days you only attend on Sundays? A Because my time schedule has changed. ESQUIRE an Alexander Galle Company we erwtinuv evn October 20, 2009 19 Q > Okay. So let's talk about that. Back in November of 2004, you were to working 8:00 a.m. to 5:00 p.m. And when did that schedule change from 8:00 5:00? A When? When the house was renovated. Q When was that, do you remember the year? A 2006. Q Okay. MR. CRITTON: I'm sorry. ‘06? THE WITNESS: ‘06. BY MR. EDWARDS: Q_ So from November 2004 through ‘06, I'm correct in presuming that your schedule was an average of five days a week from 8:00 a.m. to 5:00 p.m.? A Atthat time | go nine o'clock, | go to the house at nine o'clock. Q Starting in 2006? A Yes. Q So when your schedule changed from 8:00 to 5:00, in 2006 you started going to the house, Jeffrey Epstein's house, at nine o'clock? Yes, sir. And you would stay until what time? Sometimes 5:00, sometimes later, 5:30. Would that depend on what needed to be done? 20 A Yes. Q_ How have you received your money, has it been by check, by cash, in terms of payment from Mr. Epstein? A_ It's directly deposited to my bank. Q_ Do you know who directly deposits your money? A Who? Q Yeah, Whether it's Ghislaine Maxwell or a corporation or Jeffrey Epstein, do you know who the direct depositor is of your check? MR. CRITTON: Form. THE WITNESS: Mr. Epstein, BY MR. EDWARDS: Q Okay. Over the five years that you have been working at Mr. Epstein's house, how many conversations have you had directly with Mr. Epstein? A What's this, what year? Q Well, in the last five years, how many conversations have you had directly with Mr. Epstein? MR. CRITTON: Form. THE WITNESS: The past year it's just good morning, how are you, you're doing a good job. BY MR. EDWARDS: Q Okay. How was it prior to that, did you talk to him more? A This time more. Toll Free: 866.709.8777 Facsimile; 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181478

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Louella Rabuyo - Volume I 21 Q Now you talk to him more? A Because | serve him breakfast, so... Q Andis that an additional responsibility that you didn't have before? A Yes. Q In the five-year period that you've worked there, can you name for me all of the other employees who have worked at the Jeffrey Epstein house? A After Alfredo Rodriguez left, there was Jerome, the gardener, and now it's Yanusz, Q And those are the house managers? A Yes. Q_ And then you work there? A Right. Q Aside from yourself, Jerome, and Janusz, was there anybody else that you can remember working at the house in the past five years in any position? Yes. Who else? oe: Yes. What does she do there? She's the personal assistant. Personal assistant to whom? 22 ems nn ek wne A Q I A Q A a A Mr. Epstein. Q And as his personal assistant, what have you observed her to do for him? A Can you rephrase your question? Q can try. You said that she's his personal assistant. What does that mean, what does she do? A Order things that | need, or, what's this. Q Soit's your testimony that [EE has been, for the past five years that you've worked there, has been somebody that you have observed to order things that you need? A If |need something, then | go to ask EE. Q Okay. What other things have you seen HE 0 for Mr. Epstein? A_ | have not, that's the only thing | know. Q Who told you that EE is Mr. Epstein’s personal assistant? Coworker. Who is that? In New York, What's that person's name? Lyn. Lyn who? Fontanilla. 1s that Jojo's wife? ESQUIRE a0 Alexander Galle Company wrrwnne wn wNNRPPPPPPPPrPPrP.E wnerowPmPysDuU &wNeH OO October 20, 2009 23 A Yes. Q When did you talk to Lyn Fontanilla about A It was just through the conversation. Q_ What would cause you to be in a conversation with this person in New York? MR, CRITTON: Form, THE WITNESS: She calls me, | call her. BY MR. EOWARDS: Q You're friends? A Yes. Q_ Do you still talk to her today? A Yes. Q_ And does she work for Mr. Epstein as well, to your knowledge? A She does. Q_ And does Jojo, her husband, also work for Mr. Epstein as well? Yes, sir. Where do they work? In New York. At Mr. Epstein's house in New York? Yes, sir. And have you talked with them about your duties and has she talked to you about her duties? 24 A Yes, sir. Q And your duties are similar to Lyn’s duties in New York? A No. Because that's a bigger house than... Q Palm Beach? A Yes, sir. Q Is it your understanding that -- you know, we're going to get into the past two years where Mr. Epstein has either been in jail or he's been on house arrest in Palm Beach, so I'm going to ask you first for the first three years that you worked there and Mr. Epstein was traveling, was Mr. Epstein spending the majority of his time in Palm Beach or in New York or elsewhere, if you know? A He comes -- we don't know the schedule, we receive a call, then we prepare, he's coming. Q You say we receive a call. Who receives the call? A Either Alfredo or Janusz. Q_ Depending on who the house manager is at the time? A Yes. Q_ And the call comes from whom, from Ghislaine or from Jeffrey Epstein? A I don't know. Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181479

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Louella Rabuyo - Volume I 25 Q Okay. What's your understanding of Lyn's role in Jeffrey Epstein's life up in New York? A She's housekeeper, too. Q_ And your understanding of Jojo's role? A Adriver. Q_ Does he also serve as a house manager, similar to the way Alfredo Rodriguez was in Palm Beach? A No. Q When you say a driver, who does he drive, if you know? A Mr. Epstein. Q Allright. Mr. Epstein obviously hasn't been in New York for quite some time; isn’t that your understanding? A Yes. Q So Jojo's still employed up in New York as a driver for Mr. Epstein, right? A He also does housework, helps Lyn. Q_ Have you discussed with Lyn whether or not young girls visit the house in New York? MR. CRITTON: Form. MR. [BE You can answer that. BY MR. EDWARDS: Q_ He didn't like the form of my question so he's able to object, but you can still answer. 26 MR. [ER You can still answer if you understand the question. THE WITNESS: No. BY MR. EDWARDS: Q You've never talked to Lyn about young girls being in the house in New York? A When the news came up, so that's how we talked. Q_ What do you mean, when the news came up? A Whenever there was something on the news on TV, then that's how we come to talk about it. Q Okay. When you say something came on the news, you're talking about in terms of a criminal investigation of Mr. Epstein? MR. CRITTON: Form. THE WITNESS: Criminal? BY MR. EDWARDS: Q Well, you realize that Mr. Epstein went to jail, right? A Yes. Q_ And that was after pleading guilty to some crimes. You realize that, right? MR. CRITTON: Form. BY MR, EDWARDS: Q_ | mean, that's why you go to jail. 2 ESQUIRE aa Alexander Galle Company wenn ewun October 20, 2009 27 MR. CRITTON: Form. BY MR. EDWARDS: Q You realize that? MR. [EE 0 you understand his question? BY MR. EDWARDS: Q Do you understand my question? MR. [RE Do you know that is what he's asking you? THE WITNESS: Yes. MR. [SB | think the question was do you know whether or not Mr. Epstein pled guilty to crimes. Was that the question? MR. EDWARDS: Sure. MR. CRITTON: That was not his question. BY MR. EDWARDS: Q Okay. Well, do you realize that Mr. Epstein pled guilty to crimes? A Plead guilty? From the news. Q Okay. So when you say you saw the news, which is where this portion of our discussion began, are you referring to the news related to Mr. Epstein and the charges, the criminal charges or criminal investigation surrounding him; is that the news you're talking about? A Yes. 28 Q_ Okay. So when that came out are we talking about 2005, 2006, something in that area? MR. CRITTON: Form. BY MR. EDWARDS: Q Is that the first time you remember seeing the news on that subject? MR. CRITTON: Form. THE WITNESS: | cannot remember. BY MR. EDWARDS: Q Allright. Whenever it was, you talked to Lyn about that? A No. | don't usually talk about it. She calls and how are you doing, then oh, like that. Q = Okay. And what was the discussion as It related to girls in either the New York house or the Paim Beach house between yourself and Lyn? MR, CRITTON: Form. THE WITNESS: She talks to me when she read in the news or she saw on the computer. BY MR. EDWARDS: Q Okay. And does she tell you about young girls being in the New York house? MR. CRITTON: Form. THE WITNESS: She did not. Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions,com EFTA00181480

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Louella Rabuyo - Volume I oe Few mawunneuw ne 29 BY MR. EDWARDS: Q Okay. Have you talked to Jojo about that? MR. CRITTON: Form. THE WITNESS: No. BY MR. EDWARDS: Q_ In working there for five years, at least the time period prior to Mr. Epstein going to jail, while you were there you recognized a lot of young girts in the house, right? MR. CRITTON: Form, predicate, THE WITNESS: Young girls? BY MA. EDWARDS: Q Are you asking - A They are females. Where did the females come from, did you know? | don't know. Do you know why they were at the house? For massage. MR. CRITTON: Form. BY MR. EDWARDS: Q When is the first time that you heard about females coming to Mr. Epstein's house for massages? A Maybe two weeks after | started working. Q Allright. So if you started November 17th of 2004, then sometime around early December of 2004, you 30 heard about young girls or girls coming to Mr. Epstein's house for the purposes of giving him a massage? MR, CRITTON: Form. BY MR. EDWARDS: Q Is that right? A Young girls? They're females, and | was told they come to do massages. Q_ Who told you that? A Alfredo. Q Alfredo told you that the girls did massages? A He told me when | started there that there are massages to be done, and then that's when | heard it first from him. Q And then did you witness the girls come over that you were told were there to give massages? MR. CRITTON: Form. That she actually saw, is that what you're -- let me just object to the form. MR. EDWARDS: | said the word saw, so | mean, there's no, like, mixing words there. Yes, that she actually saw. MR. CRITTON: There's a distinction between seeing the girls coming and seeing the massages. BY MR. EOWARDS: Q Did you see the girls come to the house? A Sometimes. ESQUIRE an Alexander Calls Company wrt nn er wne October 20, 2009 31 Q Allright. And when is the first time that you saw these girls come to the house? And by “these girls,” I'm talking about the girls that you were told were there to give massages. MR. CRITTON: Form. THE WITNESS: | cannot remember specifically the day and the time. BY MR. EDWARDS: Q These massages take place every day that Mr. Epstein's in town, right? MR. CRITTON: Form, leading. THE WITNESS: Not always. BY MR. EDWARDS: Q > Okay. So if the testimony in this case by other witnesses has been that Mr. Epstein has these girls over at his house to give him a massage every day, then you would disagree with that testimony? MR. CRITTON: Form, improper question. THE WITNESS: Because there are times that I'm not there in the house. BY MR. EDWARDS: Q Okay. Every day that you are there in the house and Mr. Epstein is also there, girls come over to his house to give him massages, as you understand it? MR. CRITTON: Form, leading. 32 BY MR. EDWARDS: Q Is that a fair statement? MR. CRITTON: Form, leading. MR. [EEE Also can we get a time frame? You mean now, or prior? BY MR. EDWARDS: Q_ Between 2004 and the time that Mr. Epstein went to jail in 2008. MR. CRITTON: Same objection. MR. [Do you understand the question? THE WITNESS: No. BY MR. EDWARDS: Q Okay. Between 2004 and the time that Mr. Epstein went to jail in 2008, on occasions where you were in the house and Mr. Epstein was in town, is it a fair statement that girls came over to give him a massage every day? MR. CRITTON: Form. THE WITNESS: Between what year again? BY MR. EDWARDS: Q When you started working and the time when Mr. Epstein went to jail. MR. CRITTON: Same objection. THE WITNESS: Yes. Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181481

