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d-18248House OversightDeposition

Deposition excerpts suggest coordinated effort to conceal sexual abuse cases involving Jeffrey Epstein and potential obstruction by co‑conspirators

The passage references multiple depositions, names of attorneys, and specific individuals (e.g., Sarah Kellen, Nadia Marcinkova) who allegedly invoked the Fifth Amendment to block information about Ep Multiple depositions (Epstein, Sarah Kellen, Nadia Marcinkova, Aidan Mucinska Ross) are cited with d Edwards' role as counsel questioning Epstein is documented, indicating potential legal strategy. C

Date
November 11, 2025
Source
House Oversight
Reference
House Oversight #013340
Pages
1
Persons
3
Integrity
No Hash Available

Summary

The passage references multiple depositions, names of attorneys, and specific individuals (e.g., Sarah Kellen, Nadia Marcinkova) who allegedly invoked the Fifth Amendment to block information about Ep Multiple depositions (Epstein, Sarah Kellen, Nadia Marcinkova, Aidan Mucinska Ross) are cited with d Edwards' role as counsel questioning Epstein is documented, indicating potential legal strategy. C

Tags

jeffrey-epsteininvestor-frauddepositionssexual-abusefinancial-fraudfifth-amendmentlegal-exposuremoderate-importancehouse-oversightlegal-obstructionsexual-misconduct

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EFTA Disclosure
Text extracted via OCR from the original document. May contain errors from the scanning process.
fabricating cases of a sexual nature fleecing unsuspecting Florida investors and others out of millions of dollars for cases of a sexual nature with--I'd like to answer your questions; however if 1-t'm told that if I do so, I risk losing my counsel's representation; therefore I must accept their advice." Epstein deposition, March 8, 2010, at 106 (Deposition attachment #10). 56. | When Edwards had the opportunity to take Epstein’s deposition, he only asked reasonable questions, all of which related to the merits of the cases against Epstein. All depositions of Epstein in which Mr. Edwards participated on behalf of his clients are attached to this motion. See Edwards Affidavit, Exhibit “N” at (11 and Deposition attachments #1, 6, 7, 10, 1, 12, and 13. Cf. with Deposition of Epstein taken by an attorney representing BB (one in which Edwards was not participating), http://www.youtube.com/watch?v=V-dqoEyY Xx4; and http -//srwrw.youtube,com/watch?v=¥ CNi¥1tW-r0 57. Edwards's efforts to obtain information — Epstein’s organization for procuring young girls was also blocked because Epstein’s co-conspirators took the Fifth. Deposition of Sarah Kellen, March 24, 2010 (hereinafter “Kellen Depo.”) (Deposition attachment #14); Deposition of Nadia Marcinkova, April 13, 2010, (Deposition attachment #9); Deposition of Aidan Mucinska Ross, March 15, 2010 (hereinafter “Ross Depo.”) (Deposition attachment #15). Each of these co-conspirators invoked their respective rights against self- incrimination as to all relevant questions, and the depositions have been attached. | 58. At all relevant times Edwards has had a good faith basis to believe and did in fact believe Sarah Kellen was an employee of Epstein’s and had been identified as a defendant in at least one of the complaints against Epstein for her role in bringing girls to Epstein’s mansion to be abused. At the deposition, she was represented by Bruce Reinhart. She invoked the Fifth on 22

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URLhttp://www.youtube.com/watch?v=V-dqoEyY

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o r oc

o r oc As C EFTA00186839 United States District Court SOUTHERN DISTRICT OF FLORIDA TO: Chase Bank USA, N.A. National Subpoena Processing 7610 W. Washington Street IN1-4054 Indianapolis, IN 46231 SUBPOENA TO TESTIFY BEFORE GRAND JURY FGJ 07-103(WPB)-Tues./No. OLY-40 SUBPOENA FOR: [I PERSON DOCUMENTS OR OBJECT[S] YOU ARE HEREBY COMMANDED to appear and testify before the Grand Jury ofthe United States District Court at the place, date and time specified below. PLACE: United States District Courthouse 701 Clematis Street West Palm Beach, Florida 33401 ROOM: Grand Jury Room DATE AND TIME: April 17, 2007 1:00 pm* YOU ARE ALSO COMMANDED to bring with you the following document(s) or object(s): See attachments *Please coordinate your complian confirm the date and time , and location of our a warance with Special Agen ederal Bureau of Investigation, Telephone: This subpoena shall remain in effect until you are granted leave to depart by the court or by an offic

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