141-02.pdf
ia-court-doe-no-3-v-epstein-no-9ː08-cv-80232-(sd-fla-2008) Court Filing 1.8 MB • Feb 13, 2026
Case 9:08-cv-80232-KAM Document 141-2 Entered on FLSD Docket 05/06/2010 Page 1 of 17
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF FLORIDA
CASE NO.: 08-CV-80119-MARRA/JOHNSON
JANE
DOE NO. 2,
Plaintiff,
Page 1
-vs-
VOLUME I OF II
JEFFREY EPSTEIN,
Defendant.
-~------------------/
Related cases:
08-80232, 08-08380, 08-80381, 08-80994,
08-80993, 08-80811, 08-80893, 09-80469,
09-80591, 09-80656, 09-80802, 09-81092
VIDEOTAPED DEPOSITION OF
JANE DOE NO. 3
Friday, February 19, 2010
10:07 -5:09 p.m.
250 Australian Avenue
Suite 1500
West Palm Beach, Florida 33401
Reported By:
Cynthia Hopkins, RPR, FPR
Notary Public, State of Florida
Prose Court Reporting Services
Job No.: 1298
61) 832-75.00
PROSE COURT REPORTING AGENCY, INC.
EXH!BIT_fl
( 5 61)
Case 9:08-cv-80232-KAM Document 141-2 Entered on FLSD Docket 05/06/2010 Page 2 of 17
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Page
82
any
additional
sworn
testimony
regarding
Mr.
Epstein
1
to
anyone?
2
A.
No.
3
Q.
Did
you
ever
give
a handwritten
report
to
4
anyone
as
to what
occurred
at
Mr.
Epstein's
house,
5
and
I'm
not
interested
again
in
what
happened,
once
6
you
hired
Mr.
Herman?
7
A.
I don\
remember.
8
Q.
At
any
time
-- well,
let
me
ask
it this
9
way:
After
you
filed
your
--
or
after
the
Palm
1 0
Beach
Police
Department
met
with
you,
Officer
11
Recarey
met
with
you,
did
you
ever
discuss
that
12
meeting,
that
is the
conversation
you
had
with
them
13
with
Ms.
J.S.,
that
is this
is what
they
asked
me;
14
what
did
they
ask
you?
15
A.
What?
16
Q.
You
said
J.S.
was
around
you at
the
1 7
time--
18
A.
Yes.
19
Q.
--
when
the
Palm
Beach
Police
Department
2 0
came,
correct?
21
A.
Yes.
22
Q.
Okay.
After
--
did
they
interview
her
as
2 3
well
the
same
day?
2 4
A.
No.
25
Page
83
Q.
Okay.
Do
you
know
whether
she
ever
went
1
to
Epstein's?
2
A.
Yes.
3
Q.
Okay.
And
how,
how
did
you
know
that?
4
A.
She
told
me.
5
Q.
Okay.
Did
she
tell
you
before
the
police
6
department
ever
contacted
you?
7
A.
Yes.
8
Q.
Okay.
And
did
you
know
J.S.
-- was
she
9
one
of
your
good
friends
at the
time?
10
A.
Yes.
11
Q.
Okay.
She's
still
a good
friend?
12
A.
Yes.
13
Q.
Okay.
Do
you
know
whether
she's
a
14
plaintiff
or
has
ever
filed
any
type
of
claim?
15
A.
I
don't
know.
16
Q.
Okay.
Did
you
ever
tell
her
that
you
had
1 7
filed
a claim?
18
A.
No.
19
Q.
She
just
knows
that
you
went
to
Epstein's
2 0
home?
21
A.
Yes.
22
Q.
Okay.
Did
she
ever
tell
you
what
happened
23
at Epstein's
home?
2 4
A.
Yes.
25
Page
84
Q.
Okay.
Did
you,
did
you,
did
she
tell
you
that
before
you
ever
went
to Epstein's
home?
A.
Yes.
Q.
Okay.
And
what
was
the
occasion
of
her
telling--
her, J.S.,
telling
you
what
had
occurred
at Epstein
--
or
that
she
had
been
to Epstein's
home?
Do
you
want
me
to ask
that
again
--
A.
Yes.
Q.
--
because
I confused
myself.
You
said
thatJ.S.
told
you,
before
you
first
went
to
Mr.
Epstein's
house
which
you
described
as
being
approximately
in June
of'04,
that
she
had
been
to Epstein's
home;
is
that
correct?
A.
Yes.
Q.
Okay.
And,
and
what
was
the
occasion
of
her
telling
you,
that
is how
did
it come
about
that
she
told
you
she
had
been
to
Epstein's
home?
A.
How
did
she
tell
me?
Q.
No.
What
was
the
occasion?
Where
were
you and
how
did
you
-- how
did
the
subject
come
up?
A.
Haley
asked
me
if
I wanted
to
do
it.
Q.
Okay.
And
Haley meaning
Haley
--
A.
Robson.
Q.