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Louella Rabuyo - Volume I werwrnueuwne 33 BY MR. EDWARDS: Q Allright. And when you were in the house and Mr. Epstein was also in town, would there be usually one massage per day, or two massages, or more? A Maybe three. Q Okay. So ona typical day when you were in town, you were in the house and Mr. Epstein was in town, it's your testimony that he would have an average of three massages a day? A Not average. I'm -- | want to correct that. Q Correct it, please. A What's this, average? Can you... Q > Okay. | think I see what you're saying. Some days there would be two and some days there would be three, and you don't want to commit to an average? A Yes. Because sometimes I'm not aware, I'm in the staff house. Q = Okay. All right. | understand what you're saying. But the days when you are in the house and Mr. Epstein is there, you see days when there are two massages per day and some days when there are three massages per day? A Yes. 34 Q Allright. And these people that are coming over that you were told by Alfredo Rodriguez are there to give Mr. Epstein a massage, isn't it typical that they would arrive by taxicab? MR, CRITTON: Form, leading. THE WITNESS: | did not know about that. BY MR. EDWARDS: Q Do you know how any of these -- one more question before | ask the next one. Are they always female masseuses? A Yes. Q_ And are you aware of how these female masseuses would arrive to Mr. Epstein's house between the time you started working and the time he went to jail? A No. Because I'm inside the house. Q Okay. Can you describe these females for us? MR. CRITTON: Form. THE WITNESS: | don't pay attention to their, what's this, because | just do my job, open the door if I'm -- what's this, | hear the doorbell rang. BY MR. EDWARDS: Q Okay. A Sol don't, like, really pay attention to, ESQUIRE a0 Alexander Galle Company weawinnueune October 20, 2009 35 what's this, to their appearances or to their what their attire is. Q Allright. Haven't you made a comment to Alfredo Rodriguez in the past that these girls that are coming over to give massages are too young? MR. CRITTON: Form. THE WITNESS: | cannot remember. BY MR. EDWARDS: Q Isn't that something that you have believed? MR. CRITTON: Form. THE WITNESS: What you mean, believe? BY MR. EDWARDS: Q Isn't that something that you have thought in your head, these girls that are coming over to the house that are supposedly giving Mr. Epstein massage are too young? MR. CRITTON: Form. THE WITNESS: At my age, these people are young to me, so... I'm past sixty, so they are young. BY MR. EDWARDS: Q_ Well, haven't you also made the statement to Mr. -- we'll come back to that statement. When these girls would come in the house, you said sometimes you would answer the door, right? 36 MR. CRITTON: Form. BY MR. EDWARDS: Q_ And you would see these -- MR. CRITTON: Wait. Can | just... It you use the word “female,” I'm not going to object to most of your questions, as opposed to “girls,” because | don't know what you mean by that. So I'm going to keep objecting. Whatever you want, | just... MR. EDWARDS: Yeah, | know. I'm just talking about the girls that would come over to give massages. MR. CRITTON: If you want to call them females, | have no objection. If you call them girls, | don’t know what that means. Females, | do. MA. EDWARDS: Okay. MR. CRITTON: |'m not telling you how to do It, I'm just telling you — MR. EDWARDS: No, no. | appreciate it. BY MR. EDWARDS: Q_ The females that would come over to give massages, often times you would answer the door when the door rang? A Sometimes. Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181482

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Louella Rabuyo - Volume I wersnn evn 37 Q = Okay. And sometimes who else would answer the door? A Alfredo. Q_ And what door would the females enter through? A The kitchen door. Q Andis that the door that other guests would also enter through? A Sometimes. Q_ Why was that door chosen as the door for the female masseuses to enter through, do you know? A No, I don't, Q What would happen, what would be the next step as these females would enter through the kitchen door? A_ I don't know, because | just let them and then go finish my work. Q Okay. And then would their next contact be with MR. CRITTON: Form. THE WITNESS: If | see [MM then yes. But! just let them stay in the kitchen and then go to the staff house and continue the laundry. BY MR. EOWARDS: Q Isn't it your understanding that these females were on a schedule as to when to come over to give Mr. Epstein a massage? 38 MR. CRITTON: Form. THE WITNESS: No, | don't know. BY MR, EDWARDS: Q Okay. Well, each time that the girls would come over to give Mr. Epstein a massage, he would be up in his master bedroom already; is that correct? MR. CRITTON: Form. THE WITNESS: | don't know. BY MR. EDWARDS: Q Inthe period of time between 2004 when you Started working and when Mr. Epstein went to jail, can you approximate or estimate the number of these females that would come over to Mr. Epstein's house to allegedly give him a massage? A No. Q_ Are we talking more than fifty, more than a hundred? MR. CRITTON: Form. THE WITNESS: | did not count. BY MR. EDWARDS: Q But there were many different girls, right? MR. CRITTON: Form. THE WITNESS: Many females. BY MR. EDWARDS: Q_Itwas not like there were only ten females ESQUIRE a0 Alexander Galle Company ees nanwewn ew October 20, 2009 39 that rotated, we're talking about fifty, a hundred, two hundred different females that you saw? MR. CRITTON: Form. THE WITNESS: | did not count. BY MR. EDWARDS: Q You saw a lot of different female faces that were supposedly there to give him a massage, right? MR. CRITTON: Form, leading. THE WITNESS; Sometimes the same female comes BY MR. EDWARDS: Q_ And other times it would be different females? A Yes. Q Allright. And can you approximate the age of these females that would come over to the house? MR. CRITTON: Form. THE WITNESS: | did not ask their age. BY MR. EDWARDS: Q You saw their face and you saw their appearance. Would you be surprised if some of these females were thirteen years old? MR. CRITTON: Form. You're asking her to speculate and guess. THE WITNESS; | did not see any thirteen years old. 40 BY MR. EDWARDS: Q Okay. Would you be surprised if some of these girls were fourteen years old? MR. CRITTON: Same objection. THE WITNESS: Fourteen? | don't know. BY MR. EDWARDS: Q_ Could they have been fifteen years old? MR. CRITTON: Same objection. THE WITNESS: Maybe more than that. BY MR. EDWARDS: Q = Maybe more than that? A Yeah. Q But maybe less than that? MR. CRITTON: Form. THE WITNESS: | don't know. BY MR. EDWARDS: Q_ The truth is, you don't know how old these females were, but these females that were there to give him a massage were young, in your mind? MR. CRITTON: Form. THE WITNESS: Some look young, but then they, what's this? BY MR, EOWARDS: Q You knew that something that was going on there was not right, isn't that true? Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181483

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Louella Rabuyo - Volume I be KOM’ BI KH ewe 41 MR. CRITTON: Form, argumentative. MR. EDWARDS: Jack, we're catching some music coming over. (Brief recess in proceedings.) BY MR. EDWARDS: Q_ As you saw these young females coming over to Mr. Epstein's house to give him a massage, you knew in your heart of hearts that something was wrong? MR. CRITTON: Form, argumentative. THE WITNESS: | was told that they're going to do a massage. BY MR. EDWARDS: QI realize you were told that. Okay. Isn't it true that each of these girls was then led upstairs to Mr. Epstein's bedroom; that was the routine, right? MR. CRITTON: Form, predicate. THE WITNESS: | don't know. When I'm there, then | -- most of the time | just go to the, what's this, to the staff house. BY MR. EDWARDS: Q When the girls would arrive -- when the females would arrive, you would go to the staff house? MR. CRITTON: Form. THE WITNESS: First sometimes | would offer them drinks, and then, what's this. 42 BY MR. EDWARDS: Q_ Allright. So did you talk to some of these females? A_ No. Just like you care for water or some drinks, soda or something. Q Allright. Did you ever discuss religion with any of these females? A_ No, sir. Q When these females would go upstairs, how long would each typically stay upstairs with Mr. Epstein? MR. CRITTON: Form, predicate. THE WITNESS: | don't know, but | was told by Alfredo that it would take one hour. BY MR. EDWARDS: Q Allright. And when the females would leave, wasn't one of your responsibilities to clean the room where the massage took place? A Yes, sir, to tidy. Q Totidy? MR. CRITTON: Form. BY MR. EDWARDS: Q And in doing so, isn't it true that many times after these females left, you found vibrators and sex toys scattered on the floor and in the room? MR. CRITTON: Form. 2 ESQUIRE an Alexander Galle Company a) row mann ew n October 20, 2009 43 THE WITNESS; | did not find any sex toys. BY MR. EDWARDS: Q You never, in your employment with Mr. Epstein, found sex toys in the room after these females left from giving him a massage? A There was only this, like | thought it was for massage. That's it, that's what | saw. Q Okay. Have you ever -- are you familiar with the armoire that is in Mr. Epstein's room, bedroom? A Yes. Q_ And have you ever put items away in that armoire? A_ No, sir. Q If Alfredo Rodriguez testified that you and he had a conversation about the sex toys in Mr. Epstein's bedroom and your comment being it's not right - A_ No, sir. Q That's not something you would agree with? A We did not converse about sex toys. Q_ Have you talked to Mr. Epstein today about you having your deposition today? A No, sir. Q_ And this is your attorney who is here next to you? A Yes, sir. 44 Q_ Andis that somebody that you paid to be your attorney? A No, sir. Q_ That's somebody that Mr. Epstein has paid to be your attorney? A Yes. Q When you were hired, did you sign any agreement of confidentiality that you wouldn't talk about the matters that happened within the house? A Yes, sir. Q When did you sign that agreement? A When | received papers to sign for like my evaluation, all the forms needed for employment, like tax forms. Q Okay. And do you have a copy of that agreement? A Maybe in my house. Q_ That's something that you think was provided to you, or was the only copy kept with Mr. Epstein or Ms. Maxwell? A We were given duplicate, duplicate copy. Q_ Well, let me tell you that | represent three girls that in this case are L.M., E.W., and Jane Doe, who were three of the girls that you and | have been talking about as females that went to Mr. Epstein's Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181484

