Kretschmar, Dean - Vol. ROUGH
February 11, 2011
Page 1
1 ROUGH DRAFT
2 DEPOSITION Of DEAN KRETSCHMAR
3 FEBRUARY 11, 2011
4
5 DIRECT EXAMINATION
6 BY MRS. APRIL:
7 Q. Sir, would you say your full name.
8 A. Dean Russell Kretschmar. Last name is
9 K-r-e-t-s-c-h-m-a-r.
10 Q. Where do you live?
11 A. I live here in Fort Lauderdale.
12 Q. And what's your address; business or home, either?
13 MRS. STREETER: Can we do this off the record?
14 MRS. APRIL: Sure.
15 MRS. STREETER: Go ahead.
16 (WHEREUPON, the answer was provided
17 off-the-record).
18 BY MRS. APRIL:
19 Q. Did you receive a subpoena to be here today, do you
20 know if you did?
21 A. Yes, I did.
22 Q. And are you represented by counsel today?
23 A. Yes
24 Q. And is that Mrs. Streeter?
25 A. Yes
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1 Q. Mr. Kretschmar, I heard you say before you were
2 sworn in and we went on the record that you hadn't been
3 deposed before. I'm Susan April, we met out in the hallway
4 and I represent a plaintiff in a lawsuit and that plaintiff
5 is named Jeffrey Epstein. And Lilly Sanchez who is with me
6 today is also from Fowler, White, Barnett who represents Mr.
7 Epstein, and you met Mr. King.
8 You will be asked questions by Plaintiff's lawyer
9 and if the Defendant's lawyer wants to ask questions, that's
10 certainly his prerogative. We ask you to let us know if you
11 need something restated or repeated; the court reporter can
12 read things back. If you need to stop, just say you need to
13 stop. You'd like to take a break.
14 As I think you got some tea, if you want anything
15 else or you want to pause to get something, let us know.
16 Okay?
17 A. Do I just say, Can we pause?
18 Q. Yes. You can say, Can we stop.
19 A. Do I raise my hand like we're in school.
20 Q. The only thing I would ask is that if you're in the
21 middle of an answer to a question or if there is a question
22 pending before you break to go to the restroom or anything
23 that you finish that answer so that we're not broke in
24 sequence.
25 A. Understood.
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1 Q. One other thing that witnesses sometime forget,
2 lawyers too, is that because everything you say is being
3 typed and the court reporter can only type one person at a
4 time, let the lawyer who is asking you a question finish
5 their complete question, if you're able to determine the
6 question is over, before you answer; because there is a
7 tendency with some people, they think they know the answer so
8 they say it before the question is completed and that makes
9 the typed record confusing. Okay?
10 If you need anything else, let us know. Okay?
11 A. Okay.
12 Q. Did you know that there was a lawsuit pending that
13 Jeffrey Epstein had filed against Scott Rothstein and Bradley
14 Edwards and someone named LM prior to being subpoenaed in
15 this case?
16 A. No.
17 Q. Are you currently a party in any lawsuit against
18 Scott Rothstein and others?
19 A. Yes.
20 Q. I understand you're represented by counsel and I
21 assume that you've been advised that you do not have to
22 disclose anything that was said between you and your lawyers.
23 So if I ask you a question, I'm not asking you to breach that
24 confidence. So I'm trying to ask questions that don't go
25 there, all right? If you have any difficulty with it or you
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1 want it restated, please let me know.
2 WHAT'S the nature of the lawsuit that you're
3 currently in?
4 A. The nature of the lawsuit is: We were defrauded on
5 investments in two of Scott Rothstein's law firms for
6 confident settlements.
7 Q. When you say we were defrauded, who do you mean, as
8 best you can describe it?
9 A. Myself, my family, and there were others.
10 Q. And again, in your own words, how were you
11 defrauded?
12 A. We were sold on the fact that the confidential
13 settlements were real cases, they weren't typical court
14 cases. Many of these settlements were confidential in the
15 nature that they were being handled by two attorneys, you
16 know, outside of having to go to court. And based on various
17 reasons and the plaintiffs wanted a settlement for whatever
18 they were wronged on, and those settlements were timed out
19 over time and, basically, we were funding the Plaintiff
20 getting their money then versus waiting for that timed period
21 to end.
22 Q. How did you hear about this investment in the first
23 place?
24 A. Barry Bekkedam.
25 Q. And it's Bekkedam?
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1 A. Yeah, Barry Bekkedam. I could give it a crack to
2 start off.
3 Q. Don't worry about spelling anyone's name. I'm
4 happy with phonetics and after we're done, you can clarify.
5 A. His firm is Ballamor Capital Management.
6 Q. And how do you know Barry Bekkedam?
7 A. He is dating, used to be a friend of mine, Diane
8 Barnett.
9 Q. So are you saying you met him sort of through
10 social circles?
11 A. Yeah.
12 Q. When you say Diane Barnett used to be a friend, is
13 she no longer a friend of yours?
14 A. No.
15 Q. Did you have a falling-out?
16 A. Yeah, you could say this whole situation has put a
17 bit of a strain on --
18 Q. Does Diane Barnett live in Florida?
19 A. Yes.
20 Q. In Fort Lauderdale?
21 A. Yes.
22 Q. Is she also in the, is she a financial advisor or
23 investment counselor?
24 A. No, she has a real estate license. She worked for
25 the Galleria of Fine Homes I think.
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1 Q. So you met Barry through Diane?
2 A. Uh-huh (affirmative response).
3 Q. And where did you meet him?
4 A. We met out socially. Diane invited me out to have
5 a drink. She wanted me to meet the gentleman that she was
6 involved with.
7 Q. And is that where you got to talking about the
8 business he was in?
9 A. He wasn't, well, his business in the sense of as a
10 money manager but it wasn't the first meeting that I learned
11 about this. It was several meetings after and he also
12 pitched my stepfather.
13 Q. When you met Barry was it here in Florida?
14 A. Yes.
15 Q. And do you know what year that was?
16 A. End of '09. 3rd, probably 4th Quarter of '09.
17 Q. And again, I understand you probably won't remember
18 every detail so my questions are directed to as best you can
19 recall.
