Part 1 of 3
Page 216
United States Department of Justice
INTERVIEW OF: GHISLAINE MAXWELL
DATE: July 25, 2025
APPEARANCES:
For the United States:
Todd Blanche, Deputy Attorney General
Diego Pestana, Acting Associate Deputy
Attorney General
Spencer Horn, FBI Special Agent
Mark Beard, Deputy U.S. Marshal
For Ghislaine Maxwell:
David Markus
Leah Saffian
Melissa Madrigal
Page 217
1 I N T E R V I E W
2 ***
3 SPENCER HORN: Good morning. It is
4 Friday, July 25th, the time is 9:24 a.m. My name is
5 Spencer R. Horn. I'm the Assistant Special Agent in
6 Charge of FBI New York. And we are here for a
7 recorded proffer agreement with Ms. Maxwell.
8 TODD BLANCHE: Good morning, Ms. Maxwell.
9 How are you?
10 GHISLAINE MAXWELL: Good morning.
11 TODD BLANCHE: Good. So the proffer
12 agreement we signed yesterday, I just -- there's a
13 place on it for us to all kind of initial. It's
14 exactly the same document and you'll see your
15 signature. If you can just initial right to the left
16 of -- right here.
17 GHISLAINE MAXWELL: Here?
18 TODD BLANCHE: Right there.
19 GHISLAINE MAXWELL: Oh, it's okay.
20 TODD BLANCHE: And then Mr. Markus will --
21 DAVID MARKUS: Yes.
22 TODD BLANCHE: -- initial as well. Thank
23 you.
24 And just to kind of -- before we get
25 going, I'll just say that exactly the same folks that
Page 218
1 were here when we met yesterday are here today. So
2 there's no -- I'm not going to do formal
3 introductions, because it's exactly the same group of
4 folks.
5 So we're continuing, Ms. Maxwell, our
6 discussion of yesterday. And the same -- the same
7 kind of rules apply. If you -- we'll take breaks, if
8 you need to talk to Mr. Markus or your lawyers, no --
9 absolutely no problem. Just let me know. I'll try
10 to ask my questions in a coherent manner, but if
11 there's anything that I say that's confusing,
12 definitely interrupt me.
13 GHISLAINE MAXWELL: I will. Thank you.
14 TODD BLANCHE: So I think the easiest
15 thing to start with is, is there anything that we
16 talked about yesterday that -- we're going to go
17 through some more names. I think that we -- that's
18 one of the places that we -- that we interrupted,
19 just because there's a lot of names.
20 But aside from additional names, is there
21 anything that you wanted to kind of follow up on that
22 we talked about yesterday or anything that you
23 thought maybe you remember more of or not?
24 GHISLAINE MAXWELL: Some more names did
25 come to me in the night, and I did have some
Page 219
1 additional memories just for clarity. I believe I
2 said that I couldn't think of anybody who I may have
3 asked from Mar-a-Lago, but then I realized that I
4 was -- the allegation at least is that I met
5 in Mar-a-Lago and so I felt that I needed to address
6 that. And I didn't want to leave that hanging
7 because that seems weird under the circumstances.
8 And also -- but I couldn't remember anyone
9 and -- maybe, you know, it's a long period of time.
10 So the issue is not that I'm trying to not say, but I
11 just don't -- I don't remember anybody that I would
12 have. But it's not impossible that I might have
13 asked someone from there.
14 TODD BLANCHE: I don't -- I don't know
15 exactly what you said yesterday, but I don't think
16 what you said yesterday is different than what you
17 just said. So, yes. There's --
18 GHISLAINE MAXWELL: Okay. I just wanted
19 to be -- I just didn't want to feel that I had said
20 no to something and that it -- and --
21 TODD BLANCHE: definitely had
22 has said that she was working at Mar-a-Lago and that
23 you received a treatment of her -- from her at some
24 point, and that you recruited her to meet
25 Mr. Epstein.
DOJ REDACTION
DOJ REDACTION
Page 220
1 GHISLAINE MAXWELL: Right.
2 TODD BLANCHE: Do you know, affirmatively,
3 whether that's true or false, or do you just not have
4 a memory either way?
5 GHISLAINE MAXWELL: I really don't believe
6 it's true. But I know that I did go to spas and if I
7 met someone, I did ask if they're (indiscernible) --
8 so I don't -- in the realms of possibility, it could
9 have, but I have no memory of it.
10 TODD BLANCHE: Okay.
11 GHISLAINE MAXWELL: And I don't believe
12 that that it's how it went down, but I don't want
13 to --
14 TODD BLANCHE: Okay. So I want to talk
15 about -- we talked a little bit yesterday about the
16 financial part of your relationship with Mr. Epstein,
17 kind of being on payroll, for lack of a better word,
18 for many, many years, starting around $25,000 and
19 ending up at around $250,000 per year.
20 There's -- as you know, from your trial,
21 there's banking information that shows a ton of money
22 being sent to you from Mr. Epstein over the years.
23 And I think totaling something like
24 $30 million, something like this. What's -- what's
25 the -- why was that money sent to you? Like, what
Page 221
1 was that for?
2 GHISLAINE MAXWELL: Well, first of all, I
3 don't -- I dispute the characterization that the
4 money was sent to me.
5 TODD BLANCHE: Okay. So tell me what -- I
6 am stuck with the witnesses at trial and what was
7 said at trial on that issue. So what -- what -- what
8 is the -- what do you dispute about that?
