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d-21229House OversightFinancial Record

Law professor recounts credible Giuffre allegations against Epstein, Dershowitz and other wealthy associates; mentions potential civil actions with...

The passage provides a concrete lead that a law professor and a private attorney interviewed [REDACTED - Survivor] in 2014, found her claims of sexual abuse by Jeffrey Epstein, Alan Dershowitz and other po Interview with Giuffre conducted in May 2014 in Fort Lauderdale. Professor deemed Giuffre’s allegations of abuse by Epstein and Alan Dershowitz credible. Potential civil claims against Epstein’s “ric

Date
November 11, 2025
Source
House Oversight
Reference
House Oversight #016199
Pages
1
Persons
5
Integrity
No Hash Available

Summary

The passage provides a concrete lead that a law professor and a private attorney interviewed [REDACTED - Survivor] in 2014, found her claims of sexual abuse by Jeffrey Epstein, Alan Dershowitz and other po Interview with Giuffre conducted in May 2014 in Fort Lauderdale. Professor deemed Giuffre’s allegations of abuse by Epstein and Alan Dershowitz credible. Potential civil claims against Epstein’s “ric

Tags

jeffrey-epsteindavid-boiesfinancial-flowlegal-strategysexual-abusecivil-litigationcivil-claimsvirginia-giuffrealan-dershowitzlegal-exposuremoderate-importancehouse-oversightsexual-misconduct

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Case 1:19-cv-03377-LAP Document 36-4 Filed 07/03/19 Page 3 of 6 Ms. [REDACTED] as a Witness in the Crime Victims Rights Act Case 17. One witness who became available to Mr. Edwards and me in the CVRA case was Ms. [REDACTED]. She had previously fled to Australia to escape from Mr. Epstein’s sexual abuse. But at some point, in around spring 2014, we learned that she was in the United States and was willing to provide testimony in our CVRA case. 18. Because the CVRA case continues to be litigated today, nothing in this affidavit is intended to disclose — nor does it disclose — any confidential communications we received from Ms. Giuffre. However, I can report that in approximately May, 2014, I flew from Utah to Fort Lauderdale, Florida, where Mr. Edwards and I conducted a full-day interview of Ms. Giuffre to learn what evidence she had and to determine whether it was credible, 19. Without going into specific lawyer-client communications that we had with our client, Mr. Edwards and | determined that Ms. Giuffre’s allegations of having been sexually abused by Epstein were credible. Ms. Giuffre also said that she had been sexually abused by Mr. Dershowitz. Mr. Edwards and I determined, based on that interview and subsequent careful follow-up, that her allegations were credible and were relevant to our allegations of improper influences affecting the Epstein plea negotiations. 20. Ms. Giuffre also credibly alleged that she had been sexually abused by other rich and powerful friends of Epstein. It appears that she had civil claims that she could file against Epstein’s friends. However, because I am law professor with limited litigation resources, I recommended to Mr. Edwards that we should attempt to locate additional litigation support before pursuing lawsuits against abusers who could be expected to marshal considerable financial and other resources in response. 21. Mr. Edwards agreed and ultimately discussed the civil cases with Mr. David Boies, the name partner in the New York-based law firm of Boies Schiller Flexner LLP. I was aware that Mr. Boies not only had a well-regarded large litigation firm, but also had a strong track record of providing legal services for legal cases that might not otherwise attract attention from civil law firms (including cases involving sex trafficking victims). 22. I thought Mr. Boies was an excellent choice to help represent Ms. Giuffre. It is my understanding that Mr. Edwards conveyed to Mr. Boies — as well as, at some point, to his law partner Sigrid McCawley — that I had personally interviewed Ms. Giuffre, had investigated her allegations against Dershowitz and others, and had found them to be credible. 23. Because the CVRA revolved primarily around criminal law issues — an area where both Mr. Edwards and I had considerable experience — we did not require any assistance from Mr. Boies in the CVRA case and we did not approach him about assisting in that case. In 2014, we had successfully handled the CVRA case for more than six years, winning multiple motions without needing outside assistance, and anticipated no need for further help. Filing Ms. Giuffre’s Allegations and Dershowitz's Attacks

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Case #1:19-CV-03377-LAP

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