20 A. Sure.
21 Q. What do you recall Barry telling you about the
22 investment when you first -- when he first spoke to you about
23 it, the investment that led to you being in a lawsuit against
24 Scott Rothstein and others?
25 A. He told me his firm had done a lot of the due
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1 diligence, was still in the process of finishing due
2 diligence, but he was working closely with George Levin and
3 George Levin's team in doing the background due diligence and
4 that George Levin personally had 600 million into this
5 investment. And that over the past five years there hasn't
6 been any issues, no late payments, everything has been on
7 time.
8 He disclosed that George had one discrepancy on his
9 background which was a kit car company that George owned and
10 there was something of some of the customers felt defrauded
11 and the cars came out late or something, and there was a
12 court case about it, and it all ended up being settled but
13 that was something of, you know, you could find out through
14 your own research that something negative happened.
15 And I've been in business enough that sometimes
16 things happen, customers are, you know, upset and it can be,
17 you know, twisted. So, through Barry explaining through his
18 due diligence and that his teams had done all of this
19 extensive research and looked at some of the books with
20 Levin's company with the investment. Also, meeting with
21 Scott Rothstein, understanding how the investments are
22 confidential in nature, that there was a third party verifier
23 who was Mike Szafranski, that a hedge fund out of New York
24 had requested when they made their investments years before
25 he was put in charge of being an outside verifier that the
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1 funds were in there. That it gave me, you know, some
2 confidence about the investment.
3 Q. Let me back you up a little bit. Do you remember
4 when Barry first told you about this investment before he
5 started talking about due diligence, how did it come up? I
6 mean, were you having dinner, were you at someone's house,
7 where were you?
8 A. I don't remember.
9 Q. Did he just out of know where say I have an
10 investment I want to talk to you about?
11 A. No. I mean, if somebody is a money manager, you
12 know, an investment advisor as he is, in a sense of a
13 balanced-portfolio-type advisor, meaning that he would put
14 your monies in several different low risks to, you know, if
15 you want to do some things that are a little bit more of what
16 would be termed a high risk. I was curious of things that he
17 saw in the market and he was doing middle market financing as
18 as the leverage of banks and so forth were not lending. You
19 know, there's a lot of businesses that just needed cash flow
20 and they couldn't get it from the bank.
21 So it was through conversations that he didn't just
22 bring this one up, he had others that he was, you know,
23 explaining to me. So we, you know, in a sense it was normal
24 that we talked some shop.
25 Q. When he told you about the investment, what did he
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1 call the investment? I mean, we've been calling it the
2 investment. Did he say it's the Rothstein investment?
3 A. Banyon Income Fund.
4 Q. Banyon Income Fund. Is that the fund that George
5 Levin was running?
6 A. Yes.
7 Q. And when he first mentioned it to you, when Barry
8 first mentioned it to you, who else was present?
9 A. Diane Barnett.
10 Q. Anyone else?
11 A. No.
12 Q. So after Barry described this Banyon Income Fund to
13 you, what was the next thing you did, if anything, to invest
14 in it?
15 A. He was pitching my father and I didn't do anything.
16 I was in New York at the time working with a hedge fund, so
17 it wasn't until a little bit later that when my stepfather
18 and I talked and he had, you know, heard about it that I gave
19 it more interest.
20 Q. So you just said your father and your stepfather,
21 is that the same person?
22 A. Yeah, same person. Sorry.
23 Q. What's his name?
24 A. Doug Von Allmen.
25 Q. Do you know how Barry came to know your stepfather?
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1 A. Through Diane. Diane introduced Barry to all of
2 Fort Lauderdale.
3 Q. I see. When you say you were in New York working
4 at a hedge fund, was this like your job at the time or were
5 you up there exploring investment?
6 A. It was a job. I was looking to raise capital for a
7 hedge fund, so I was learning from them about their
8 strategies and what they were all about to be able to speak
9 intelligently to people, but the market had crashed.
10 Everybody's strategies were changing every day it seemed.
11 And it was around April of 2010 I said, you know what,
12 it's -- I'm not jumping into the market of investing
13 MRS. STREETER: April 2010?
14 MRS. APRIL: Let's get that timing right.
15 A. When did I make my investment?
16 Q. Let me see if this will -- I've got something with
17 a date on it.
18 Sir, the lawsuit that I referred to that I asked if
19 you were a party in --
20 A. Uh-huh (affirmative response).
21 Q. -- do you know if that was filed in November of
22 2009? I do have a copy of some pages. Do you happen to
23 know?
24 A. Off the top of my head per date, no.
25 Q. Well, I'm going to show you what is -- This doesn't
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1 show you the file date.
2 MRS. SANCHEZ: That's the amended one.
3 Q. It is a 2210-page document, so I don't have it all
4 in front of me. So let me just show you this and see if it
5 refreshes your memory.
6 Have you ever been a party in a lawsuit before?
7 A. No.
8 Q. I'm going to show you what we call the caption,
9 just the first page that has all the names of the parties of
10 this suit and it goes on to a second page to see if that --
11 And you can see it has a date stamp. And also you'll see on
12 Page 2 it shows you it's not the original.
13 A. Uh-huh (affirmative response).
14 Q. The number of this case is 09-062943 (19). And I
15 don't know if there is any dispute and we have to torture the
16 witness here by asking him to figure it out.
17 MRS. APRIL: Can we all agree that it was filed in
18 2009?
19 MRS. STREETER: Yes. The record will speak for
20 itself.
21 Q. Mr. Kretschmar, you said something earlier and I
22 think you may be off in time and I think your lawyer
23 recognized it. Do you remember if your knowledge of the
24 fraud you mentioned is essentially the same time that it
25 became publicly known that Scott Rothstein's firm had had a
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1 crisis and was falling apart?
2 Do you remember hearing about that just from others
3 or in the news that the Rothstein, Rosenfeld & Adler firm was
4 in trouble?
5 A. Right.
6 MR. KING: Objection to form. It's compound.
7 Q. Do you remember when you heard something about the
8 firm?
9 A. Yes.
10 Q. Do you know about when that was? What time of
11 year? A season or a holiday or something like that?