9 GHISLAINE MAXWELL: Well, I believe -- I
10 don't have full recollection. I'm not even sure I
11 ever saw what they accused me of, but my belief is
12 that that money also contained money that was for a
13 helicopter, for instance, that I never owned and I --
14 was never mine. And --
15 DAVID MARKUS: In other words, money was
16 sent to you that you then used to purchase things
17 or...
18 GHISLAINE MAXWELL: Well, I'm not even
19 sure that I purchased it. So the accounts -- those
20 accounts would be controlled by his accountants.
21 And --
22 TODD BLANCHE: Even accounts in your name,
23 you're saying, or one of your entities?
24 GHISLAINE MAXWELL: Well, I'm not even
25 sure I knew of all the entities. I'm not -- I
Page 222
1 don't -- it -- maybe I did, contemporaneously, but I
2 simply wouldn't know today. So if there was an
3 entity, let's say account X, if I really set that up
4 myself or whether they said, we're doing this and the
5 money's coming or whatever. But in no substantive
6 way -- I can't think of the right word.
7 DAVID MARKUS: Did you have control
8 over --
9 GHISLAINE MAXWELL: I had no control, is
10 what I'm saying.
11 TODD BLANCHE: So when -- when the
12 government -- when there was testimony or the
13 government admitted evidence that showed, for
14 example, $5 million in 2002 coming from Epstein to
15 you, okay, what you're saying is that that may --
16 that happened, but that the you there, wasn't money
17 that -- he wasn't giving you money.
18 GHISLAINE MAXWELL: I'm not going to say
19 that for everything, because maybe there were
20 accounts that money was sent to me. But I can say
21 that I know -- like the helicopter, I can
22 definitively say. I'd have to look at all of them to
23 be accurate for you.
24 But to explain how or why I could be
25 receiving monies, and I certainly did. So I'm not
Page 223
1 disputing all of it.
2 TODD BLANCHE: But when you said -- let's
3 go back and look. Why would -- why did money have to
4 go into your accounts or account that was controlled
5 by others, but in your name to, like, purchase a
6 helicopter?
7 GHISLAINE MAXWELL: Oh, that's a very good
8 question. I don't -- I'm not sure I know the answer
9 to that. I don't.
10 TODD BLANCHE: So let me ask this maybe a
11 different way that gets to the issue, right? So the
12 accusation by the government, based upon the evidence
13 they collected, is that Epstein paid you millions and
14 millions of dollars over the years.
15 And the reason why he paid you that is
16 because you were performing an extraordinary service
17 for him by recruiting young women, many of whom were
18 underage to -- so that he could sexually abuse them.
19 Okay. That's their -- that's their allegation.
20 Okay.
21 From what you said yesterday and from what
22 I've reviewed about you and Mr. Epstein, he paid for
23 a lot in your life.
24 GHISLAINE MAXWELL: Absolutely.
25 TODD BLANCHE: Your flights, where you
Page 224
1 stayed with him. I mean, he didn't expect you to
2 reimburse him along the way for food and, you know,
3 so he took care of you for many years.
4 GHISLAINE MAXWELL: That is true.
5 TODD BLANCHE: On top of that, he actually
6 paid you a salary as we talked about $25,000 to
7 $250,000. What else did he give you? Or what
8 purchase -- like, was there a time when he gave you a
9 million dollars or $500,000 as a bonus? Or what --
10 what financial benefit did you receive from him,
11 besides what we've already talked about. We don't
12 have to talk about what, you know, so --
13 GHISLAINE MAXWELL: I got it. I got it.
14 TODD BLANCHE: Okay.
15 GHISLAINE MAXWELL: So my goal, always,
16 was to become independent, independently, financially
17 secure and work for myself. I've never been one to
18 not work. And in that regard, over the course of my
19 friendship and my working relationship with Epstein,
20 I expressed to him my desire to be independent of him
21 everywhere, just to be freestanding.
22 And the -- in -- with that in mind, I
23 wanted to have my own businesses or my own money
24 coming in independent and separate from any salary
25 that I received from him.
Page 225
1 And I needed that for my self-esteem.
2 I've never been -- I mean, obviously salary and it
3 was a very generous one. Please, I'm not belittling
4 the sum of money, because it's huge, but I was
5 brought up to work and I was brought up to be my own,
6 you know.
7 The first time -- so I would either
8 propose businesses to him or he would actually
9 suggest why didn't I do something in the first deal
10 that we did, or the first business that we had or I
11 had and that he financed for me.
12 So he gave -- he loaned me all the money
13 to enable me to do this and then I reaped the
14 profits, which I don't remember now, because we
15 varied over the deals that we did, that I would give
16 him 50 percent or 25.
17 It was sort of -- it was random.
18 TODD BLANCHE: So --
19 GHISLAINE MAXWELL: And I can tell you
20 what it is, so we can compare it.
21 TODD BLANCHE: Yeah. Go ahead.
22 GHISLAINE MAXWELL: So it was in Palm
23 Beach actually, and it was in real estate. And they
24 sold what was the grounds originally of an estate
25 called the Phipps Estate. And then they converted
Page 226
1 the land that came with that estate into houses. And
2 I did, I think, two or maybe -- I can't remember now,
3 but certainly one and maybe two, possibly three. I
4 don't think so. I think two, that then were flipped
5 and there was a profit.
6 So that would be an example of that. But
7 I didn't have the money, so he lent me the funds to
8 do that business transaction and then I reaped the
9 profits.