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Louella Rabuyo - Volume I October 20, 2009 45 47 house to give him massages. Okay. Would it surprise you to know that when they went to his house they were @s young as thirteen, fourteen, and fifteen years old? MR. CRITTON: Form. THE WITNESS: | didn't know, sir. MR. CRITTON: Asked and answered. BY MR. EDWARDS: years old? MR. CRITTON: Form. THE WITNESS: | do not know about that. BY MR. EDWARDS: Q = Okay. And after this line of questioning related to things that happened in Mr. Epstein's bedroom that were actually not massages at all, does this help Q_ Would it surprise you to know that once inside to refresh your recollection as to the sexual toys or his bedroom, he instructed them each to get naked? devices that you have found in his bedroom? 10 A | did not. MR. CRITTON: Form. 11 MR. CRITTON: Let me just object to the form. THE WITNESS: | only found one, that massage, 12 You're asking her to speculate on something she | thought it was a massage thing. 13 knows nothing about. It serves no purpose. It's a BY MR. EDWARDS: 14 great argument, but it serves no purpose. Q Allright. 15 MR. EDWARDS: | know you're not happy with the A You know that thing, and then | thought it's 16 line of questioning, you do this every time in for -- that thing | only see. 17 deposition. MR. CRITTON: Just so the record is clear, | 18 MR. CRITTON: But it serves no purpose, it's think we all agree that she took her hand and 19 never going to be admissible whether she's like -- 20 surprised or not. It's like saying, you know, MR. EDWARDS: She thought it was a back 21 would it -- well, never mind. massager. 22 You know, would it surprise you that the MR. CRITTON: Probably was a back massager. 23 Afghan election -- MR. EDWARDS: Give me a break. MR. EDWARDS: Are you trying to make this line MR. CRITTON: No. You want to argue sex toys, of questioning go on longer? she's saying back massager. Just let her testify 46 48 1 MR. CRITTON: No. But it's just painful. Ask 2 her stuff that she knows. 3 MR. EDWARDS: | know it's painful. 4 MR. CRITTON: | could care less one way or the 5 other. It's just a waste of both our times, Brad. 6 7 8 9 Ww ewinneunne wow nnewn 1 as distinct from argumentative. 2 MR. EDWARDS: |I'm letting her testify. 3 MR. CRITTON: Okay. 4 BYMR. EDWARDS: 5 Q_ The only thing that you found in his bedroom 6 7 8 9 MR. EDWARDS: You're getting paid for it. No defense attorney ever makes this argument on the record, MR. CRITTON: You know what, | get paid by a 10 lot of people, and | don't need to do frivolous 11 things in my mind, I'd rather just go home. 12 THE WITNESS: | don't know. 13 MR. EDWARDS: Okay. 4 MR. [EB 00 you understand the question? 15 THE WITNESS: Yeah. | do not know anything 16 about that part. 17 MR. CRITTON: From the last time | objected, 18 can you just mark that, | want that two pages 19 marked so | can get that somehow separate and 20 apart. 21 THE COURT REPORTER: Okay. 22 +BY MR. EDWARDS: 23 Q_ Would it come as a surprise to you that Mr. Epstein used sexual devices such as vibrators on each of my clients when they were fourteen or fifteen Toll Free: 866.709.8777 Facsimile: 561.394.2621 r was in the shape of something that you believed to be a back massager, is that fair? A Yes, sir. Yes. Q Okay. Who was the cleaning lady or 10 housekeeper prior to you, do you know? 11 A They have a cleaning crew. 12 Q_ Prior to you? 13 A Yes. 14 Q_ Toyour knowledge, has anybody ever left the 15 house, meaning left the employment of Mr. Epstein 16 because of anything that was taking place in the house? 17 A No, sir. 18 Q_ Have you ever thought of leaving the 19 employment of Mr. Epstein because of what was happening 20 inthe house? 21 MR. CRITTON: Form. 22 THE WITNESS: No, sir. 23. +BY MR. EDWARDS: Q Have you ever prayed for Mr. Epstein because of what was happening -- Suite 600 ESQUIRE ioe Paim Beach Gardens, FL 33410 an Alexander Galle Company www.esquiresolutions.com EFTA00181485

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Louella Rabuyo - Volume I wrmwnuneune 49 A_ I pray for my co-employees and for my, what's this, employers. Q Have you ever prayed for him related to these females that come over to the house? MR. CRITTON: Form. THE WITNESS: | just lift his name to God, that's it. BY MR. EDWARDS: Q_ Have you ever prayed for the females that come over to his house? A_ I prayed for everyone. Q_ Do you know what Mr. Epstein does for a living? | was told that he's an investor. Who told you that? Coworkers. Which coworkers? Lyn and Jojo. Did Lyn and Jojo -- And Alfredo. And Alfredo. Did Lyn and Jojo ever tell you about Mr. Epstein getting females over to the house in New York for massages? MR. CRITTON: Form. OFrFOrOFrO> 50 THE WITNESS: They have visitors, that's what | was told. BY MR. EDWARDS: Q_ Were you ever told that he gets massages by females similar to the manner in West Palm Beach? MR, CRITTON: Form. THE WITNESS: Yes. BY MR. EDWARDS: Q_ And who told you that? Lyn. And did she say with what frequency -- No, sir. -- he has females come over? No, sir. You didn't continue the conversation after she told you this? A_ No. I just listen, and then she talks and then that's it. We don't really, like, oh, no. Q_ Sois it your testimony that you don't know what happens in the bedroom behind closed doors with Mr. Epstein and these females? A No, sir. ur. One second. | want to make sure you understand the question. MR. CRITTON: Form. ESQUIRE an Alexander Gallo Company we ertinvnewne October 20, 2009 51 THE WITNESS: Yes. | do not know what's BY MR. EDWARDS: Q Okay. And have you ever asked what is going on inside? A No, sir. Q Is that something that you have chosen just not to find out about? MR. CRITTON: Form. THE WITNESS: | was told that he's going to have a massage. BY MR. EDWARDS: Q_|s that something that you believe? A That's what | was told, and what's this. Q You're aware of the allegations against Mr. Epstein that each of these girls that was coming over to his house — each of these females that was coming over to his house was engaging in sexual activity with Mr. Epstein, right? MR. CRITTON: Form. THE WITNESS: Could you read the question back? (A portion of the record was read by the reporter.) 52 MR. CRITTON: Form. MR. [RE Did you understand the question? THE WITNESS: Yes. MA. a. Yes, you understand the question? THE WITNESS: Yes. MR. [EB Ang | think the question was are you aware of the allegations. BY MR. EDWARDS: Q_ Are you aware of the allegations? A Through TV news. Q_ Have you talked to anybody else about these allegations being made against your employer? A With Janusz. Q_ When did you talk to Janusz about the allegations being made against your employer? A There is the scenario whenever | -- what's this — | heard the news, it’s oh, the boss is on the news. And that's it, to be honest. Q And what would Janusz comment back to you, if anything? A Oh, he's in the news. So we did not really, like, talk about... Q But it's one thing when your boss is on the Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181486

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Louella Rabuyo - Volume I ers nnewn ea 53 news and it's for accolades or for awards, it's another thing when your boss is on the news related to allegations that he is engaging in sexual activity with minor females. Wouldn't you agree with that? MR. CRITTON: Form, argumentative. THE WITNESS: Of course there's a difference, BY MR. EDWARDS: Q So did you talk to Janusz about the fact that there are allegations that he is engaging in sex with these minor females that are coming over to the house and you're told that they're giving massages? MR. CRITTON: Form, compound. THE WITNESS: Not really. Like we don't really discuss-discuss. We just oh, he's in the news, and then that's it, and | go to work because we're SO busy, So... BY MR. EDWARDS: Q_ Do you talk to your family or anybody else about -- A No. Q Let me finish my question. -- about the fact that many minor females have alleged that they have come over to Mr. Epstein’s house and engaged in sexual activity with him in his bedroom 54 while they were under the age of eighteen? MR. CRITTON: Form. THE WITNESS: No. BY MR. EDWARDS: Q Are you aware now that your employer, Mr. Epstein, is a registered sex offender? A | heard about it. Q_ Does that bother you? A Sometimes, but | don't know if the allegations is true, so... Q Because you don't know what's going on behind closed doors, right, you have no idea? MR. CRITTON: Form, argumentative. BY MR. EDWARDS: Q_ Ihear you. Have you ever asked your employer if the allegations being made against him are true or if they are not true related to his sexual activities with underage females? A No, Q_ Isn't that something that you, as a religious person, would want to know, whether that's true that that's what's going on in the bedroom every day while you're at work? A_ Sir, | go there to work, not to, what's this, Q ESQUIRE a0 Alexander Galle Company October 20, 2009 55 like pry on other personal activities. Q Crimes are being committed against these girls on a daily basis while you're working. And hypothetically let's say you knew about it, would you report it? A_ If |knew about it, of course. Q_ Sure. Like if you walked in on it, then would you report it? MR. CRITTON: Form. vn. When you say "it," do you mean acrime? BY MR. EDWARDS: Q Yeah. If you walked in on a crime? A Acrime? Ofcourse. If it's a crime, | will. Q Okay. I'm going to ask you if you've ever witnessed certain acts. First I'm going to read to you directly from the Florida Statutes related to a crime called lewd and lascivious molestation. Okay. A Allright. Q Florida Statute 794.021. ur. Do you have a copy that she can read along with you perhaps? MR. EDWARDS: | don't have a copy, but I'll hand it to her as soon as I've read it. MA. BE: Thank you. 56 BY MR, EDWARDS: Q_sIt reads as follows: A person who intentionally touches in a lewd and lascivious manner the breasts, genitals, genital area, or buttocks, or the clothing covering them of a person less than sixteen years of age, or forces or entices a person under sixteen years of age to so touch the perpetrator, commits lewd or lascivious molestation. An offender eighteen years of age or older who commits lewd or lascivious molestation against a victim twelve years of age or older but less than sixteen years of age commits a felony of the second degree. Have you ever observed -- if you want to see the law, you can. Have you ever observed that crime committed in his house? A No, sir. MR. CRITTON: Form. What statute was that? MR. EDWARDS: It's 794.021, subsection five. MR. CRITTON: Thank you. BY MR. EDWARDS: Q Subsection seven of that same statute, lewd and lascivious exhibition, indicates: A person who intentionally masturbates, Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181487