12 A. Yeah, it was the end of October, like the 31st,
13 going into November.
14 Q. Of what year?
15 A. Had to be 2009.
16 Q. And do you know if you became a party in the
17 lawsuit that I just showed you the caption of? Let's call it
18 for short, the first name is Razorback Funding, LLC. I was
19 going to call it the Razorback suit, if that's okay, versus
20 Scott Rothstein and a number of others?
21 A. Uh-huh (affirmative response).
22 Q. Do you know if you became a party in this suit soon
23 after you learned that the Rothstein firm had a problem?
24 A. Yes
25 Q. So I want to go back and ask you if the dates are
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1 correct in your previous answer.
2 When you first met Barry -- What did you say his
3 name was, Bekk -- I'm going to call him --
4 MRS. STREETER: Bekkedam, B-e-k-k-e-d-a-m.
5 Q. When you first met Barry was it the year before
6 that or was it just a month --
7 A. It would be the ending of '08.
8 4. Thank you?
9 A. And when I left the hedge fund it would have been,
10 you know, March or April of '09.
11 MRS. STREETER: Just answer her questions.
12 Q. And the hedge fund that you left was called what?
13 A. WR Capital Management.
14 4. So do you know when you or your stepfather first
15 put any money into Banyon Capital, roughly?
16 A. May of 2009.
17 4. And this is after you left WR Capital Management.
18 At that time were you employed?
19 A. I don't understand.
20 4. In the Spring of 2009 were you working someplace?
21 A. No.
22 Q. You were just doing your own investments?
23 A. Yeah.
24 Q. So let me go back to that. The year is -- after
25 your initial investment in Banyon Capital was it your
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1 personal investment or was it made through some entity?
2 A. I'm sorry. Could you repeat the question?
3 Q. When you first invested in Banyon
4 MRS. STREETER: Income Fund.
5 MRS. APRIL: Thank you.
6 Q. -- (continuing) Income Fund, was it a personal
7 investment of Dean Kretschmar or did you invest through some
8 entity that you formed. Do you know what I mean?
9 A. Yes, I understand what you're asking. It's either
10 one or the other.
11 Q. If you're not sure, you can tell me that.
12 A. I'm not sure. It could have been my Living Trust
13 or me personally.
14 Q. After the April or May of 2009, did you make any
15 further investment into any opportunity offered by Scott
16 Rothstein or his firm?
17 A. Yes.
18 Q. Can you tell me what that was?
19 A. That was in Razorback.
20 Q. And when was that, if you know?
21 A. That was in July.
22 Q. And --
23 MRS. STREETER: Counsel, are you asking when he
24 made the investment or when he first heard about it?
25 MRS. APRIL: Well, I'm going to ask him the second
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1 question, but I had asked him when you made the
2 investment, actually put money into it.
3 MRS. STREETER: If you're not sure of the dates
4 A. I know when I made my first investment, it was
5 June. It was early June, first or second.
6 Q. I'm not trying to trip you up with these dates
7 I'm just trying to get a time frame generally.
8 So let me ask you this, when did you -- what is
9 Razorback?
10 A. What is Razorback?
11 Q. Yeah. Other than it's a plaintiff on the lawsuit
12 that we talked about? I mean, is it a company?
13 A. Can I speak to you outside?
14 MRS. STREETER: Yes.
15 (WHEREUPON, an off-the-record discussion was had).
16 MRS. STREETER: I just want to put on the record
17 that Mr. Kretschmar is here to answer questions about
18 what happened with regard to the Epstein litigation and
19 the other litigation, the Razorback litigation is an
20 ongoing, pending litigation. And we ask that you
21 refrain from getting into any of those specific details
22 regarding investments that are not relevant and are not
23 reasonably calculated to lead to any evidence in your
24 case in particular. If you could get to this particular
25 issue.
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1 MRS. APRIL: I'll try.
2 (WHEREUPON, an off-the-record discussion was had).
3 MRS. APRIL: I have in case anybody wants to refer
4 to them, including me, some calendars. Sometimes it
5 makes it a little easier to know when things happened.
6 Q. So you invested in something called Razorback?
7 A. Uh-huh (affirmative response).
8 Q. We established that, right. And was Razorback's
9 investment also into the settlements or the kind of
10 settlements you described a little bit earlier with
11 Rothstein?
12 A. Yes.
13 Q. Did you invest after the investment in Razorback
14 any other times with Scott Rothstein in one of these
15 settlement funds?
16 MR. KING: Objection. Form. Vague.
17 Q. Did you ever make any other investment offered by
18 Scott Rothstein after the Razorback?
19 A. No.
20 Q. Did you ever meet Scott Rothstein?
21 A. Yes.
22 Q. Do you know when you first met him?
23 A. At a Boys and Girls Club fundraiser. It was the
24 Boca Resort. It's the car fundraiser where they have all the
25 cars. I forget what it's called.
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1 Q. Do you know what year it was approximately?
2 A. Probably 2008.
3 Q. Did you have any substantive conversation with him
4 at that time
5 A. Nothing.
6 Q. -- about business or anything?
7 A. No.
8 Q. Was there ever a time where you met with Mr.
9 Rothstein and talked about business?
10 A. No.
11 Q. Was there ever a time after the Boca event for the
12 Boys and Girls Club that you met Scott Rothstein?
13 A. Not before the investment.
14 Q. Okay. Let's talk about then the time of the
15 investment. Did you have any face-to-face meetings with
16 Scott Rothstein in 2009?
17 A. Yes.
18 Q. Can you describe as best as you can recall the
19 first -- Was there more than one of those?
20 A. Yes
21 Q. Can you describe to the best of your ability your
22 first face-to-face business meeting with Rothstein about the
23 investment?
24 A. I was there. My father was there. Barry Bekkedam
25 was there. Barry Bekkedam and Ballamor Capital, some of his
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1 people were there. George Levin was there. Frank Preve was
2 there. A.J. DiScala was there.
3 Q. Where is there?
4 A. And Scott Rothstein's personal office in his
5 firm.