10 TODD BLANCHE: And so -- but when --
11 GHISLAINE MAXWELL: And that's millions of
12 dollars.
13 TODD BLANCHE: -- when a financial
14 investigator like, the FBI looks at accounts, they
15 don't know kind of the conversations you're having.
16 They just see the money.
17 GHISLAINE MAXWELL: Right.
18 TODD BLANCHE: So in those cases, when
19 that happened, when he would -- when he financed that
20 with you, would he send money to you? So does that
21 explain some of the money? Like, I guess --
22 GHISLAINE MAXWELL: I believe -- I think
23 it does. I think, for instance, there were two
24 Gullwing Mercedes that they did with Mercedes and
25 Aston Martin. You can look it up, I think, if I'm
Page 227
1 right. That had the doors that would come up like
2 this --
3 TODD BLANCHE: Okay.
4 GHISLAINE MAXWELL: There were only a very
5 limited number that were made. So I knew that we
6 could get those and flip them right within 24 hours,
7 for example.
8 Also my -- here's another example of
9 something that you guys wouldn't have known about is
10 I became a banker. I got my Series 63, Series 67
11 banking license and became a broker for like a new
12 (inaudible). And then -- because I was day trading.
13 Everything I had I day traded with -- through an
14 account.
15 And I think I was lucky more than smart,
16 but I made quite a lot of money doing that. And so
17 --
18 TODD BLANCHE: When was that? Like what
19 -- approximate time --
20 GHISLAINE MAXWELL: Again, that's in the
21 '90s again. I don't -- oh, wait. I think -- well,
22 you can find it, because it'll be my banking license,
23 right? That'll be something that you can look up,
24 probably.
25 TODD BLANCHE: Yeah.
Page 228
1 GHISLAINE MAXWELL: So what whatever that
2 is -- and I just don't remember when that is. I'm
3 sorry.
4 TODD BLANCHE: So -- okay. So --
5 GHISLAINE MAXWELL: And so for an example,
6 I was -- I was doing really, really, really well.
7 And so he was like, how do you do that? Well, how
8 are you -- what are you -- why are you investing in,
9 I don't know, Apple when nobody liked Apple. This
10 is, you know, before Apple or Microsoft. I didn't
11 know Bill Gates, so this is not related to him.
12 But my family --
13 DAVID MARKUS: Don't charge her with
14 insider trading.
15 GHISLAINE MAXWELL: Please -- no. I'm not
16 trying to suggest that. Oh, goodness. Please, no.
17 I had no --
18 DAVID MARKUS: It was just a joke.
19 GHISLAINE MAXWELL: Okay.
20 TODD BLANCHE: It was a joke.
21 GHISLAINE MAXWELL: Yeah. No. All right.
22 But my -- going back to my family, my dad
23 had given me an account when I was 12 and I had
24 always an interest in business and finance, not --
25 not very sophisticated. I'm not suggesting that.
Page 229
1 And so I like to trade and so I did and I
2 did well. And so then I would tell him what I was
3 doing. Now, whether he did or he didn't, he told me
4 he matched me in some other accounts that he had.
5 Because he did a lot of -- he -- my observation, to
6 go back to what he did, I observed him personally and
7 have recollection -- personal recollection of him
8 trading this money, lots. Tens of millions, hundreds
9 of millions of dollars.
10 TODD BLANCHE: That was -- that he was
11 trading for other people --
12 GHISLAINE MAXWELL: Yes.
13 TODD BLANCHE: -- or that was his own
14 money?
15 GHISLAINE MAXWELL: I want also to clarify
16 something for you or clarify or underline. Wexner
17 was, in my opinion, his closest friend in this time
18 period from when I met him in '91, right, all the way
19 until-- well, 'til, I don't know.
20 Because I wasn't that friendly with --
21 well, I did travel with Mr. Wexner, but Epstein told
22 me that Wexner didn't want to be seen too much with
23 me, because of my family problems. You know, whether
24 that was --
25 TODD BLANCHE: You mean the problems that
Page 230
1 your father's company had with --
2 GHISLAINE MAXWELL: Yes.
3 TODD BLANCHE: -- embezzlement or
4 allegations of --
5 GHISLAINE MAXWELL: Yes. Yes. That's
6 what I'm talking about.
7 And now, actually today -- not
8 contemporaneously, but today I don't believe that
9 that's even true. I think it was used as a means to
10 not have me travel with him to Ohio or whatever. It
11 was just a way to park me.
12 And I believe that now, because within the
13 discovery there was a lot of -- well, not a lot, but
14 there was some indications that he would actively
15 tell other people to lie to me or conceal things from
16 me, and that he never loved me and I wasn't his type.
17 That's in the discovery somewhere.
18 TODD BLANCHE: So -- okay. So the
19 government had evidence that, even as late as 2007,
20 he paid you a lot of money.
21 GHISLAINE MAXWELL: What was that? What
22 was the money?
23 TODD BLANCHE: Like several -- millions of
24 millions of dollars in 2007. $7.4 million, I think.
25 GHISLAINE MAXWELL: What was that for?
Page 231
1 Was it -- was that the helicopter?
2 TODD BLANCHE: That was -- that's my
3 question for you.