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Louella Rabuyo - Volume I 57 intentionally exposes the genitals in a lewd or lascivious manner, or intentionally commits any other sexual act that does not involve actual physical or sexual contact with the victim in the presence of a victim who is less than sixteen years of age commits lewd or lascivious exhibition. An offender eighteen years of age or older who commits a lewd or lascivious exhibition commits a felony of the second degree. Have you seen that crime committed in Mr. Epstein's house? A No, sir. MR. CRITTON: Form. BY MR. EDWARDS: Q_ Are you aware of the allegations by multiple female girls that allege that these are the crimes that were taking place behind closed doors when they were just minor females; are you aware of those allegations? MR. CRITTON: Form. MR. [E: o you understand the question? MR. CRITTON: Asked and answered. MR. [EE Do you understand the question? MR. CRITTON: And argumentative. THE WITNESS: From the news, | heard that from the news. 58 BY MR. EDWARDS: Q And are you also aware that many of these girls did not know one another that were these female masseuses, are you aware of that? MR. CRITTON; Form. THE WITNESS: | don't know. Q Okay. When these girls that would come —- Where these fernales that would come over where you were tokd they were giving massages would come over, how many would come over at any time, meaning would they come over with twenty at time, or one at a time? MR. CRITTON: Form. THE WITNESS: Sometimes one at a time. BY MR. EDWARDS: Q_ And given the number of these females that are making these allegations, doesn't it cause you to believe the allegations that there are so many of them and their stories are so strikingly similar as to what's taking place in Mr. Epstein’s bedroom? MR. CRITTON: Form, predicate, speculation, argumentative. THE WITNESS: | don't know what's happening in the bedroom, | did not see anything that cause me alarm. ESQUIRE an Alexander Gallo Company owmua nw ew ne October 20, 2009 59 BY MR. EDWARDS: Q_ Have you ever worked for anyone that had this many young females come over to his house every day? A_ No, sir. Q_ Have you ever heard anybody say that these girls are making this up or that this did not happen, these sexual acts did not happen in Mr. Epstein's bedroom? MR. CRITTON: Form, argumentative. BY MR. EDWARDS: Q_ By that | mean Mr. Epstein, Ghislaine Maxwell? A_ No, sir. No. Q Did IIE ever say any of these girts were making this up? A No, sir. MR. CRITTON: Form. BY MR. EDWARDS: Q_ So these girls are making these allegations, you work in Mr, Epstein's house? A Yes. Q And you've never heard anybody deny these allegations, have you? MR, CRITTON: Form, argumentative. THE WITNESS: | do my job, we don't, like, talk. 60 BY MR. EDWARDS: Q_ Sois that a no, you've never heard anybody deny that? MR. CRITTON: Form. THE WITNESS: No, sir. BY MR. EDWARDS: Q_ When was the last time you talked to Ghislaine Maxwell? A lanswer the phone when she... Q Okay. When you first started working there back in November of 2004, she was the person who you interviewed with, right? A Yes, sir. Q Was she somebody who you would regularly see at the house during that period of time? A Not regular. Q_ How often would you see her in the house back in the late 2004, when you were hired, through 2005? A Three times. Q_ Three times a week? A No. During the period of that | was there. Q Okay. During the entire five-year period you were there you only saw Ghislaine Maxwell three times? A Not five years. Q Okay. From the end of 2004 through 2005 you Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181488

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Louella Rabuyo - Volume I saw her three times? Yes, sir. During -- Maybe more or less three times. During 2006 how often did you see her? 2006? He was in New York, so | saw her. You worked for Jeffrey Epstein but you worked in New York? I'm sorry. A_ | saw Ms. Maxwell in New York. Q I think | understand. Primarily, though, you were still working at the 358 El Brillo location? A Yes. Q_ However, at some point in time that year you ~~ e POMwmRInwMewne took a trip to the New York house and you saw her there? In her house. In Ghislaine Maxwell's house? Yes. What was the occasion for you to go see her up A Lyn was having | think surgery. Q_ And when was that? A | cannot recall the month, but it's | think 2006. Q_ So this is after the criminal investigation into Mr. Epstein, or before, if you remember? 62 MR. CRITTON: Form, predicate. THE WITNESS: 2006? After. BY MR. EDWARDS: Q_ Okay. And while you were up there with Ghislaine Maxwell, did you talk to her about the criminal investigation of Mr. Epstein? A_ No, sir. Q_ Atany point in time when you were up there, did she say to you or you overheard -- let me ask you this way: Did she say to you that the allegations are false ~- MR. CRITTON: Form. BY MR. EDWARDS: Q_-- that are being made against him? MR. CRITTON: Form. There's no predicate that a discussion ever took place about anything. THE WITNESS: There was no discussion about that. MR. EDWARDS: Mr. Critton, if you could just object to the form. Obviously this witnesses just takes your words and she's going to recite them to me. If you want to say lack of predicate, okay, fine. But to say no discussion took place and then she says no discussion took place, we're leading the witness here, it's obvious. 2 ESQUIRE an Alexander Galle Company wmrwnnew ne October 20, 2009 63 MR. CRITTON: But if you just asked her, say did you ever have a discussion with her about it, if she says yes, then we'll find out what it is. If she didn't have one, why ask the question? Go ahead. THE WITNESS: There was no discussion. MR. [EB There's no question pending. Wait for Mr. Edwards to ask his question and answer the question if you understand it. BY MR. EDWARDS; Q How long were you at Ghislaine Maxwell's house this time that you visited her in 2006? MR. CRITTON: Form. THE WITNESS: | cannot remember, because | BY MR. EOWARDS: Q_ Back and forth? A Yes, Q_ From West Palm Beach to New York? A Yes, Q_ Why were you up in Ghislaine Maxwell's house in New York? A [help over there when she has a party. Q_ Okay. And then after the party you would return to West Palm Beach? 64 A Yes. Q_ While you were up there, during any of the times that you were up there, did you have any conversations with Ghislaine Maxwell? A I think once. But it was oh, and what's this, it was just oh, I'm sorry about the bad news. That's it, Q You said that? A Because we have only, like, short conversation, we just don't really, like, talk-talk. Q When you're saying that a statement was made I'm sorry about the bad news, who made the statement to whom; she made it to you, or you made it to her? A She made it. But that was -- | really cannot remember how it was how, but it was, like, I'm sorry about the news. Q Okay. What news was she referring to when she said to you I'm sorry to hear about the bad news? A She not say anything. | just -- | do not say anything about what the bad news is. Q_ Okay. | guess what I'm asking is did you have a death in the family or something happen to you personally? Or why would she say this to you, if you know? A No. Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181489

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Louella Rabuyo - Volume I ear nn een 65 Q_ You have no idea why she said that statement? A I think that it was about the news that was going on about Mr. Epstein. MR. CRITTON: Move to strike as speculation. BY MA. EDWARDS: Q_ And did she elaborate on the news about Mr. Epstein? A No, sir. Q During that conversation where she makes a statement that she's sorry about the news, did she ever tell you that the allegations being made against him are false or unfounded or untrue? MR. CRITTON: Form. THE WITNESS: Our conversation was short. BY MR. EDWARDS: Q_ So the answer is no? A No. Q_ What is your understanding of Ghislaine Maxwell's role in Jeffrey Epstein’s lite back in 2004 and 2005 and 2006? MR. CRITTON: Form. THE WITNESS: She told me he was his boyfriend (sic). BY MR. EDWARDS: Q Ghislaine Maxwell told you that 66 Jeffrey Epstein was her boyfriend? A When | was hired. Q_ And then over the next year and a half when Jeffrey Epstein was in West Palm Beach, you only saw Ghislaine Maxwell at the house approximately three times? A Yes, sir. Q__ Did you still believe that Ghislaine Maxwell and Jeffrey Epstein were boyfriend and girlfriend? MR. CRITTON: Form. THE WITNESS: At that time or what time? BY MR. EDWARDS: Q Yeah. Back then in 2004, 2005. A Yes. Q Allright. Is it your understanding that they are still boyfriend and girlfriend today? A_ I don't know. Q_ Ghislaine Maxwell and Jeffrey Epstein, do they Still talk to one another today? A | do not know, sir. Q_ What is the last time that you talked to Ghislaine Maxwell? A_ She called the house and | answered the phone. Q_ How long ago? A About a month ago. ESQUIRE am Alesander Gallo Company weayrnnewne October 20, 2009 67 Q What did she say when you answered the phone? A Oh, she was happy. | was happy to hear her voice. And then she said oh, she was also happy to -- she was so nice on the phone. What did she say? Oh, nice talking to you, Louella. Then did she ask to speak to somebody else? To Mr. Epstein, Aside from the telephone call one month ago, how many times has she called the house in the last year? A That was my only, what's this, my -- the time that | was answer the phone and it was Ms, Maxwell. Q_ Do you know why she called Mr. Epstein? A | do not know, sir. Q Have you ever seen scheduling logs, either on a computer or on paper, with girls’ names on it and numbers? A No. No, sir. Q_ Have you ever seen the names of these females that are alleged to have been masseuses written on anything? A Yes, sir, Q What have you seen them written on? A | just saw names, and that's it. 68 Q_ Just the names, or the telephone numbers as well? MR, CRITTON: Form, THE WITNESS: | cannot remember. BY MR. EDWARDS: Q_ Where did you see this? A We have like butler’s pantry and there's a telephone there. Q Is this in the staff house or the main house? A_ No. The main house. Q_ And do you know who wrote the names? A_ No, sir. Q_ How do you know that these were the names of the females that were alleged to have been masseuses? Because there is time. What do you mean, there is time? Sometimes name and then the time, that's it. What does the time indicate? | cannot remember. The time to you -- you know, I'm watching what you're doing, but the court reporter is not able to draw a picture of it. So | guess what I'm asking is you're saying there is -- on the left-hand side there is a name, and on the right-hand side corresponding to that name there is a time written down? Is that what you OoOroro Oororo>, Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181490

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Louella Rabuyo - Volume I Ses nnewne indicated? A Yes. Q And that time is indicative of the appointment time when that female was supposed to be at Mr. Epstein's house? MR. CRITTON: Form. THE WITNESS: | really don't know if that's the one that indicate who is coming, | just see names there and then time. BY MR. EDWARDS: Q_ Describe for me what this book looks like, or what this piece of paper looks like. A Someplace there are like white paper we write the names, if | hear -- if somebody receives a call, and then we write the name of the person and the time. Q_it sounds like you've answered the phone for when one of these females has called? A Sometimes. MR. CRITTON: Form. BY MR. EDWARDS: Q How many times in the last five years have you answered the telephone when one of these females has called? MR. CRITTON: Form. THE WITNESS: | cannot remember. 70 BY MR. EDWARDS: Q Allright. | asked this question that way because you said sometimes we take the message. A Yes. Q_ And when you say we, you're including yourself? A Yes. Q Okay. And when the female would caill to schedule -- | mean, when the female could call, what exactly would she say where you would write down a name and a time? A | don't know if -- | just receive a call and then | get the message and write the name and the time. Q Okay, It's just a message from whom? A For Mr. Epstein. Q And who is the call that -- the calls that you're referring to, who are they, who is calling? A They are female voices. Q And are they asking to come over to give a massage, to work, to -- A To work, Q And what is the language that the females would typically use when they would call -- MR. CRITTON: Form. 2 ESQUIRE an Alexander Gallo Company wermwnuewne October 20, 2009 71 BY MR. EDWARDS: Q_-- and you would answer the phone? A Again, can you... Q What would they say? Hi, this is Mary, I'd like to come work, is there a time available for me. I'm making this up. What would they say? MR. CRITTON: Form. BY MR. EDWARDS: Q_ If you know. A They just say the, what's this. The female will just -- tell Mr. Epstein | called. Q Okay. Just tell him | called? A Uh-huh. Q And you would write down the name of the person and the time the person called? A Yes, sir. MR. [EE When you get to a convenient breaking point. MR. EDWARDS: Let's break. (Brief recess in proceedings.) — It may be obvious to us in the room, but it may not be apparent in the cold record that English is not Ms. Rabuyo’s first language. So that's why I've interrupted a couple of times and asked her if she understands the question, 72 because it's apparent to me sometimes that her English isn't as eloquent as Mr. Edwards. BY MR. EDWARDS: Q Whatis your first language, Ms, Rabuyo? A Visayan and Tagalog. Q_ Do you feel comfortable with taking this deposition in English; meaning do you understand my questions and are you giving me answers that are truthful and accurate? A Sometimes | have to ask you to rephrase because, you know, Q Okay. And when you've asked me to rephrase and I've rephrased the question, have you understood it and given me an answer that you feel is accurate? Yes, Okay. Did you ever talk to the police? No. Have you ever talked to the FBI? No. Were you ever asked to talk to the State Attorney's Office? A No. Q_ Were you ever asked to talk to the United States Attomey's Office? A No. Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181491