6 Q. Had you ever been in his firm's offices before?
7 A. No.
8 Q. Was that over here on Las Olas, an office building?
9 A. Yes
10 Q. And were there any other persons present that you
11 can remember?
12 A. (No response).
13 Q. Let me rephrase that. Even if you can't remember
14 their names, do you think there were other persons in the
15 room?
16 A. Yeah.
17 Q. Can you describe the office to me, in other words,
18 was it a conference room like we're in today or something
19 different?
20 A. It was a combination office and conference room.
21 It had a large sectional couch, a lot of pictures of Scott
22 with various celebrities to governors to presidents. It was
23 elaborate, very nicely built-out office.
24 Q. Was there also a conference table or --
25 A. Yes.
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1 Q. And was it about as big as the one we're at today
2 which looks like it holds about 12 chairs?
3 A. Yes.
4 Q. Was it pretty much filled?
5 A. Yes.
6 Q. What month was that, if you know?
7 A. I don't recall.
8 Q. Let me go back to that later and build to that.
9 How did you happen to be there that day, were you invited by
10 Mr. Rothstein?
11 A. Yes.
12 Q. And was this morning, lunch time, afternoon, did
13 you have a meal or anything?
14 A. I don't, I don't recall
15 Q. Was this meeting in the Fall of 2009? Was a
16 football season?
17 A. Yes.
18 Q. Did some of the individuals who were there, like
19 Barry, travel from out of state to come to the meeting?
20 A. Yes.
21 Q. Did you spend any time with Barry prior to this
22 meeting, social or business?
23 A. I don't remember.
24 Q. You said Barry and Ballamor Capital, that's his
25 firm, right?
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1 A. Yes.
2 Q. Do you remember if he was accompanied by some other
3 individuals from his group?
4 A. Yes.
5 Q. Do you know their names, any?
6 A. Larry Rovin.
7 Q. Is that Rovin?
8 A. Rovin, R-o-v-i-n. I think he's an attorney
9 there.
10 Q. Anybody else?
11 A. Yes, but I don't remember the names.
12 Q. And you don't remember if you, like, went out with
13 that group to dinner or a ball game or on a boat or anything
14 during that visit?
15 A. No, we didn't. We didn't do that.
16 Q. Did you ever go to a Jets/Dolphins game with any of
17 these folks?
18 A. Uh-huh (affirmative response). Yes.
19 Q. Do you know when that was, I mean, was it in this
20 same season?
21 A. Yes.
22 Q. Do you know if during that week you had any
23 conference or meeting with Rothstein?
24 A. Yes.
25 Q. So, not to confuse the issue: Do you know if you
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1 had already met with Scott Rothstein and some other
2 individuals prior to that meeting?
3 MR. KING: Objection to form. Vague.
4 Q. You follow what I'm saying? I can rephrase it.
5 A. Rephrase it.
6 Q. Is it accurate to say you had at least two
7 face-to-face meetings where Scott Rothstein was present?
8 A. Before the Jets game?
9 Q. Ever? At any time?
10 A. Yes, that's accurate.
11 Q. And was one of those before the Jets game?
12 A. Yes
13 Q. And was one after the Jets game?
14 A. Yes.
15 Q. Do you know if it was soon after, the day after?
16 A. Yeah, it was the day after.
17 Q. Who won the game, do you know?
18 A. I think the Dolphins.
19 Q. So, when you first went to Scott Rothstein's
20 office, what was your understanding of the reason you were
21 going there?
22 MR. KING: Is this the first time?
23 MRS. APRIL: The first time.
24 A. We were going to talk more about the confidential
25 settlements.
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1 Q. And this was the first time that you heard Scott
2 Rothstein discussing the confidential settlements?
3 A. Yes.
4 Q. To the best of your recollection, what did he say,
5 in substance? I don't mean word for word.
6 A. I can generalize, but I don't remember word for
7 word what was really talked about, you know, specifics. I
8 mean, it was --
9 Q. Generalized is fine.
10 MRS. STREETER: I don't want you to guess.
11 Q. In other words, did Scott, did he tell you
12 something about the confidential settlements and the process?
13 A. Yes, but it would be more specific to a meeting.
14 The one meeting we had where Barry Bekkedam and George were
15 there, it was more of the foundation of how Barry got there,
16 how George, you know, has been investing, nothing ever
17 tripped up. How we were going to come in and help George, we
18 were going to get a 15 percent return.
19 You know, the meeting after the Jets game, there
20 was a gentleman that flew in to meet Scott who was Thane
21 Ritchey. He was a friend of A.J. DiScala's. He flew in.
22 Scott had invited us to the game, A.J. and I, and we went to
23 the football game. And the next day, it was Thane Ritchey,
24 Michael Legamaro of Morgan, Lewis, Bockius, he had flown in
25 that Tuesday morning, and A.J. DiScala.
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1 Scott at this time was talking about a big case
2 that involved a defendant that had a very large sum of money
3 and had had sex with underaged girls. And he had two girls.
4 Actually, he said it was one at first, very large settlement.
5 And I think the settlement was 18 million.
6 And so that conversation went into with Thane
7 Ritchey, A.J. DiScala and myself and Morgan Lewis and Michael
8 Legamaro from Morgan, Lewis to explain to Michael who A.J.
9 and I soon after hired him to do, you know, the due
10 diligence, you know.
11 Q. Had you ever met Mr. Legamaro before that day?
12 A. No.
13 Q. But you understood him to be a lawyer for Thane
14 Ritchey?
15 A. Yes.
16 Q. And at that meeting -- let me make sure I
17 understand who was there. Mr. Legamaro was there, Scott
18 Rothstein was there, Thane Ritchey, A.J. DiScala and you?
19 A. Uh-huh (affirmative response). Yes.
20 Q. Was there anybody else there from Scott Rothstein's
21 firm for any part of the meeting?
22 A. No.
23 Q. At that meeting was it all talk? Let me rephrase
24 that. Was there just discussion or was there an examination
25 of any documents or materials?
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1 A. No.
2 Q. In the room with you -- were you in the same room
3 that you had been in --
4 A. Yes.
5 Q. -- the other time with the larger group?
6 A. Yes
7 Q. Did Scott at that time name the individual that he
8 was referring to who had sex with underaged girls and one
9 case had been settled?