4 GHISLAINE MAXWELL: Oh, sorry.
5 TODD BLANCHE: I don't know.
6 GHISLAINE MAXWELL: Okay. Sorry.
7 TODD BLANCHE: So in 2007 --
8 GHISLAINE MAXWELL: I think that was
9 probably the helicopter. That could have been --
10 TODD BLANCHE: That was what?
11 GHISLAINE MAXWELL: That could have been
12 the helicopter, the Sikorsky. Those big chunks like
13 that, I don't -- I didn't -- I don't personally have
14 any memory of receiving a check from him for
15 $7 million. I just -- I just don't. But I would
16 have to -- I know I -- so the answer to your
17 question, to be precise --
18 DAVID MARKUS: You would remember if it
19 went into your pocket --
20 GHISLAINE MAXWELL: I would remember if it
21 went -- I would -- he never paid me to -- for
22 services that you just described, $7 million, to --
23 for any nefarious reason.
24 TODD BLANCHE: Yeah. I think I understand
25 what you've said about being on the payroll and
Page 232
1 helping -- him helping you with businesses, and
2 giving you a lot of life things along the way. You
3 travel with him, you ate with him. He's, you know,
4 but there is the -- these massive amounts of money,
5 one-time payments that I --
6 GHISLAINE MAXWELL: So I don't -- you'd
7 have to trace that, right? So I don't believe that
8 came into my account or I had any control. I have no
9 memory of that. I have no -- no --
10 TODD BLANCHE: Well, but if there's
11 records that show it coming into your account, it
12 sounds like what you're saying is that not -- putting
13 aside your -- you have no memory of that money being
14 yours.
15 GHISLAINE MAXWELL: No.
16 TODD BLANCHE: Like you didn't -- that
17 money is not somewhere --
18 GHISLAINE MAXWELL: No. I wouldn't be
19 like, oh, yippee, let me go. I got $7 million. I'm
20 going to go buy myself a yacht. No. Or I don't
21 know, something else or move it to some other -- no.
22 I don't think -- I don't think, if you
23 look -- you'll have to check, obviously you will. I
24 don't think you'll find that money moving in any --
25 to any account, either of mine or it shouldn't show,
Page 233
1 I don't believe anyway. As far as I recollect, it
2 wouldn't show me spending it.
3 TODD BLANCHE: Right.
4 GHISLAINE MAXWELL: Does that make sense?
5 TODD BLANCHE: Okay. Yeah, that makes
6 sense. I mean, I think if -- I don't think there's
7 any dispute by anybody, even your lawyers at trial,
8 that -- that that the money went in.
9 GHISLAINE MAXWELL: Oh, $7 million in
10 when, what year?
11 TODD BLANCHE: Well, there's several
12 years; in 2007.
13 GHISLAINE MAXWELL: And?
14 TODD BLANCHE: 2002, there was $5 million
15 that you were paid in 2002.
16 GHISLAINE MAXWELL: Oh, well, I'd have
17 to -- I don't -- I don't remember. But -- okay. So
18 there's -- there would be another large sum, but it
19 wouldn't have come from him later. But it had
20 nothing to do --
21 TODD BLANCHE: The biggest one was in
22 1999. There's over $18 million. $18.3 million.
23 GHISLAINE MAXWELL: I don't know what that
24 is.
25 TODD BLANCHE: So what -- but you --
Page 234
1 you're -- but what you're saying, it sounds like, and
2 if you don't know, we're going to -- we can move on.
3 But when we're talking about $18.3 million
4 in '99, $5 million in -- three years later in 2002,
5 $7.4 million in 2007. That -- those -- that money
6 adds up to around $30 million.
7 You were not paid that by Mr. Epstein.
8 Meaning, that's not money you received for your
9 benefit, even if it was put into your accounts.
10 GHISLAINE MAXWELL: I don't believe any of
11 that was my money. Now, I do -- I just -- like I
12 said, we did do these things --
13 TODD BLANCHE: Yes. I understand that.
14 GHISLAINE MAXWELL: - - with the cars.
15 TODD BLANCHE: I understand that.
16 GHISLAINE MAXWELL: And as --
17 TODD BLANCHE: But --
18 GHISLAINE MAXWELL: I don't know if any of
19 that money, some of it -- if it moves, some of that
20 may have come from the car or a house that was sold
21 that I had an interest in with him. That's possible.
22 But I don't think this money is mine.
23 LEAH SAFFIAN: But also, the record should
24 reflect, too, that there were times Ghislaine's name
25 was used, for example, Air Ghislaine. Her name was
Page 235
1 in the name of the entity. It had nothing to do with
2 her. And if you pull signatures --
3 TODD BLANCHE: Yeah.
4 LEAH SAFFIAN: -- there's no evidence for
5 that.
6 TODD BLANCHE: No. My -- what I'm trying
7 to just make sure I -- that I understand, is that the
8 idea that you were paid $30 million between '99 and
9 2007, in order to -- by Mr. Epstein to reward you for
10 recruiting young women. That is in your -- you're
11 saying that is categorically, completely false?
12 GHISLAINE MAXWELL: That is categorically
13 false, correct.
14 TODD BLANCHE: Okay. So I want to just --
15 we went through several individuals yesterday and I
16 want to go through just a couple of more names and
17 ask if you -- if you know them. And if you do know
18 them, how you know them.
19 Do you know Elon Musk?
20 GHISLAINE MAXWELL: I do.
21 TODD BLANCHE: And how did you meet
22 Mr. Musk?
23 GHISLAINE MAXWELL: I met him in -- I
24 don't remember the year, but it's going to be in
25 2010, '11, something like that, I think, if my memory
Page 236
1 serves.
2 And I was at an event for Sergey Brin, the
3 co-founder of Google. And Sergey had arranged for --
4 it was for his birthday.