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Louella Rabuyo - Volume I 73 Q_ Did you know, did you have any prior warning before Mr. Epstein pled guilty and went to jail? a call, and then oh, Mr. Epstein is coming so is how | October 20, 1 Q_ Did you ever talk to any law enforcement type 1 A Yes. 2 related to the Jeffrey Epstein criminal investigation? 2 Q Where? 3 A No, sir. 3 A Injail. 4 Q_ Did you remain employed from November 2004 4 Q_ How do you know that? 5 through today continuously with Jeffrey Epstein? 5 A Through Janusz or, what's this, through the 6 A Yes, sir. 6 news. 7 Q_ Was it discussed as to how your employment 7 Q_ So you did you work at his house during the 8 would be altered, if at all, while Mr. Epstein was going 8 time period -- 9 to be either -- while Mr. Epstein was going to be in 9 A Yes. 10 jail or away from the house? 10 Q_ Wait until | finish. 11 A No, sir. 11 A Sorry. Q_ Did you work at his house during time period when Mr. Epstein was in jail? 14 A No, sir. 14 A Idid. 15 Q Allright. So it was just one day he's there 15 Q_ Did you see Mr. Epstein during that year time 16 and the next day he's not, as far as you knew? 16 period? 7 A Janusz, we discuss it with Janusz, he received 17 A No. Q What was your schedule during that year time 2009 19 know, 20 Q I'msorry. Maybe we miscommunicated there. 21 ‘You're saying that Janusz received a call that 22 ~=Mr. Epstein was coming to the house? 23 A Your first question was? Q Were you made aware of the date or time period that Mr. Epstein would be going to court to plead guilty 74 19 period that Mr. Epstein was in jail? 20 A Flexible. No. Wait. The time that he was in 21 jail? 22 Q_ Right. June 30th, 2008 through sometime in 23 July, 2009. MR. B00 you understand the question? THE WITNESS: Yes. 76 1 tocrimes and then going to jail so that he would no a MR. SR: Okay. Go ahead and answer it 2 longer be at the house, were you made aware that that 2 then. 3 was going to take place? 3 THE WITNESS: | usually come nine o'clock. 4 A Not directly. 4 BY MR. EDWARDS: 5 Q Okay. Indirectly then, did you know that that 5 Q_ And you would leave? 6 was taking place? 6 A At 5:00 or 5:30. 7 A No. Janusz and | talked, so... 7 Q_ And who else would be in the house during that 8 Q And what did Janusz tell you about Mr. Epstein 8 year time period from June 2008 through July 20097 3 going to court and after court he would be in jail and 9 A Only Janusz and me; and the gardener, he 10 no longer at the house? 10 passed away. 1 A We really don't know when he's going there to 11 Q Who? 12 jail or ts going to court. It's just a discussion like 12 A The gardener. 23 oh, he's going to court or something, but the date and 13 Q Jerome? 14 the time, no. 14 A Jerome. is Q Im not concerned with the date and the time. 15 Q_ And you said he said passed away? 16 | guess what I'm getting at just is were you told that 16 A Yes. 17 __ there was going to be a time period he was going to be 17 Q When was that? 18 injait? 18 A \ remember right we came from New York, | 19 cannot remember, but | remember when we came from 20 New York, we attended his -- not burial, the ceremony in 21 ~~ church. 22 Q_ Do you know how he passed away? 23 A Janusz told me that he has a heart attack or 24 ~~ something. Q Okay. But it wasn't on the property while he 19 A No. 20 Q Allright. There was a period of time that 21 + —_was just over a year where Mr. Epstein was not in the 22 house, that being from June 30th, 2008 through sometime 23 in July of 2009; correct? 24 A Yes. Q_ And do you know where he was during that time? Toll Free: 866.709.8777 Facsimile: 561.394.2621 ESQUIRE an Alesander Galle Company Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181492

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Louella Rabuyo - Volume I was working? A No. Q_ During that year time period that Mr, Epstein was in jail, what did you do on a day-to-day basis when you were there from 9:00 to 5:00? A_ I clean the house, | made inventory of the linens, and what's this, started inventorying, making an inventory of the silverwares. Q Okay. Did you talk to | during that time period he was in jail? A Yes. Q_ And [J went to visit him in jail numerous times; are you aware of that? MR. CRITTON: Form. THE WITNESS: No, sir. BY MR. EDWARDS: Q And did [EE stay in the house during the time period where Mr. Epstein was in jail? A Yes. Q Permanently, or did she fly in town and fly back somewhere else? A (Nodding head.) MR. : You have to say yes or no. THE WITNESS: Yes. : Yes she flew in, or yes she 78 stayed permanently? THE WITNESS: Not for a longer period. BY MR. EDWARDS: Q Okay. Who would she fly into town with, if anyone? A_ Alone. | don't know, because she just come to the house and that's how she's there. | didn’t know who she came with. Q__Did she come to the house alone, she being MR. |; Again, we're talking during the time period when Mr. Epstein is in jail? THE WITNESS: Yes. MR. EE. Thank you. THE WITNESS: So one time she came with male friend. BY MR. EDWARDS: With a male friend? Yes. Do you know his name? | forgot it. Was it Igor? No. Was it Story? No. 8 ESQUIRE an Alesaader Oallo Company rPOPrOrOFrO ew nnewn oe + ow October 20, 2009 79 Was it somebody from New York? What, you mean when he was jail? When he was in jail. Story. It was Story? It was Story. This is Story Cowles? Do you know the last OoOFrororod name? A | don't know his last name. Q_ And when you say she came with a person, you mean she came to the house with a person named Story? A Yes. Q_ And do you know if that person named Story flew in with [I rom elsewhere? A_ I don't know. Q_ And did Story stay at the house with A No, sir. Q_ Allright. So this is during the day he came over, Story came over and visited with a: A Visited? | think so. Q Okay. Do you know the purpose for Mr. Cowles, or Story as you referred to him, meeting with | house during the year time period when Mr. Epstein was in jail? 80 A No. Q_ What did you watch them do together, if anything? A Do the computer. Q Allright. How many computers were there in the house during the year time period Mr. Epstein was in jail? A They have their own personal computers. Q_ Whois "they"? A. It you're asking about [J and Story? Q Right. They brought laptops with them, you're saying? A Yes. Q > Okay. For the period of time between November 2004 through June of 2008, when -- sorry. Were you working at the house when the police executed a search warrant on the house? A No. Q_ You were not working at the house? A twasn't. Q Were you aware of a search warrant being executed on the house? A No. Q_ Did you know that a search warrant was ever executed on the house at 358 El Brillo Way? Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181493

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Louella Rabuyo - Volume I ee rFPOMUMaInanneuwn 81 A When I came back to report, that's how | leamed. Q_ Elaborate on that for me. What do you mean, when you came back to report that's how | learned? A_ | reported in the afternoon, and then that's how | learned that the police came. Q Allright. And when were you -- you're now saying you came back to report and you learned that the police had already come to the house, right? A Yes, sir. Q_ Prior to that occasion, when was the previous time that you were at the house? A The day before. Q Okay. And the day before you left your shift at roughly five o'clock? A I cannot remember. | usually leave 5:00 or 5:30. Q But sometime late in the afternoon? A Yes. Q And as of that time, the day before the search warrant was issued, you had seen no police officers in or around the house? A No. Q_ And then the next day you reported to the job at what time? A The next day? Q The next day. A_ | report in the afternoon. Q Was there a reason why you reported in the afternoon? A Ms. Maxwell called me. Q_ When did she call you? A During that day, she said Louella, you can report in the afternoon. Q_ She called you early in the morning? A Not early. Q_ Normally you would report to the house between eight and nine o'clock, right? A Yes, sir. Q_ Soin order for you not to arrive at the house, she had to have called you before eight or nine o'clock, right? A Yes. Q Okay. So approximately what time does Ms. Maxwell call you to tell you you can report to the house later on that day? A | cannot remember really the time. Q Okay. What time did you actually report to the house? A After lunch, about -- maybe after lunch. 2 ESQUIRE an Alexander Galle Company oe FPOwe Inne wne October 20, 83 Q_ So are we talking about the day the police went to Jeffrey Epstein's house you did not go in the morning, but you went after lunch and the police had already left? A Oh. No. When | went there nobody was there, no policemen were around. Who was at the house then? Janusz, and Douglas, the architect. Schoettle? Yes. And did you have a discussion with them? No. How did you know the police had been to the orororod house? A Janusz told me. Q When? A When | arrive. Q That's what | was asking you when | said did you have a discussion with them, meaning Janusz and Douglas. A Okay. Being because them -- with Janusz only. Q What did he say? A He said the police came and, what's this, took away some stuff. Q_ Did he say what they took? 84 Did he tell you which pictures? No, sir. Aside from pictures, what else did the police take, as Janusz told you? A He did not elaborate. Q Allright. Prior to the police going to the house and taking pictures, do you remember seeing pictures around Mr. Epstein's house? A Yes. Q Do you remember seeing pictures of naked or nude females around Mr. Epstein's house? A Not around, in his closet. Q_ InMr. Epstein's closet you would see -- describe what you would see related to females in pictures. A Some have topless. Q s|s this a big closet? A No. Not really big, it's just this big, not 80 big. Q Okay. Were these pictures that could be seen by -- strike that. Do you know of any other pictures of females that were confiscated by the police that did not come from Mr. Epstein's closet? Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181494 2009