10 A. No.
11 Q. Did you know from the description who he had been
12 talking about?
13 A. No, I had no idea.
14 Q. And did Mr. Legamaro ask questions of Scott
15 Rothstein about the cases?
16 A. Yes.
17 Q. And at that meeting do you know how long it lasted?
18 and I don't mean exactly but was it an hour, was it all day,
19 do you know?
20 A. A couple hours.
21 Q. And I believe you said a few minutes ago, after
22 that you decided to hire Michael Legamaro, I'm not sure if
23 that's the word you used, retained him?
24 A. Yes, we retained him.
25 Q. Again, who is we in that?
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1 A. A.J. DiScala.
2 Q. What did you retain him for?
3 A. To represent Clockwork.
4 Q. Now, again, your lawyer has asked and I'm trying to
5 respect her wishes and not go into too much about what these
6 entities are, but you mentioned Clockwork. What is Clockwork
7 because I had not heard of them before? Are they another
8 fund?
9 A. (No response).
10 Q. Let me rephrase it, because I'm not trying to make
11 your life difficult. Was Clockwork an existing entity at the
12 time that you engaged Mr. Legamaro, whatever it is? I'm not
13 even asking you what it is, but did it exist or do you know?
14 A. I think that you would have to be, you know, it's
15 our question: Was it or wasn't it?
16 Q. All right. Do you know if you had any formal
17 paperwork, an engagement letter signed with Mr. Legamaro?
18 A. I don't know.
19 Q. Do you know if you paid Mr. Legamaro any advanced
20 retainer fees?
21 A. Yes.
22 Q. And did he represent you after that?
23 A. Yes.
24 Q. And was there ever any time after that that you,
25 again, went to Scott Rothstein's office?
EFTA01153209
Page 26
1 A. Yes.
2 Q. Can you tell me about when it was or how much time
3 elapsed before you went back?
4 A. I think it was the following week.
5 Q. Let me just go back a little, because getting dates
6 down is sometimes important. The ball game you went to the
7 Jets/Dolphins game, was that a Monday night game or Sunday
8 night?
9 A. Monday night.
10 Q. Was it October of 2009?
11 A. Uh-huh (affirmative response).
12 Q. So it looks to me like there was October 5, 12,
13 19th and 26th were all Mondays. So just for frame of
14 reference, one of those, and I guess we could check
15 independently to find out when there was a ball game. One of
16 those you went the next day and that's the first time you met
17 Michael Legamaro at Scott's office, right?
18 A. Yes
19 Q. Did you actually meet him for the first time in the
20 office or did you convene somewhere else first?
21 A. No, I think I met him in the office.
22 Q. And did he bring any other attorneys or paralegals
23 assistants with him?
24 A. No.
25 Q. So then you and A.J. engage him and then you say
EFTA01153210
Page 27
1 there's another meeting some days later?
2 A. Michael came back down, Michael Legamaro came back
3 down and went to Scott's office with A.J.
4 Q. And do you know the purpose of that visit?
5 A. Michael was doing due diligence on RRA, on
6 Rothstein's firm, and wanted to spend more time with Scott
7 Rothstein understanding these investments.
8 Q. Were you there at all?
9 A. No, Not that meeting.
10 Q. Did A.J. discuss with you what occurred at that
11 meeting?
12 A. In general, he discussed that Michael and Scott
13 met. They got along. Michael understands the nature of the
14 settlements. Everything was going well. Michael had a lot
15 of questions for him and was continuing to investigate and do
16 due diligence on the investments of RRA, et cetera.
17 Basically, it was going well.
18 Q. Do you know if you saw Michael Legamaro at all
19 during that trip he made down here?
20 A. I don't remember.
21 Q. Did you see A.J.?
22 A. Yes.
23 Q. Do you know if -- did A.J. say whether Mr. Legamaro
24 in that visit to the Scott Rothstein office looked at any
25 documents and/or saw any materials?
EFTA01153211
Page 28
1 A. I don't remember.
2 Q. Was there any time after that that you yourself,
3 again, went with to Rothstein's office?
4 A. Yes.
5 Q. And do you know approximately what date or how much
6 time elapsed from this meeting you just described that you
7 didn't go to?
8 A. I think a week.
9 Q. So about a week later you go to Rothstein's office?
10 A. Uh-huh (affirmative response).
11 Q. And who else is there?
12 A. A.J. DiScala, Michael Legamaro.
13 Q. Anyone else. Thane Ritchey there?
14 A. No.
15 Q. Was Thane Ritchey -- Okay. He wasn't there.
16 So just the four of you were at that meeting?
17 A. As I recall.
18 Q. And what occurred at that meeting?
19 A. Scott was trying to close this deal which was the
20 first case. He then told us that the sister of this girl was
21 also involved with this client as well as at this point he
22 told us several girls now, once the first girl went forward
23 and started working with him, he was getting calls from other
24 girls saying that I, too, was, you know, involved with this
25 client. And so --
EFTA01153212
Page 29
1 Q. When you say the client, you mean the law firm --
2 A. I'm sorry, the defendant. And so Scott was all
3 fired up saying we've gotta get the first one. We've got a
4 total of 18, you know, girls and now we've got the first one
5 that we need to close, but now the sister, you know, he can
6 get the sister negotiated and taken care of.
7 At this point it was -- we were, I'm trying to
8 understand the whole deal. It was a large sum of money. At
9 this point we were calling it bullshit. How can one person
10 get a settlement for 18 million.
11 So Scott at this point said, Okay, you guys are
12 here. I'm going to trust you. I'm going to open the case.
13 I'm going to bring it down and I'll let you see who this
14 person is.
15 At this point Thane was also, you're talking about
16 maybe a two-week time period of, you know, Thane was talking
17 about making a $5 million investment. So Michael was already
18 in the process of doing his due diligence and things that he
19 needed to do. So Scott called for the evidence of who this
20 person was. We were in Scott's office, his personal office
21 in R.R.A.. And 10, 15 minutes later in walks our former
22 Sheriff Ken Jenne, with another gentleman, I didn't know who
23 he was, bringing in several boxes which ended to be I think
24 about 19.