5 And we were -- or a bunch of us, I don't
6 even remember how many we were, but not many of us.
7 Maybe -- I don't know. If I say 40, I
8 could be wrong. If it was 30 or 50, I don't
9 remember. I'm sorry.
10 Went to another friend's island. Somebody
11 called Mr. Pigozzi in the Caribbean and -- not with
12 Epstein, he was not there, to celebrate Sergey's
13 birthday. And we were there together for, I want to
14 say, three or four days, something like that in my
15 memory. And Mr. Musk was present for that.
16 TODD BLANCHE: And that was the first time
17 you met him, as far as you know?
18 GHISLAINE MAXWELL: As far as I remember,
19 yes.
20 TODD BLANCHE: Did you meet -- did you
21 know his brother, Mr. Musk's brother?
22 GHISLAINE MAXWELL: I don't know if I've
23 ever met him. I know that he has a brother and I
24 don't think I met him.
25 TODD BLANCHE: Aside from that time in --
Page 237
1 around 2010, on the island in the Caribbean for a
2 couple days, did you -- have you seen -- do you know
3 Mr. Musk beyond that time?
4 GHISLAINE MAXWELL: We met at -- I was at
5 the Oscars and we met at the Oscars.
6 TODD BLANCHE: What year was that, earlier
7 or later?
8 GHISLAINE MAXWELL: It was post that
9 event, I believe.
10 TODD BLANCHE: And do you know whether
11 Mr. Epstein knew Mr. Musk?
12 GHISLAINE MAXWELL: I believe they did.
13 And the only reason I say that is not from my memory,
14 but because I saw -- I think I saw -- my memory is
15 that in discovery, they were communicating on email.
16 TODD BLANCHE: So you have no personal
17 knowledge of that?
18 GHISLAINE MAXWELL: I have no --
19 TODD BLANCHE: It's just what you've --
20 what you've seen from the press or from discovery?
21 GHISLAINE MAXWELL: And I believe his
22 brother as well, actually.
23 TODD BLANCHE: Excuse me?
24 GHISLAINE MAXWELL: Mr. Musk's brother as
25 well. But I don't -- my -- like I said, my memory is
Page 238
1 not -- it's not as good as I would like it to be.
2 And I just want to say that.
3 TODD BLANCHE: Do you -- you mentioned, I
4 think, yesterday in passing -- well, not in passing,
5 but as part of another answer, Andrew Cuomo.
6 GHISLAINE MAXWELL: Yes.
7 TODD BLANCHE: Did you know Mr. Cuomo?
8 GHISLAINE MAXWELL: Well, only because he
9 was married to Kerry.
10 TODD BLANCHE: Yes. Okay.
11 GHISLAINE MAXWELL: And I think I knew his
12 brother as well. What's -- he has a brother, right?
13 He's on TV. What's his name?
14 LEAH SAFFIAN: Chris.
15 GHISLAINE MAXWELL: Right. Christopher.
16 LEAH SAFFIAN: Christopher Cuomo.
17 TODD BLANCHE: Yeah. Chris.
18 GHISLAINE MAXWELL: Chris.
19 TODD BLANCHE: You mean the TV -- the
20 former TV anchor or the TV anchor, Chris Cuomo?
21 GHISLAINE MAXWELL: Yes.
22 TODD BLANCHE: Okay.
23 GHISLAINE MAXWELL: So -- but I would say
24 just socially, not -- I'm not close friends or
25 anything, but because we -- I was friends with Kerry
Page 239
1 and I met him a few times and I certainly met his
2 brother as well a few times.
3 TODD BLANCHE: And the same questions that
4 I asked about Mr. Musk, do you know whether
5 Mr. Epstein knew Andrew Cuomo or Chris Cuomo or
6 Ms. Kennedy, your friend?
7 GHISLAINE MAXWELL: I don't think so.
8 TODD BLANCHE: And so you never -- you
9 don't recall any of those three individuals, like,
10 flying on Mr. Epstein's plane --
11 GHISLAINE MAXWELL: No.
12 TODD BLANCHE: -- or visiting him in
13 Palm Beach or at the island?
14 GHISLAINE MAXWELL: No.
15 TODD BLANCHE: I think you mentioned
16 former Secretary of State John Kerry yesterday. But
17 if not, do you know Mr. Kerry or no?
18 GHISLAINE MAXWELL: I have met him, but I
19 don't know if Mr. Epstein ever met him. I met him
20 only -- well, really I can't even probably
21 characterize that as a meeting, but I was very, very
22 involved in the Ocean at Work, through the -- you
23 asked me yesterday about TerraMar.
24 And if I recall right, I met Mr. -- the
25 Secretary that way through the Ocean, but he wouldn't
Page 240
1 know who I am, I doubt. I don't think.
2 TODD BLANCHE: Do you know whether --
3 well, do you know former Senator Ted Kennedy?
4 GHISLAINE MAXWELL: Yes.
5 TODD BLANCHE: And does -- is that through
6 your own life or through Mr. Epstein?
7 GHISLAINE MAXWELL: My life.
8 TODD BLANCHE: Do you know whether
9 Mr. Epstein knew Senator Kennedy?
10 GHISLAINE MAXWELL: I don't believe so.
11 TODD BLANCHE: And so for the folks we
12 just talked about, so former Secretary of State John
13 Kerry, Ted Kennedy, did -- you don't know whether
14 Mr. Epstein knew them, so I take that to mean you
15 have no recollection of them flying on his planes--
16 GHISLAINE MAXWELL: Oh God, no.
17 TODD BLANCHE: Okay.
18 GHISLAINE MAXWELL: Oh. But Bobby Kennedy
19 knew him. Bobby, the health --
20 TODD BLANCHE: Sorry. Say that again
21 about Bobby Kennedy.