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Louella Rabuyo - Volume I @2xannewn 85 MR. CRITTON: Form. THE WITNESS: Nude picture? BY MR. EDWARDS: Q_Any other pictures that were taken by the police that were not taken from his closet. MR. CRITTON: Form. THE WITNESS: One. BY MR. EDWARDS: Where was that picture? The hallway leading to the master bedroom. And what was that picture of? It's like advertisement, small child. Asmall child. When you say “small child,” what age range are you talking about? A Maybe four. Q What is that child in that picture who is maybe four doing? A_ I cannot really, like -- | don't know what's this, but I think the underwear was (indicating), like pulled down. MR. CRITTON: Just for the record, she's Pointing to her rear-end, derriere. BY MR. EDWARDS: Q_ Soin this picture that was taken by the police or confiscated by the police, it was in the 86 hallway and it was of a child roughly four years old that was pulling down her underwear and exposing her buttock area; is that fairly accurate? A Yes. Not really full, just like slightly, that's what | remember. Q Okay. Are there any other photographs that were confiscated by the police, to your knowledge? A No. Q_ So how many photographs had you seen prior to the police going into Mr. Epstein's house in Mr. Epstein's closet? MR. CRITTON: Form. THE WITNESS: Less than ten. BY MR. EDWARDS: Q Okay. So there were less than ten photographs in Mr. Epstein’s closet that you remember? A Yes. Q_ And what were those photographs of, these less than ten? A Half nude women. Q Do you know the ages of those women? A_ No, sir. Q_ Do you know the approximate ages of those women in those photographs? A No. ESQUIRE an Alexander Galle Company wesw nnewun eh October 20, 2009 87 MR. CRITTON: Form. BY MR. EDWARDS: Q You were able to tell me the approximate age of the child in the photograph, but you're unable to tell me the approximate age -- A It'was just a guess for four, because | could hardly, like, tell the age. It was just maybe four, Q Okay. Was there anything else in the house that you were told was taken by the police? A No, sir. Q Prior to the day when the police came to the house, how many computers did Mr. Epstein have in his house? MR. CRITTON: Form, predicate. THE WITNESS: One -- three. BY MR. EDWARDS: Q_ Where were those three computers located? A Inthe cabana, in one of the desks, and one in the little office. Q And after the police came to the house do you remember seeing those computers any more? A No. | really did not focus on what was missing, only the picture that was big, and in the 88 Q Okay. But you're aware, as you told me, that Q You where aware, as you told me, that there were these computers that you described as being three computers in Mr. Epstein's house, right? A Yes, sir. Q And do you know whether those were taken out of Mr. Epstein’s house by Mr. Epstein or somebody associated with Mr, Epstein, or by the police? A I'm not aware. Q Soto the best of your knowledge, the police took less than ten photographs from Mr. Epstein's house, and that should be all of the evidence or objects that were taken by the police from Mr. Epstein’s house, to your knowledge? MR. CRITTON: Form, predicate. THE WITNESS: | don't know. BY MR. EDWARDS: Q_ I'm only asking what you do know. To your knowledge, what you described to me as -- | just want to know a list of all the things that you know were taken by the police. And you've described Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181495

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Louella Rabuyo - Volume I 89 to me | believe one photograph of this four-year-old previously in Mr. Epstein’s closet. A Yes. MR. CRITTON: Form. BY MR. EDWARDS: by the police? A No. Q_ Since Mr. Epstein has been out of jail, | wewann es wn guess this is since July of 2009, what has your schedule been? My schedule has changed. To what? From 6:00 to 3:30. 6:00 a.m.? Yes, sir. And why the schedule change? Because | was chosen to give breakfast. To whom? Mr. Epstein. By whom? rFOroOorororoao>r the breakfast, but there was a change, it was me. Q = Okay. You don't know why that change occurred? A No. Q Well, do you know why that change occurred? A Because so that somebody -- because Janusz has to stay later, so... Q_ Every moming now you serve breakfast to Mr. Epstein? A Yes, sir. Q_ So that’s why you're required to be there at 6:00 a.m. Is that what time he eats? A 6:30. Q_ Tell me since Mr. Epstein has been out of jail and back at the house, what other people have frequently visited and/or stayed at house? A Who? Q Who. A HE EB sv. Q_ And where does Mr. Epstein sleep in the house since he's been out of jail? A Where? In the master bedroom. Q Allright. And where does [J sleep? A_ I'm not aware if -- I did not see if they sleep together or... Q Well, you tidy up the house the following day, correct? Z) ESQUIRE an Alexander Gallo Company child as well as less than ten photographs that were Q Is there anything else that you know was taken Because it was Janusz was there usually gives October 20, 2009 91 A Yes. Q So you know what bedrooms need to be tidied up and look like someone slept there? A Yes. Q And does it appear that [J slept in the same bedroom as Mr. Epstein, or some other bedroom? A Sometimes the other bedroom is also, like, slept in. Q Okay. So sometimes -- A _ Sometimes one bed is the master, and sometimes the other, what's this, is slept in. Q_ What is your understanding of the relationship between [J and Mr. Epstein? A Relationship? Q Yeah. What is your understanding of role in Mr. Epstein’s life? MR. CRITTON: Form. THE WITNESS: She did not tell me that. She's his girtfriend, so she stays there, so... BY MR. EDWARDS: Qs She didn't tell you, or she did? A She did not. Qs She did not tell you. How long has [J been around Mr. Epstein, to the best of your memory? 92 A_ Since a few months | started working there. Q Okay. So that's late 2005 you're talking about, or 2004? Sorry. A 2005, | think. MR. CRITTON: 2005? MR. EDWARDS: She said 2005. MR. CRITTON: Okay. BY MR. EDWARDS: Q And what was your understanding back then why she was at the house with Mr. Epstein? A Understanding? | thought she is his girlfriend. Q_ Ghislaine Maxwell, when she hired you or interviewed you, told you that she, Ghislaine, was Mr. Epstein's girffriend, right? A Yes. Q_ And then a month or two after you began working at Mr. Epstein’s house [J is also around the house and you believed that she was Mr. Epstein’s girtfriend? A | want to — before | did not know that, she was just a visitor. Q Okay. When was it that you started, you were led to believe, or based on your observations you believed that [J was a girlfriend of Mr. Epstein? Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181496

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Louella Rabuyo - Volume I wert nn ew ne 93 A 2006. No. Wait. When he was in jail. Q Allright. When Mr. Epstein was in jail between June 2008 and July of 2009 is the first time that you began to believe that [J was a girlfriend of Mr. Epstein? A Yes. That's just my own, but she did not tell me that she's the girlfriend. Q_ Did anybody tell you that? A No. Q_ Prior to that period of time when Mr. Epstein was in jail, what was your understanding as to || relationship to Mr. Epstein or role in Mr. Epstein's life? A Atriend. Q What did she do when she was at the house prior to Mr. Epstein going to jail, [I, what did do? A What did she do? Q What did [J do around the house prior to Mr. Epstein going to jail? A_ Go shopping. Q Anything else? A That's what | know only. Q_Doyou remember a person named A Adriana? Q Yes. A | remember a name Adriana, but the family name, no. Q_ And what did Adriana do at Mr. Epstein's house, if anything? A Alfredo told me that Adriana is a personal assistant. Q Similar to RE? A Yes. Q Was there hing that you observed that would distinguish = from Adriana in terms of the role that they played in Mr. Epstein’s life? A Not really. Q Is that somebody who you believe scheduled Mr. Epstein for massages with the females, Adriana? A_ I don't know. Q_ And were you ever told that by anybody that | | was also involved in sex acts with minor females at Mr. Epstein's house? A No. MR. CRITTON: Form. BY MR. EDWARDS: Q Am! the first person that has said that in your presence? ESQUIRE an Alexander Gallo Company wrt nu eswune PePPePPePe eee S2YnuewvnrHo October 20, 2009 95 A Yes. Q Have you ever been told that | | was purchased from her family by Mr. Epstein? A No. Q_ Have you ever been told that | | serves as a lesbian sex slave for Jeffrey Epstein? A No, Q_ Since Mr. Epstein has been out of jail, you indicated that the frequent visitors are and Story; right? A Yes, sir. Q And does Story stay at the house? A No. Q_ How often is Story at the house? A Often. Like they come in the morning, they stay a few hours, then leave. Q Whois "they"? EB Hii ans story. Q And is that on a daily basis? A Not always. Q_Do you know if [I or Story -- do you know if || is staying at Mr. Epstein's house now? A No. Q_ You don't know, or she’s not? A_ No, she’s not. 96 Do you know where she is staying? Not now, no. Do you know if she's staying with Story? | don't know. Do you know if Story is || boyfriend? Yes. And is that the relationship between Story and HEEB they're boytriend and girlfriend, as you understand it? A Yes. Q And do you know how it is that they met? A I don't know. Q_ Do you know how long they've been boyfriend and girlfriend? A No. Q_ Do you know, have you witnessed Story talking with Mr. Epstein at Mr. Epstein's house? A Yes. Q_ And where do those conversations take place? A Inthe breakfast room. Q_ And when those conversations are taking place in the breakfast room between Story and Mr. Epstein, is BE 2is0 troro? A There are times when she's there, there is times that she’s not there. OoOFroOroro Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181497

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Louella Rabuyo - Volume I 97 Q Allright. So there are times that Story talks directly with Mr. Epstein in the breakfast room and it's just two of them? A Yes. Q Allright. And there are times when Story talks with Mr. Epstein in the breakfast room and HEE is 21:0 thor? A Yes. Q Are there times when [I is also involved in conversations where Story and Mr. Epstein are talking with one another in the breakfast room? A Yes. Q_ Are there times when all four of them, that meaning IE. EE. story, and Mr. Epstein, are all conversing together in the breakfast room? A Yes. Q_ Have you overheard the conversations? A No. Q Do you know or have you been made aware of them talking about the allegations concerning Mr. Epstein and female masseuses? A No, sir. Q_ Since Mr. Epstein has been out of jail in July of 2009, have you seen any females coming over to give Mr. Epstein a massage? 98 A No, sir. Q Do you know why that is? A I don't know, sir. Q Does [I have you seen [J keeping a schedule of females or masseuses? A No, sir. Q_ Since July of 2009, has Jeffrey Epstein spent every night at the Palm Beach house, to your knowledge? MR. CRITTON: Form, predicate. THE WITNESS: | leave at 3:30, so... BY MR. EDWARDS: Q When you arrive every morning at 6:00 a.m., has Mr, Epstein been there every day? A Yes, sir. Q Aside from IEEE EEE and story, have there been any other visitors that are regular visitors of Mr. Epstein since he’s been out of jail? Some female friends. Who would those people be? Difficult names. who? I don't know their... Do you know where she comes from? No. And | don't mean her country of origin. | @ ESQUIRE a2 Alexander Gallo Company orororo>y wo ery anne wne October 20, 2009 99 mean do you know if she flies in from New York or flies in from LA, or where she lives down the street in Palm Beach? A No. She said she comes from New York. Q_ What does she do when she's in Palm Beach? A Go to the beach. Q_ Did you know her prior to -- had you seen her prior to Mr. Epstein going to jail? A No, sir. Q Other than [E. are there any other visitors that you have witnessed or observed? Sultan. Who is that? Sultan, S-U-L-T-A-N? Yes. \s that a female? Amale. Do you know what Sultan does? No, sir. Do you know why he's ever at the house? No. How often is Sultan there? | saw him two times. And is that somebody that you saw prior to 100 Mr. Epstein going to jail? A No, sir. Q_ So the first time you saw him was sometime after Mr. Epstein got out of jail? A Yes, sir. Q_ Any other visitors that you've seen since Mr. Epstein's been out of jail in July? = And who is [? She's also a friend. A friend of whom? Mr. Epstein. And where does she come from? | did not ask her, | did not know. Q_ Allright. Is it somebody that a driver has to go pick up from the airport, or she flew from somewhere? A Yes. Janusz. Q_ Janusz picks these people up from the airport? A Yes, sir. MR. CRITTON: Form. BY MR. EDWARDS: Q_ And when | say "these people,” I'm talking about Sultan, and [J all are driven by Janusz to the house? OFoOroOrOorororo,y rOrOFrO>,Y Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181498