25 Q. Were the boxes marked or numbered?
EFTA01153213
Page 30
1 A. Huh --
2 Q. You know times boxes say 1 of 10, 2 of 10? I mean,
3 any numbering like that?
4 A. I don't remember.
5 Q. So Mr. Jenne walks in with someone else with the
6 boxes, and what does he do?
7 A. They start bringing all the boxes and they start
8 laying them, you know, as you walk in there was a, you know,
9 almost if you walked into this room, he was putting all the
10 boxes against the wall here and they were stacked. What
11 ended up being 19 boxes. So it was a lot of information.
12 Q. Were these like banker's boxes that you put files
13 in?
14 A. Yes. Yes.
15 Q. Then what happened? Did Jenne leave?
16 A. Yeah, he left. Scott had pulled some certain
17 information from the case files and said, you know, I'm going
18 to tell you about who he is. I need the utmost confidence in
19 this as this is an open case. It's an ongoing case. This
20 person has other issues. He's just getting out of -- either
21 he was in jail or just getting out of jail. So he kind of
22 set the stage of who this person was. He already had a track
23 record. He already had issues. It was already public. You
24 could Google it.
25 And these girls that came forward would not come
EFTA01153214
Page 31
1 forward before and that was the, you know, confidential
2 nature of, you know, Scott saying I've got 18 of these girls
3 lined up and here is this person. His name is Jeffrey
4 Epstein.
5 Q. And at that moment had you heard of Jeffrey
6 Epstein?
7 A. No.
8 Q. Had the others who were there in the room
9 commented, you said that A.J. DiScala was there?
10 A. Uh-huh (affirmative response).
11 Q. Did he act like he knew who Jeffrey Epstein was?
12 A. I don't think any of us knew who he was.
13 Q. So what happened after Scott said that?
14 A. Scott had some flight records I guess from Jeffrey
15 Epstein's plane or planes, I don't know if there were
16 multiple, but there were flight records It seemed to be
17 from, you know, a company that took the logs of them. Again,
18 I don't know if it was his actual company or the flight
19 company.
20 Scott started talking about some of the issues of
21 why he was going to be able to get these large sums of money,
22 number one. This gentleman, Jeffrey Epstein, is supposed to
23 be -- Scott said he's got over a four and a half billion
24 dollar networth of what Scott could -- what was kind of known
25 publicly. There were also people on these plane rides that
EFTA01153215
Page 32
1 were known figures that definitely would not want this
2 information getting out and that the nature of the settlement
3 would, they would want to -- Jeffrey Epstein would want to
4 keep this quiet and that there was already pressures on him
5 to keep it quiet.
6 Q. Would want to keep what quiet?
7 A. The fact that there were underaged girls on these
8 planes, and there were other people on these planes and they
9 were public figures.
10 Q. Did you actually see these supposed flight logs?
11 A. Yes, a few of them.
12 Q. Did you recognize any names on them?
13 A. Yes.
14 Q. Can you say who any of them were?
15 A. Bill Clinton. Naomi Campbell, which I think she's
16 a super model. There was a reported Sheik, I don't remember
17 who it was but, obviously, an important person, a very
18 wealthy person.
19 Q. And it's your understanding that on these plane
20 trips there were underaged girls?
21 A. Yes.
22 Q. Did you find out the names of any of the girls?
23 A. No, but I remember Scott was explaining because all
24 the other people had their names written out but the girls,
25 it was just their first name and the first letter of their
EFTA01153216
Page 33
1 last name. So if it was Sara, Sara something, it was Sara C.
2 Q. I see. So, there were these boxes in the room.
3 And were these flight logs removed from the boxes that Mr.
4 Jenne and the other gentlemen brought in or did Scott have
5 those separate?
6 A. Scott had those separate.
7 Q. Did he show you anything else by way of materials?
8 A. Yes. But they were, I think they were pieces of
9 his former accusations of former, you know, arrest records
10 and news clippings and some other things.
11 Q. Did you have a look at some of those?
12 A. Very quickly.
13 Q. Did anybody else in the room with you scrutinize
14 them more closely?
15 A. Yes.
16 Q. Who?
17 A. Michael Legamaro with Morgan, Lewis, Bockius, the
18 attorney.
19 Q. Do you know what City Mr. Legamaro bases his
20 practice in?
21 A. Chicago, Illinois.
22 Q. Did you ever visit him there?
23 A. No.
24 Q. Did Mr. Legamaro comment about any of the items
25 that he looked at in your presence in front of Scott
EFTA01153217
Page 34
1 Rothstein?
2 A. Oh, yeah.
3 Q. Can you tell us what he said then?
4 A. Yeah, he went through the boxes. Scott said you
5 guys can look at the boxes, just don't take any of the
6 information, don't pull it out and misplace it from the
7 files.
8 So Michael Legamaro did spend, you know, some time
9 looking through a lot of the boxes and the files and said,
10 you know, This is a real case. And he explained that as a
11 young attorney he used to be an attorney for the United
12 States and I think he termed it as a jag attorney, which I
13 don't really know what that stands for, but he used to
14 prosecute for -- I think he said -- child molestation,
15 underage, you know, things of this nature which are -- I
16 don't know the word I'm looking for.
17 Q. Abuse?
18 A. Yeah, abuse. I would just put heightened concern,
19 you know, touchy subjects. I don't know if that's the --
20 Q. So he told you something about his past experience
21 with cases of that nature?
22 A. Yes. He gave in that description, gave us
23 confidence that he knew what he was looking at.
24 Q. Did he ask for copies of anything that he looked
25 at?
EFTA01153218
Page 35
1 A. I don't think so.
2 Q. Did he make any notes such as we --
3 A. I don't remember.
4 Q. You said he made a remark along the lines of this
5 is a real case. Did you understand he only was looking at
6 one case?
7 MR. KING: Objection. Leading.
8 A. Repeat the question.
9 Q. Did you understand, do you know if he looked at
10 more than one case file?
11 A. I don't know.
12 Q. Do you know if Mr. Legamaro, do you know how at
13 that time he was able to confirm that this is a real case?