22 GHISLAINE MAXWELL: Bobby knew
23 Mr. Epstein.
24 TODD BLANCHE: How do you know that?
25 GHISLAINE MAXWELL: Because we went on a
Page 241
1 trip together. Was -- we went to -- dinosaur bone
2 hunting in the Dakotas.
3 TODD BLANCHE: When was that, you know,
4 approximately? I'm not looking for an exact date,
5 but when was that?
6 GHISLAINE MAXWELL: That was early -- that
7 was in the early -- well, let me back up. I knew
8 Bobby's wife, Mary, pretty well, actually. And
9 before he met her.
10 TODD BLANCHE: And just to help us, I know
11 we're talking about a wide span of time, but what are
12 you -- when are you talking about that you knew
13 Mr. Kennedy's wife before they were married.
14 So when are talking about the --
15 GHISLAINE MAXWELL: I -- in 19 -- all
16 right. I guess, let's get my head straight. In --
17 TODD BLANCHE: Well, would this have been
18 before you met Mr. Epstein --
19 GHISLAINE MAXWELL: Yes.
20 TODD BLANCHE: -- or after? Okay. So --
21 GHISLAINE MAXWELL: I met him before I
22 met.
23 TODD BLANCHE: So we're talking about the
24 1980s.
25 GHISLAINE MAXWELL: Oh, yes. Yes. Thank
Page 242
1 you.
2 TODD BLANCHE: Okay.
3 GHISLAINE MAXWELL: Okay. The '80s.
4 TODD BLANCHE: Okay. So we're talking
5 about the 1980s. And then --
6 GHISLAINE MAXWELL: The -- I was the -- I
7 had a very, very longstanding boyfriend and he had --
8 his brother was dating Mary at the time, and we were
9 all very good friends.
10 TODD BLANCHE: And then Mr. Epstein -- did
11 Mr. Epstein meet Bobby Kennedy through you?
12 GHISLAINE MAXWELL: I don't -- I don't
13 think so, because Mr. Epstein, surprisingly, everyone
14 says everything happened through me. That's just not
15 true. I mean, I think yesterday I explained that he
16 had friends from London, and those are very -- they
17 were what the people would call "fancy."
18 TODD BLANCHE: Yeah.
19 GHISLAINE MAXWELL: They were fancy
20 people. And -- but he had the same types of
21 relationships before I met him in America. So when I
22 met him, he was already, you know, Wexner and he had
23 Henry and he had -- he was --I don't know if then he
24 was at the -- in the Council of Foreign Relations,
25 but he was friends with Ace and, you know, like he
Page 243
1 was -- he was well established.
2 TODD BLANCHE: Yeah.
3 GHISLAINE MAXWELL: He didn't need me.
4 And he was, you know, his -- Eva was, you know, major
5 model. So he had all these modeling connections and
6 friends in that business, long before I met him.
7 TODD BLANCHE: And so the trip that you
8 went on with Mr. Epstein and Bobby Kennedy, was that
9 in the '90s and 2000s when --
10 GHISLAINE MAXWELL: I think it was in
11 the -- it would've been in the -- I want to say '93,
12 '94.
13 TODD BLANCHE: Okay. So a very long time
14 ago.
15 GHISLAINE MAXWELL: A very, very long time
16 ago.
17 TODD BLANCHE: A few years into the --
18 your relationship -- a few years into the time that
19 you knew Mr. Epstein?
20 GHISLAINE MAXWELL: Yes. I mean, I don't
21 want to hold myself to the dates because I really --
22 TODD BLANCHE: No, no. I'm not holding
23 you to dates. I think --
24 GHISLAINE MAXWELL: Because I really don't
25 --
Page 244
1 TODD BLANCHE: I've said that a lot,
2 because I appreciate we're talking about the '80s and
3 '90s and even the 2000s.
4 GHISLAINE MAXWELL: And I just want you to
5 know, I haven't had any -- I don't have anything to
6 review, so I haven't had any ability to -- the short
7 of my legal material, obviously, which you can -- you
8 know I have, because I came with a box worth, but
9 short of that, I have nothing with which to
10 refresh -- or very limited stuff, I should say, I
11 don't want to say nothing -- to refresh my mind.
12 TODD BLANCHE: I understand that. Do you
13 have any recollection of Mr. Kennedy -- of there
14 being anything inappropriate with Mr. Kennedy and
15 masseuses or young women on the trip you just talked
16 about?
17 GHISLAINE MAXWELL: I never saw anything
18 inappropriate with Mr. Kennedy.
19 TODD BLANCHE: And do you know whether he
20 ever got a massage from one of the masseuses? Do you
21 know either way?
22 GHISLAINE MAXWELL: I do not.
23 TODD BLANCHE: But not something you
24 remember?
25 GHISLAINE MAXWELL: I mean, absolutely
Page 245
1 not.
2 I mean, he -- well, I mean, yesterday, if
3 I didn't make it clear, I will reiterate it. I
4 never, ever saw any man doing something inappropriate
5 with a woman of any age. I never saw inappropriate
6 habits.