And
where
were
you-all
at the
time?
Page
85
A.
At
a girlfriend's
house.
Q.
Whose
house
were you
at?
A.
Jane
Doe
No.
4's.
Q.
Jane
Doe
No.
4 who?
A.
DoeNo.4.
Q.
And
how
did
you
know
Jane
Doe
No.
4?
A.
I
grew
up
with
her
in LaMancha.
I
went
to
school
with
her.
Q.
Same
grade?
A.
No.
Q.
Older;
younger?
A.
Older.
Q.
How
much
older?
A.
Ayear.
MR.
MERMELSTEIN:
Just
to
be
clear,
your
question
as
to
who
was
older,
her
or
Jane
Doe
No.4?
BY
MR.
CRITTON:
Q.
I'm
assuming
you
meant
Jane
Doe
No.
4 was
a year
older
than
you.
A.
Yes,
sir.
MR
CRITTON:
I think
it was
just
you.
MR
MERMELSTEIN:
I'm
the
only
one
that
was
confused,
right?
MR
CRITTON:
Yeah
(561)
832-7500
PROSE
COURT
REPORTING
AGENCY,
INC.
22
(Pages
82
to
85)
(561)
832-7506
Case 9:08-cv-80232-KAM Document 141-2 Entered on FLSD Docket 05/06/2010 Page 3 of 17
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Page
86
BY
MR.
CRITTON:
1
Q.
And
Jane
Doe
No.
4,
is she
from
pretty
2
much
a middle
class
family
as
well?
3
A.
Yes.
4
Q.
All
right.
And
Jane
Doe
No.
4
is
the
one,
5
she's
a soccer
player,
wasn't
she?
6
A.
Yes.
7
Q.
And
did
you
and
Jane
Doe
No.
4
--
well,
8
Jet
me
strike
that.
9
Let's
see,
if
you
went
in
10
approximately
June
of'04,
approximately
when
did
11
this
conversation
take
place,
how
many
months
before
12
you
ultimately
went?
13
A.
What
conversation?
14
Q.
Well,
you
said
that
Haley
asked
you,
ifl
15
understood
you,
Haley
asked
you
if
you
wanted
to
go?
16
A.
Yes.
17
Q.
Okay.
Is
that
the
first
time
Haley
had
18
ever
hrought
it
up
to you?
19
A.
No.
20
Q.
So,
at least
at the
time
that
Haley
21
brought
up
going
to
Mr.
Epsteio's house
or
going
2 2
to
--
did
you
know
his
name
was
Epstein at
that
2 3
time?
24
A.
Jeffrey.
2 5
Page
87
Q.
Just
Jeffrey.
All
right
When
she
said,
1
she
asked
you,
apparently
again,
if
you
were
2
interested
in
going
to
Mr.
--
to,
to
Jeffrey's
house
3
to
give
him
a massage,
at least
on
this
occasion
4
Jane
Doe
No.
4 -- you
were
at Jane
Doe No.
4's
5
house,
and
J.S.
was
there
--
6
A.
No.
7
Q.
--
as
well
as
Haley?
Is that
wrong?
8
A.
That
is wrong.
9
Q.
Okay.
Then
let
me
ask
a question.
I
10
thought
you
-- had
you
learned
that
J.S.,
had,
J.S.
11
had
been
at
Jeffrey's
house
sometime
before
this
12
conversation?
13
A.
Yes.
14
Q.
By
"this
conversation,"
I mean
when
Haley
15
asked
you,
you
were
at Jane
Doe
No.
4's
house.
16
A.
Yes.
17
Q.
How
much
earlier
was
the
conversation
18
where
J.S.
told
you
she
had
been
to
Jeffrey's
house?
19
A.
A
lot
earlier.
2
O
Q.
Anumberofmonths?
21
A.
Probably,
yeah.
2 2
Q.
And
when
J.S.
told
you
that,
what
did
she
2 3
tell
you;
that
is what
were
the
circumstances
of
her
2 4
telling
you?
Who
was
there?
Where
were
you?
2 5
Page
88
A.
Don't
know
exactly
where
I
was.
I don't
remember.
She
told
me
that
she
gave
a massage
to
Jeffrey
for
$200.
it?
Q.
Did
she
tell
you
how
many
times
she'd
done
A.
No.
Q.
Did
you
ask
her
about
Jeffrey?
A.
No.
Q.
Did
you
say,
what
are
you
doing
giviog
--
did
she
tell
you
how
old
Jeffrey
was?
A.
No.
Q.
Okay.
Had
you
ever
heard
--
or
let
me
strike
that.
At
the
time
that
J.S.
mentioned
that,
first
mentioned
to
you
that
she
had
given
a
guy
named
Jeffrey
a massage
for
$200,
had
you,
had
Haley
ever
talked
to you
at all?
A.
Yes.
Q.
And
Haley
had
talked
to you
a number
of
months
before
you
eventually
went
to
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- Feb 13, 2026