14 A. I'm not an attorney. I don't know.
15 Q. Did he have a laptop with him?
16 A. I don't remember.
17 Q. Do you recall him at any time whether on his own
18 computer or one made available to him where he punched up
19 some numbers to look at any of the cases online, if you
20 remember?
21 A. That's a good question.
22 MRS. STREETER: Don't guess.
23 A. I know. I don't remember.
24 Q. Do you know how much time you spent at the
25 Rothstein office that day when Michael Legamaro was looking
EFTA01153219
Page 36
1 at these files?
2 A. Hour and a half, two hours max. We had Thane
3 Ritchey on the phone.
4 Q. Oh, Okay. Was he on the phone the whole time?
5 A. Not, not the whole time.
6 Q. Was there any other conversation other than what
7 you've described between Scott Rothstein and any of you at
8 that gathering?
9 A. I'm sorry. Ask again.
10 Q. Other than what you've already testified to about
11 what Scott said and what Mr. Legamaro said, do you recall any
12 other conversation that occurred at that gathering?
13 A. (No response).
14 Q. For example, you said Mr. Ritchey was on the phone.
15 Did he ask questions?
16 MR. KING: Objection. Compound. Unless you're
17 just focusing on that last question.
18 Q. Well, did he ask any questions? Let's focus on
19 that one.
20 A. He did. I don't remember specifics.
21 Q. Is there anything else that was said by anybody at
22 that meeting that you remember today concerning the
23 settlements or Mr. Epstein that you haven't already testified
24 about.
25 A. Yes, at that meeting A.J. DiScala had disclosed
EFTA01153220
Page 37
1 that his friend Ted Waite is dating the girl or a girl that
2 used to date Jeffrey Epstein, and that he knows from prior
3 conversations with Ted that Jeffrey wasn't the, you know, was
4 kind of known to be a, you know, womanizer, a cheater, this
5 kind of -- this would fall in line with his character. A.J.
6 Said he was going to call Ted and see if he could talk to
7 Ted's girlfriend.
8 Q. Did A.J. say that in front of Rothstein?
9 A. Yeah.
10 Q. And do you know if A.J., did A.J. ever tell you
11 that he did speak to Ted Waite or the girlfriend?
12 A. Yes.
13 Q. What did he tell you about that?
14 A. He spoke to Ted. Ted got really pissed off at
15 him.
16 Q. At A.J.?
17 A. Oh, yeah.
18 Q. Because?
19 A. He just felt that from what A.J. said to me, he
20 just felt A.J. was out of line and, you know, he didn't want
21 his girlfriend being questioned about, you know, this stuff
22 and to, you know, mind his own business.
23 Q. And did he, as far as you know, after that not
24 involve the girlfriend?
25 A. I don't know.
EFTA01153221
Page 38
1 Q. Do you know her name?
2 A. No.
3 Q. Did you ever meet this Ted Waite?
4 A. Yes.
5 Q. Does he live in New York?
6 A. No, he lives in San Diego.
7 Q. Have you ever met the girlfriend of Ted Waite who
8 used to be Jeffrey Epstein's girlfriend?
9 A. No.
10 Q. Anything else that you recall that was said during
11 this meeting that you haven't already testified about?
12 A. Not that I can think of.
13 Q. If you remember, at the conclusion of this meeting
14 was there any decision made about you going forward with the
15 investment or requiring additional time to decide?
16 A. It was our conclusion really based off of Michael
17 Legamaro's feelings, comments and, you know, him being a
18 respect -- what I thought was a respected attorney from a
19 very respected firm. He had high confidence this is a real
20 case and, you know, it could be that there are several of
21 these cases that were real. Potential, you know, 18
22 plaintiffs. He gave us the confidence to go forward and
23 invest.
24 Q. Did Scott Rothstein offer you any estimate of how
25 much money these settlements would be worth in his opinion,
EFTA01153222
Page 39
1 total?
2 A. Yes.
3 Q. Do you remember the number?
4 A. It was over 300 million.
5 Q. After that did you have any other, was there ever
6 any other time that you were in Scott Rothstein's office?
7 A. I don't think so.
8 Q. You mentioned earlier something called Clockwork,
9 and without going into any particulars about what Clockwork
10 is: Did Clockwork make an investment in these Epstein
11 so-called settlements or potential settlements, if you
12 know?
13 MRS. STREETER: Do you want to step outside for a
14 minute?
15 THE WITNESS: Yes.
16 (WHEREUPON, an off-the-record discussion was had).
17 10 24. 10 33. Break.
18 Q. Before that break, you were talking about a meeting
19 at Scott Rothstein's personal office. You said you were
20 always in the same office when you went to his firm?
21 A. Yes.
22 Q. Did any particular person at the firm ever, like,
23 escort you into the office or greet you?
24 A. Scott's secretary.
25 Q. Did you know her name?
EFTA01153223
Page 40
1 A. No, she's a Latin girl.
2 Q. Did you, again, visit Scott Rothstein's office
3 after the meeting you described with Mr. Legamaro looking at
4 documents and things in boxes?
5 A. Not that I recall.
6 Q. Let me clarify something. So am I to understand
7 that you were in Scott's office on three occasions?
8 A. Yeah.
9 Q. These boxes that former sheriff Jenne and another
10 individual brought in, were they available for your review on
11 more than one of those meetings?
12 A. No response.
13 Q. I know it's been awhile and there's a lot that went
14 on at that time.
15 A. Yeah, I'm just going through it in my head. I was
16 there one time after and it was -- I don't remember exact
17 dates, how many days after, but I was there one time after.
18 Q. And do you know how were with? Was Mr. Rothstein
19 there, of course?
20 A. Of course.
21 Q. Anyone else?
22 A. A.J. DiScala.
23 Q. Was Mr. Legamaro with you at that time?
24 A. I don't remember.
25 Q. Was Thane Ritchey there?
EFTA01153224
Page 41
1 A. No.
2 Q. And at that other visit to the Rothstein office,
3 were the boxes in the same location in his office?