7 Now, I'm not -- I'm not going to say hands
8 or -- I mean, that to me is not inappropriate. Now,
9 somebody's inappropriate and mine may be different,
10 but --
11 TODD BLANCHE: Yep.
12 GHISLAINE MAXWELL: -- we're not talking
13 about anything that's -- resembles the accusations
14 that we've discussed here. So that would be an -- a
15 flat no to any man.
16 TODD BLANCHE: Did your or Mr. Epstein's
17 relationship with Mr. -- with Bobby Kennedy continue
18 into the 2000s, as far as you know?
19 GHISLAINE MAXWELL: I would say yes.
20 TODD BLANCHE: Um --
21 GHISLAINE MAXWELL: Well, mine, yes. I
22 don't --
23 TODD BLANCHE: Your's -- with you. Okay.
24 GHISLAINE MAXWELL: With me, for sure.
25 TODD BLANCHE: Do you know whether
Page 246
1 Mr. Epstein and Mr. Kennedy, Bobby Kennedy, continued
2 to have relationships into the 2000s?
3 GHISLAINE MAXWELL: I have no personal
4 knowledge of that. I mean, I would -- because --
5 TODD BLANCHE: Yeah, no personal knowledge
6 is fine.
7 GHISLAINE MAXWELL: Another thing is that
8 everyone puts us together like a monolith.
9 TODD BLANCHE: Yeah.
10 GHISLAINE MAXWELL: He literally had a
11 separate life from me. I literally had a separate
12 life from him. Now, did they say? Well, of course
13 they did. I'm not-- that's -- I'm not crazy.
14 But he kept a lot to himself and he didn't
15 like to share. He was not a sharer. Well, at least
16 not with me.
17 TODD BLANCHE: Mr. Epstein didn't share,
18 you're saying?
19 GHISLAINE MAXWELL: Not with me, no.
20 TODD BLANCHE: Did you -- do you know
21 somebody named Cheryl Mills?
22 GHISLAINE MAXWELL: I do.
23 TODD BLANCHE: Used to work in the White
24 House as a lawyer?
25 GHISLAINE MAXWELL: Yes, I do. Yes.
Page 247
1 TODD BLANCHE: How do you know Ms. Mills?
2 GHISLAINE MAXWELL: I met Ms. Mills
3 through President Clinton.
4 TODD BLANCHE: Do you remember a --
5 generally, the timeframe that you -- you met her?
6 GHISLAINE MAXWELL: I do, actually. Hang
7 on. I'm sorry. I'm just trying to remember -- I'm
8 trying to get my dates right.
9 DAVID MARKUS: Approximately.
10 GHISLAINE MAXWELL: Well, okay. I can't
11 get my dates right. But it's something you probably
12 can -- going to be in the early 2000s.
13 TODD BLANCHE: Okay.
14 GHISLAINE MAXWELL: So what I don't
15 recall --
16 TODD BLANCHE: So --
17 GHISLAINE MAXWELL: I want to say 2002.
18 I'm going to say 2002, 2003.
19 TODD BLANCHE: So it was after President
20 Clinton left office?
21 GHISLAINE MAXWELL: Oh, yes.
22 TODD BLANCHE: And so it was in the 2000s.
23 GHISLAINE MAXWELL: Definitely.
24 TODD BLANCHE: And how -- what -- how did
25 you meet her? What were the circumstances under
Page 248
1 which you met Ms. Mills?
2 GHISLAINE MAXWELL: I went on a trip with
3 the President to South America.
4 TODD BLANCHE: With which president?
5 GHISLAINE MAXWELL: Oh, sorry.
6 President Clinton.
7 TODD BLANCHE: Yeah. Okay. Just, you
8 know --
9 GHISLAINE MAXWELL: Sorry.
10 TODD BLANCHE: -- just wanted -- it was --
11 I just wanted to make sure it was clear.
12 Okay. So you went on a trip to -- to
13 where?
14 GHISLAINE MAXWELL: Latin America.
15 TODD BLANCHE: And who -- and so Ms. Mills
16 was on that trip?
17 GHISLAINE MAXWELL: She was.
18 TODD BLANCHE: And President Clinton was
19 on that trip?
20 GHISLAINE MAXWELL: He was.
21 TODD BLANCHE: Who else was on that trip?
22 GHISLAINE MAXWELL: Doug Band.
23 TODD BLANCHE: Who worked with President
24 Clinton?
25 GHISLAINE MAXWELL: Yes.
Page 249
1 TODD BLANCHE: And was Mr. Epstein?
2 GHISLAINE MAXWELL: No.
3 TODD BLANCHE: And what was the purpose of
4 that trip?
5 GHISLAINE MAXWELL: Well, the President
6 had -- I don't know. I mean, I -- the President met
7 with -- I can't even remember every -- all the, I
8 know, presidents and we were in --
9 TODD BLANCHE: Was this part of President
10 Clinton's work after he left office with the -- with
11 his foundation? Or was -- meaning what --
12 GHISLAINE MAXWELL: I don't think the
13 foundation, when did the --
14 TODD BLANCHE: -- was it something for him
15 or was it --
16 GHISLAINE MAXWELL: When did the -- I
17 don't remember when the Clinton Global Initiative
18 started.
19 So if you date me -- if you give me that
20 date, I can tell you if it was pre or post. Because
21 without that, I can't pin the reason.
22 DAVID MARKUS: Do you remember what it was
23 for or not?
24 GHISLAINE MAXWELL: No. I don't recall.
25 DAVID MARKUS: Okay.
Page 250
1 GHISLAINE MAXWELL: I mean, I don't --
2 TODD BLANCHE: Yeah, that's -- don't over
3 think or under think the reason for my questions.