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Louella Rabuyo - Volume I 101 MR, CRITTON: Form. THE WITNESS: | did not see Janusz drive, but what's this. BY MR. EDWARDS: Q But that's what you understand? A Yes. MR. CRITTON: Form, speculation. BY MR. EDWARDS: Q. Any other visitors? A That's all | can remember. Q Do you know how old [J is? She, what's this. Excuse me? | don't know her age, but she looks like, what's this. Q_ Did you say “what's this"? A What? Q I'msorry, We're just | think miscommunicating here. A Okay. Q_| was asking the age of the person that you've described as A_ | did not ask her age. Q How do you know the names of EE. Sultan, and IP 102 A What's this? Janusz, Q Okay. Any other visitors aside from those three people that you have just listed, and the frequent visitors: A That's all | can remember. Q_ Has Ghislaine Maxwell come to visit since Mr. Epstein’s been out of jail? A_ No, sir. Q_ Do you know if they frequently talk with one another? A_ I don't know, sir. Q_ Do you know what the relationship is or has been between Ghislaine Maxwell and Mr. Epstein? A No. MR, CRITTON: Form. BY MR. EDWARDS: Q inthe five years or so that you've worked at Mr. Epstein’s house, what other persons besides Mr. Epstein have received massages from these females, from these female masseuses? MR. CRITTON: Form. THE WITNESS: | don't know, BY MR. EOWARDS: Q_ Do you know of any other visitors who have frequented Mr. Epstein's house that have also received a ESQUIRE an Alexander Galle Company © ewnneu ne October 20, 2009 103 massage from any of these females? MR. CRITTON: Form. THE WITNESS: | do not know. BY MR. EDWARDS: Q_ I'm just going to ask you if you can identify any of these people in this book. If you can, okay, if you cannot, it's fine. MR. CRITTON: | want to mark those, please. MR. EDWARDS: Well, if she can identify them I'l mark them. MR. CRITTON: No, no. | want them identified, because if she can't identify them that's significant to me as well. So can we mark those as a composite? MR. EDWARDS: | can mark them as a composite, and we can either copy them here as black and white or whatever. MR. CRITTON: That's fine. (Plaintiff's Exhibit No. 1 was marked for identification.) BY MR. EDWARDS: Q_ Do you know who this is, have you ever seen her before? A No. MR. CRITTON: And we'll call this Exhibit 1-A. 104 MR. EDWARDS: And then the next page will be "B,""C,""D"? MR. CRITTON: Yeah. BY MR. EDWARDS: Q What was your response? No. Never seen her before? No. MR. CRITTON: Can you tell us who they are? MR. EDWARDS: Can | tell you? MR. CRITTON: Yes. MR. EDWARDS; No, MR. CRITTON: Okay. MR. EDWARDS: She may be able to tell you. BY MR. EDWARDS: Q_ Have you ever seen her before? MR. CRITTON: That's 1-B. BY MR. EDWARDS: Q This is 1-B. A No. Q That's not somebody that you recognize as anybody working on Mr, Epstein's staff, pointing at picture 1-B? A No. Q_ Okay. 1-C, is that somebody that you Toll Free: 866.709.8777 Facsimile: 561.394,2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181499

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Louella Rabuyo - Volume I we eriwinnevnwe recognize -- A No. Q_ --as anybody who has ever been to Mr. Epstein's house in the past five years? A No. Q_ 1-D, do you know who that is? A No. Q_ You don't remember seeing her come to Mr. Epstein's house? A No. Q_1-E, do you know who that is? A No. Q_ Inthe five years that you worked there, you never remember seeing her come to Mr. Epstein's house? A No. Q_ Do you know who this is? A_ | remember this. Q You remember her? MR. CRITTON: Are you talking 1-F? BY MR. EDWARDS: Q Let's make sure we're right. 1-F. A Yes. Q Allright. When do you remember seeing her? A_ | cannot remember the dates, you know, but | remember seeing her. 106 Q Do you remember her name? A No. Q Does the name {EM refresh your recollection as to who this person is? A ZZ Q You remember a A = but | don't know if that's Q = Okay. And where do you think that you saw this person? A_ Inthe house. Q Do you know why she was there? A No. Q Is that one of the people that was giving a massage, or is that somebody else? A_ | do not know. | do not know. MR. CRITTON: I'm sorry. THE WITNESS: No, | do not see this. BY MR. EDWARDS: Q 1-G, that's not somebody you remember seeing? A No. Q_ 1-H, do you remember seeing that person? A No. Q This is a hard picture to decipher maybe, but do you remember seeing that face? And that's 1-1. ESQUIRE an Alexander Galle Compasy he het KFOM MIAH e wWne October 20, 2009 107 A | cannot remember. MR. CRITTON: This is 1-1 now? MR. EDWARDS: This is 1-1. THE WITNESS: | cannot remember. BY MR. EDWARDS: Q_ By that | mean you've been able to tell me no, no, no, no, No. When you say | don't remember, does that mean maybe you have? A Maybe, because the eyes. Q Okay. So that’s somebody who may look familiar to you but you don't know why? A Yes. Q Okay. Is that somebody you remember seeing at Mr. Epstein's house; | mean, is that where the familiarity comes from? A Maybe. Q Okay. Do you recognize that person? A That's Q_ And that's the person that you've been describing as [J throughout this deposition? When you've talked about [Mh that's the person you're talking about? A Yes. MR. SR: What number are we on now? MR. CRITTON: “J.” 108 MR. MERMELSTEIN: “J.” MR. EDWARDS: [is “J. BY MR. EDWARDS: Q Do you know who that is, have you ever seen that person? A Yes. Q Where have you seen him? A Inthe house. MR. CRITTON: This is *K* now? BY MR. EDWARDS: Q This is 1-K. What have you seen him doing in the house? A He came with his family. Q_ Every time that he's been in the house he's come with his family? A No, no, no. He came with his family to spend a week. Okay. And did his family come to the house as Yes, They stay there. They stayed at the house? This is Mr. Dershowitz? Right. And how many times have you seen Mr. Dershowitz at the house in the time period that you were there? Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181500

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yo Louella Rabuyo - Volume I October 20, 2009 109 111 1 A Two times. 1 inthe house? 2 Q_ And one of the times he was with his family? 2 A I cannot remember. 3 A Yes. 3 Q_ Do you know if Mr. Dershowitz has ever been in 4 Q_ And the other time is it safe to presume then 4 the house when the females would come to the house to 5S that he was alone? 5 give Mr. Epstein a massage? 6 A Yes. 6 A I told you, | do not know. 7 Q_ During the time that he was with his family, 7 Q You don't remember that? 8 — do you remember if Mr. Epstein received any massages 8 A | don't remember that. 9 from females? 9 Q_ Okay. Do you know if Mr. Dershowitz has 10 A No. 10 received a massage while staying at Mr. Epstein's house? 11 Q You don't remember, or he did not? 11 A No. 12 A Oh, he was there when Mr. Epstein was not in 12 Q You don't know? 13 the house. 13 A I don't know. 14 Q_ Mr. Dershowitz and his family were in the 14 Q Do you know who that is? 15 house when Mr. Epstein was not in the house? 15 MR. CRITTON: Let's get a letter now, or this 16 A Yes. They spend a week there. 16 is going to be a mess. 17 Q And Mr. Epstein was not in South Florida, you 18 mean, not in Palm Beach? 19 A No. 20 MR. CRITTON: That's correct? 21 BY MR. EDWARDS: 22 Q_ That's correct, my statement is correct? 23 A Correct. 24 MR. [BE So no, he was not in the house? 25 THE WITNESS: He was not in the house. 17 MR. EDWARDS: Not really, they're all in 18 order, 19 MR. CRITTON: For the record, you're going how 20 about this person, and nobody is going to know who 21 you're talking about. This is “L." 22 MR. EDWARDS: Yeah. 23 BY MA. EDWARDS: 24 Q Whois 1-L? as A 1-L? 110 112 12 BY MR. EDWARDS: 1 Q_ Whois this? 2 Q_ So Mr. Dershowitz and his family were 2 A Oh. That's Ms. Maxwell. 3 occupying the house in Palm Beach, and during that 3 Q_ That's Ghislaine Maxwell? 4 period of time Mr. Epstein was not staying at the 4 A Yes, sir. 5 Palm Beach house? 5 Q_ That's somebody who you know? 6 A No, 6 A Yes, sir. 7 Q That's correct? 7 Q_ And you've seen her at the house before? 8 A_ I think he was in jail. 8 A Yes. 9 Q_ Oh, okay. This is a time period when 9 Q Allright. And that's the same Ms. Maxwell 10 Mr. Epstein was in jait? 10 that hired you into the position, correct? ray ra > Yes. 12 Q_ Do you remember seeing this person? 13 A That's Igor. 4 MR. CRITTON: "M." 15 BY MR. EDWARDS: 16 Q Thisis 1-M. 17 And how do you know Igor? 18 A He's now in the house. 19 Q_ He's now in the house? 20 A Yes. 21 Q_ But when we listed the people, | wanted you to 22 list for me all of the people -- 23 A_ I forgot. I'm sorry. | forget Igor. Q sts there anybody else that you think you forgot? Toll Free: 866.709.8777 Facsimile: 561.394.2621 @ 11 A (Nodding head). 12 Q_ That Mr. Dershowitz was at the house? 13 A Yes. 4 Q Okay. Other than that time period -- there 15 —_ was another time period when Mr. Dershowitz was at the 16 house and he was not with his family? Yes. And how long ago was that? Oh. I cannot remember when. All right. Was it before Mr. Epstein went to > = o>o> | think after. 23 Q_ So you think again Mr. Epstein was not in the house. To the best of your memory, has Mr. Dershowitz been in the house at the same time Mr. Epstein has been Suite 600 E S IRE 4440 PGA Boulevard [ J Palm Beach Gardens, FL 33410 an Alexander Galle Company www.esquiresolutions.com EFTA00181501

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Louella Rabuyo - Volume I 113 A I think this is the only one | forgot. Q_ And what is his role in Mr. Epstein's life, if you know? He's a driver and he is trainer. Trainer? (Nodding head). What do you mean by that? Because | saw him telling Mr. Epstein, one more lap. Q One more lap where? In the swimming pool. And he said he's a Who said he's a trainer? Igor. Igor told you that he's a trainer? Yes. Okay. Do you know who that is? No. Never seen her before? Never. All right. MR. CRITTON: That's "N." BY MR. EDWARDS: o>0>0>0>08> Q That's "N." Do you ever remember a girl named [J coming 114 to the house? A TEP | rears Q But you never remember seeing somebody in the house that somebody referred to as IEP A No. | don't know their names if they come, | don't know their names. Q_ But the name in this photograph, which is "N,” you don't remember seeing her? No, sir. Do you know who that is? Yes, sir. Who is that? My employer. And that is Mr. Epstein? Mr. Epstein. All right. So Mr. Epstein is "0?" Correct. MR. CRITTON: Right. BY MR. EDWARDS: Q_ Do you know who that is? A | don't know. Do you remember Alfredo Rodriguez? Oh. That's Alfredo? Oh, yes. Now that you look at the photograph, does it look like Alfredo Rodriguez? ESQUIRE an Alexander Gallo Company >OrOFrOFrOPY wer nne vne October 20, 2009 115 A Because he aged. MR. CRITTON: He aged? THE WITNESS: He aged. MR. CRITTON: Okay. And this is *P." BY MR. EDWARDS: Q This is *P.” And this is, just so that you know, a fairly recent photograph of him, and you haven't seen him in how long? A After he left Mr. Epstein's employ. Q_ Soit's been numerous years since you've seen this person? A Yes. Q_ Soin faimess to you, that may be the reason why you didn't recognize this particular person? A Yes. Q Okay. And if any of these previous photographs were taken recently and you hadn't seen the person for five years, then that would be a possibility as to why you don't recognize that person anymore? (Telephone ringing.) MR. EDWARDS: Jack? MR. CRITTON: Jack? 116 MR. HILL: Hey, guys. | got cut off. Sorry. BY MR. EDWARDS: Q This is *P." That was Alfredo Rodriguez, you've seen him in the house? A Yes. Q How many months was Alfredo Rodriguez working there overlapping your employment? A_ | started November, December, and then -- about three months. Okay. Do you know who that is? Oh. You got that from my Facebook? Do you know who that is? That's me. Okay. You recognize that. MR. CRITTON: That was *Q.* THE WITNESS: Thank you. ur. FEB: You made the book. THE WITNESS: My niece made it for me. MR. CRITTON: Next is "A." BY MR. EDWARDS: Q_ Do you know who this person is who is labeled 1-R? A No. Q Never seen that person before? A No. Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181502