4 I don't -- I don't have any idea why you
5 went on that trip, so I don't know an answer that I'm
6 getting from you.
7 GHISLAINE MAXWELL: No, I'm just trying to
8 be as accurate as possible and give you the
9 information that you seek.
10 TODD BLANCHE: Why would you -- do you
11 remember why you were invited to go? Like were you
12 -- were you friends with somebody? What was your
13 role going on that trip?
14 GHISLAINE MAXWELL: I didn't have a role.
15 TODD BLANCHE: So do you remember why --
16 do you remember who invited you to go?
17 GHISLAINE MAXWELL: If -- probably
18 Doug Band.
19 TODD BLANCHE: And how did you know Doug?
20 GHISLAINE MAXWELL: Because Doug and --
21 again, back with Philip Levine.
22 TODD BLANCHE: Got it. And do you know
23 whether he had a relationship with Mr. Epstein?
24 GHISLAINE MAXWELL: Who?
25 TODD BLANCHE: Doug.
Page 251
1 GHISLAINE MAXWELL: I -- I don't know. I
2 mean, nothing. He -- I don't believe there was any
3 relationship, other than I helped -- well, without
4 me, I don't think there would've been those flights,
5 because I was the one who asked Epstein to provide
6 the plane for -- well, certainly I remember the one
7 to Africa, of course, that big trip.
8 And I thought it was an honor and a
9 privilege to be part of something so amazing and to
10 have an opportunity to spend time with a man that I
11 found truly extraordinary.
12 And please, I don't mean it in any other
13 way, other than as a former fantastic ex-president.
14 I don't --
15 TODD BLANCHE: So I was asking around the
16 question, but I'll just ask it: like, were you
17 basically asked to go because you were kind of
18 responsible for the plane?
19 Responsible is the wrong word. They use
20 you -- they were able to use you to make sure that
21 they could -- you helped them get Mr. Epstein's plane
22 for the trip?
23 GHISLAINE MAXWELL: No, I don't even know
24 if when I was on that -- in fact, I think -- I think,
25 that trip, I'm not even sure that Epstein had met the
Page 252
1 President.
2 TODD BLANCHE: Okay.
3 GHISLAINE MAXWELL: I think this is -- but
4 if I'm right, and I think I am, I think that trip
5 happened when Epstein and Clinton had never even --
6 not that they'd never met, because Epstein had gone
7 to the White House, but they had not met.
8 I'd never asked Epstein for the plane then
9 because they'd never met and it would be weird. But
10 they met because of me and the plane was because of
11 me. But that trip was the first, I think, the first
12 trip I took with the ex-president. And I don't
13 believe Epstein and he had met.
14 And we're talking a time period when I was
15 trying to --
16 TODD BLANCHE: Yeah.
17 GHISLAINE MAXWELL: -- leave. Not very
18 successfully obviously, but I was branching out on my
19 own and being more independent of Mr. Epstein and
20 trying to -- all kinds of businesses that I was into.
21 I was trying to start the first telehealth
22 medicine with the Cleveland Clinic. I mean, I'm not
23 going to bore you, because I don't think that's what
24 you guys are interested in, but those were the sorts
25 of things that I was looking for him to finance, so
Page 253
1 that I could stop being, you know, a general manager
2 of a hotel.
3 TODD BLANCHE: Did you -- so did you take
4 other trips with some or all of those individuals,
5 kind of without Mr. Epstein in later years? Like,
6 you said that was the first time that you had kind of
7 been on something like that and it was an honor and
8 you were spending time with former President Clinton
9 and others.
10 Were there other -- over the years, did
11 you do that more than once?
12 GHISLAINE MAXWELL: Yes.
13 TODD BLANCHE: We'll talk about those.
14 Like multiple times, like too many to count or there
15 three or four times. Like how many times?
16 GHISLAINE MAXWELL: A lot. A lot. I went
17 on a lot of trips. Now I don't recall all of them.
18 Not because I'm trying to be evasive or anything, but
19 I just don't remember them all.
20 And after a while, you know, in the
21 incredible job that you have, all of you, that when
22 you're so high pressured and you're spending so much
23 time with extraordinary people like you do with
24 President Trump, it -- it can blur. It just does.
25 And those few things that stand out,
Page 254
1 because at the end it's all just extraordinary as
2 cars and sirens and president. It's like, whoa,
3 okay.
4 TODD BLANCHE: So, I understand, but
5 talk -- so don't give me spec- --
6 GHISLAINE MAXWELL: Right.
7 TODD BLANCHE: -- I understand you can't
8 give specific numbers. What -- describe more about
9 kind of your, that part of your life and your
10 relationship. I'm using "relationship." You don't
11 like relationships.
12 GHISLAINE MAXWELL: Right, right.
13 TODD BLANCHE: And your -- sorry. And
14 your --
15 GHISLAINE MAXWELL: My employer.
16 TODD BLANCHE: Yes. Just describe your --
17 what you were doing with those individuals. So when
18 I say "those individuals," I'm talking about former
19 President Clinton, Doug, other folks that worked with
20 him.
21 GHISLAINE MAXWELL: All of them. Yes.
22 There were loads of them. And just all of them, you
23 know the team, I don't need to give you all the
24 names. You have them at your fingertips and I can
25 confirm. If you give me names, I'll say yes, because
Page 255
1 they're not all going to pop into my head, so.