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Louella Rabuyo - Volume I S9ynunewne 117 Q_ Has Mr. Epstein had anyone in the house that you remember by the name of Martin? A No. Have you ever been on Mr. Epstein's planes? No. Do you know this person who we are labeling No. You've never seen that person before? Never. Do you know the name Leslie Wexner? | heard that one. When did you hear about Leslie Wexner? In the news, it was in the news. Other than in the news, you have no idea who Leslie Wexner is? A No. Q_ Have you seen that person before? MR. CRITTON: This is 1-T. BY MR. EDWARDS: Q 1-T. A This is the Duke of, what's this? Q Prince Andrew. Have you ever seen Prince Andrew in Mr. Epstein's house? A No, 118 MR. CRITTON: Next one is "U." BY MR. EDWARDS: Q_ 1-U, have you ever seen this person? A_ No. No, sir. Q_ That's not somebody you recognize as ever being at Mr. Epstein's house? A No. Q_Do you know who this is? A President Clinton. Q_ Have you ever seen President Clinton in the house? A No. MR. CRITTON: That was “ff"? MR. EDWARDS: That's "§." MR. CRITTON: 1-@f is Clinton, MR. EDWARDS: was Clinton. BY MR. EDWARDS: Q_ Have you ever seen him at the house? A No. Q_ Have you ever seen him at all in person, Mr. Clinton? A No. Q_ Have you ever heard that Mr. Clinton was ever at Mr. Epstein's house? A On the news. ESQUIRE an Aleaaoder Galle Company w©esnnewne October 20, 2009 119 Q Okay. Other than on the news, anybody around the house ever say that? A President Clinton? No. Lyn and Jojo. Q_Lynand Jojo. What did they say? A Oh, not him. It's Kerry, Senator Kerry, they have a picture Q_ Senator Kerry? A Yes. Clinton? Let me see. Oh, no. Q_ So Lyn and Jojo, at some point in time, told you that Senator Clinton (sic) was at the New York house? MR. CRITTON: No. Senator Kerry. BY MR. EOWARDS: Q > Senator Kerry. Sorry. A | remember when | was in New York she showed me a picture of them with Senator Kerry or Clinton, | don't know, you know. Q_ Soeither Kerry or Clinton was in a picture with who? A With Lyn and Jojo. Q_ And this picture was purportedly taken at the New York house of Mr. Epstein? MR. CRITTON: Form. THE WITNESS: | don't know if it’s in the house, but they showed me a picture. 120 BY MR. EDWARDS: Q Okay. MR. BY MR. EDWARDS: 1-W, have you ever seen this person? No. No? No. Do you know anybody by the name of Cecelia Stein? A Cecelia Stein? | heard about it. Q_ How have you heard about her? A Cecelia Stein. | know Cecelia that works in the office. Works in what office? New York. You think she still works in that office? | don't know. When was the last time you remember her working in that office? A_ | don't know. | just heard her name. Q > Okay. Through whom? A Sometimes | think when | was in New York | answer a phone call, so that's... Q You remember a time -- did you ever hear of ; This is "W." Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181503 '

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Louella Rabuyo - Volume I oeewanwewne 121 her being relocated to some other location? A No. MR. CRITTON: We are at 1-X now. BY MR. EDWARDS: So 1-X is IEP Yes, sir. And you recognize SA? Yes. Okay. Do you know who that is? | saw him on magazines. David Copperfield, do you know who that is? Oh, yes. And have you seen him at Mr. Epstein's house No, sir. Do you know Mr. Epstein to be friends with David Copperfield? A No, Q If Alfredo Rodriguez remembers him performing magic in Mr. Epstein's living room, you weren't at the house at that time? MR. CRITTON: Form. THE WITNESS: No. Because | did not see him. BY MR. EDWARDS: Q = Okay. Do you ever remember anyone performing 122 a magic show in Mr. Epstein's living room? A No. MR. EDWARDS: What are we at? MR. CRITTON: “Z." BY MR. EDWARDS: Do you know this? Yes. What's his name. Jean Luc Brunel. Do you know who that is? Yes. How do you know him? He comes to the house. He comes to the house. When you say "he comes to the house,” you've worked since November of 2004, five years; when has he come to the house? He came after Mr. Epstein got out of jail. And what did he do there? He talked to Mr. Epstein, had breakfast. How long did he stay? About a day. Okay. So he stayed overnight at the house? Yes. And was he accompanied by any females? No. Do you know what he does for a living? No. o> o>o>0>0>0 rFOrOrOrOrOoO>,Y ESQUIRE aa Alexander Gallo Company weeswrnuewn pe October 20, 2009 123 Q_ Do you know if he's a business associate or partner of Mr. Epstein? A No. Q_ Had you seen him prior to this time that you recently saw him after Mr. Epstein was out of jail? MR. CRITTON: Form. THE WITNESS: | cannot remember. BY MR. EDWARDS: Q Okay. Do you think that the first time that you ever saw this person was recently, when Mr. Epstein got out of jail? A Yes. Q Okay. MR. CRITTON: So this is AA. BY MR. EDWARDS: Q_ Do you know who this is? No. Have you ever seen him before? No. All right. He's an actor? Have you ever heard of the name Todd Meister? No. That's not somebody you've ever taken a message for that's called? 124 A No. Q Okay. The next one is BB. Do you know who that is? A That's Story. Q_ Story Cowles? A Yes. | don't know his family name, but Story. Q_ When is the first time that you remember seeing Story? A. First time? Mr. Epstein was in jail. Q = Okay. And was that as a result of him being at the house with Story and Ms. Kellen? A No. I don't think so. He came without [I he came first without [I Q_ And did he knock on the door? A Yes. Q Ordoes he have a key? A_ | think he knows the combination. Q_ There is a combination to one of the doors to get access to the house? A Yes. Q_ And Story Cowles is one of the people who has the combination? A Yes. Q Who are the other people that have the combination to get in Mr. Epstein’s house? Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181504

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Louella Rabuyo - Volume I owmanuwewne Igor. TI Who is that? = And when Story came to Mr. Epstein's house without [II how long ago was that, do you remember? MR. CRITTON: Form. THE WITNESS: How long ago? BY MR. EDWARDS: Q Yes. Was Mr. Epstein in jail, was it before he went to jail? A Oh. The other day he came without Q But the other day is not the first time you've seen Story, right? A Yes. Oromorororo> Q_ The other day was the first time you've seen Story? A_ No, no, no, no. | said he came without [I 126 Q Right. This whole back and forth started with me asking you when is the first time that you ever saw Story. And | thought you responded by telling me that he came to the house for the first time without | don't want to put words in your mouth, we'll start over. Okay. When is the first time you saw Story? When Mr. Epstein was in jail. Do you know why he came to the house? No. Do you know who he talked to when he was there? lz Q And what did he talk to [J about? A | do not know. Q Did he talk to J about Jettrey being in jail? MR. CRITTON: Form. She said she didn’t know. THE WITNESS: | did not hear anything. BY MR. EDWARDS: Q_ Where did they talk? A_ Inthe kitchen. Q Atthe time were Story and [J boyfriend and girlfriend, did you know? ESQUIRE a2 Alexander Gallo Company wewnn ew ne October 20, 2009 127 No. They weren't boyfriend and girlfriend yet? No. Do you know when that evolved into a boyfriend and girlfriend relationship? A | don't know. MR. EDWARDS: All right. MR. CRITTON: Are you done? MR. EOWARDS: Probably. MR. [EB D0 you need a second? Do you need a break? MR. MERMELSTEIN: Can we take a break? (Briet recess in proceedings.) MR. EDWARDS: Jack, do you have questions, too? THE WITNESS: I'm trying to get a photograph of somebody over there. | don't know if Esquire is going to be able to print it, if they've got a color copier, or if I've just got to run it over. How much longer do you-all plan on going, do you know? MR. CRITTON: About another fifteen minutes. | don't know. How long have you got, about ten? MR. MERMELSTEIN: About ten, fifteen. 128 MR. CRITTON: | may have ten minutes worth of questions. MR. EDWARDS: Weil be another thirty minutes at least. MR. HILL: | might just get in the car and shoot over there. MR. EDWARDS: | think we're taking a break right now anyway. MR. CRITTON: Well, if we're going to take a break, then | want to do a lunch break, I've got some stuff | have to do. If we're only going to be fifteen or twenty minutes, that's fine. But if we're going to go another half hour, let's take a lunch break. MR. EDWARDS: It's going to take a while. MR. CRITTON: So let's take a lunch break. (Briet recess in proceedings.) (Continued to Volume II.) Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com EFTA00181505

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Louella Rabuyo - Volume I October 20, 2009 129 STATE OF FLORIDA COUNTY OF PALM BEACH |, the undersigned authority, certify that LOUELLA RABUYO personally appeared before me on the 20th Dated this 30th day of October, 2009. Teresa Whalen, RPR, FPR Notary Public - State of Florida My Commission Expires: 4/25/11 My Commission No.: DD 644533 Job # 118991 130 CERTIFICATE STATE OF FLORIDA COUNTY OF PALM BEACH |, Teresa Whalen, Registered Professional Reporter and Notary Public in and for the State of aforementioned witness was by me first duly sworn to testify the whole truth; that | was authorized to and did report said deposition in stenotype; and that the foregoing pages are a true and correct transcription of my shorthand notes of said | further certify that said deposition was taken at the time and place hereinabove set forth and that the taking of said deposition was commenced and completed as hereinabove set out. I further certify that | am not attorney or counsel of any of the parties, nor am | a relative or employee of any attorney or counsel of party connected with the action, nor am | financially interested in the action. The foregoing certification of this transcript does not apply to any reproduction of the same by any means unless under the direct control and/or direction of the certifying reporter. Dated this 30th day of October, 2009. Teresa Whalen, RPR, FPR Job # 118991 Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 an Alexander Galle Company www.esquiresolutions.com EFTA00181506

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