4 A. Yes.
5 Q. And you mentioned that when they were brought in
6 they were stacked up against the wall, but was there some
7 point --
8 A. They weren't stacked up. They were just all on the
9 ground. Stacked next to each other but not stacked up.
10 Q. So when Mr. Leg Mo row looked at things in them did
11 he actually bend down on the floor to look or did he put them
12 on the table?
13 A. I know he bent over. I don't remember if he put
14 them on the table.
15 Q. Did you, for the several items that you described
16 that you looked at briefly, do you know if you put some on
17 the table or if you, you know, scooted down on the floor to
18 look at them?
19 A. I scooted on the floor or bent over. I didn't put
20 anything on the table. I really, you know, felt personally a
21 little uncomfortable because, number one, I didn't know what
22 I was looking at. I don't know what I'm look at, you know,
23 or looking for.
24 Q. Do you know the reason you went back this time that
25 you're describing when you said you went back one other time
EFTA01153225
Page 42
1 with A.J. and possibly Legamaro, was it to continue the due
2 diligence or the examination of the file?
3 A. I don't remember.
4 Q. Do you know how you came to know about any of these
5 meetings, in other words, did you get an e-mail or a
6 telephone call or some other communication?
7 A. Most of it was A.J.. A.J. was more of the one that
8 was, for lack of a better word, the ring leader.
9 Q. He was setting up the appointments?
10 A. Yeah.
11 Q. Did he telephone you?
12 A. Yes.
13 Q. Did A.J. come down here regularly during the fall
14 of 2009?
15 A. Yes.
16 Q. Where did he stay?
17 A. My house.
18 Q. Did you live at the same address that you live at
19 presently?
20 A. Yes.
21 Q. Did A.J. to your recollection ever send you e-mails
22 about visits to the Rothstein firm to set them up or remind
23 you or anything like that?
24 A. Yes.
25 Q. Did you ever receive any e-mails from Scott
EFTA01153226
Page 43
1 Rothstein directly?
2 A. I think I was copied.
3 Q. Did you ever send any e-mails to Scott Rothstein?
4 A. A couple.
5 Q. And was it concerning the investment he was
6 offering?
7 A. I sent him a thank you e-mail for the football
8 game, Monday night game and I don't remember what else.
9 Q. Did you ever have Scott's personal cell phone
10 number?
11 A. Yes.
12 Q. Did you ever call him?
13 A. Maybe three times.
14 Q. Do you know what about?
15 A. One was on a personal matter. The other two may
16 have been for a meeting.
17 Q. When you say about a meeting, you mean a meeting
18 related to these investment opportunities?
19 A. Yeah. If A.J. couldn't get a hold of him, he would
20 have me call.
21 Q. So did Scott, to your knowledge, make these
22 appointments on his own as opposed to through his
23 secretary?
24 MRS. STREETER: If you know.
25 A. Sometimes he did.
EFTA01153227
Page 44
1 Q. How did you first meet A.J. DiScala?
2 A. I was introduced to A.J. from a friend of mine
3 named Joe Gamborelli.
4 Q. And when was that?
5 A. That was in around October of 2008.
6 Q. Was that when you were in New York?
7 A. September of -- yeah, when I first got up there.
8 Joe lives in New York.
9 Q. And did you ever work with A.J. after that, I mean,
10 like -- let me rephrase that. Did you ever have any business
11 dealings with A.J. prior to the investment we've been talking
12 about?
13 A. I looked at a couple of things. I never invested
14 in the deals he did.
15 Q. And what was his occupation when you met him?
16 A. Good question.
17 Q. Or what did you --
18 A. Investment banker.
19 Q. Okay. Sometimes the question is what did you
20 understand his occupation to be. Investment banker?
21 A. Yes.
22 Q. Was he with a firm?
23 A. No, he was on his own.
24 Q. Does he live in New York to your knowledge?
25 A. Yes.
EFTA01153228
Page 45
1 Q. Have you been to his home?
2 A. Yes.
3 Q. Where does he live?
4 A. Exact address?
5 Q. Whatever you know?
6 A. I probably got it in my phone. I don't know his
7 act address off the top of my head.
8 Q. But is it an apartment building, is it yup town or
9 downtown?
10 A. It's near Tribeca. He lives in an apartment, he
11 doesn't own it.
12 Q. Going back to the documents that Michael Legamaro
13 looked at and files when you were in Scott Rothstein's
14 office, are you able to say what he specifically looked at,
15 in other words, whether they were court papers or whether
16 they were some other kind of papers?
17 A. Of what Michael Legamaro looked at?
18 Q. Yes.
19 A. He looked through many of the boxes. I think there
20 were, you know, court papers.
21 MRS. STREETER: Do you know what they were?
22 A. Not specifically, no.
23 Q. When I say court papers, I'm talking about things
24 that are actually filed in court. Like, I had shown you
25 before the beginning of this complaint, the Razorback
EFTA01153229
Page 46
1 complaint.
2 A. Yes.
3 Q. Do you know if he looked at any papers that are
4 styled this way with a court name on them, a plaintiff and a
5 defendant?
6 A. I was not with him when he actually was looking at
7 that piece of paper. I only heard comments of what he said
8 so I can't say for certain.
9 Q. Was there any time when he said to you or to A.J.,
10 oh, take a look at this. It shows -- anything in particular?
11 A. I don't remember the particulars.
12 Q. I think you said he did not take any notes that you
13 recall?
14 A. Correct.
15 Q. Did you take any notes?
16 A. No.
17 Q. Did A.J. take any notes that you saw?
18 A. No.
19 Q. Did Scott Rothstein take any notes of what was
20 going on to your knowledge?
21 A. No.
22 Q. Did Scott show you any other -- when he was making
23 his sales was this sort of a sales pitch he was doing?
24 A. Yeah.
25 Q. Did he show you any, you know, charts or power
EFTA01153230
Page 47
1 points or presentations in addition to these files?
2 A. No.
3 Q. Did he play any tapes for you?
4 A. No.
5 Q. Did he advise you that he used investigators to
6 obtain information about Mr. Epstein?
7 A. Yes.
8 Q. What did he tell you about that, just that he used
9 them?
10 A. Yes
11 Q. Did he say that he had had any telephone
12 conversations taped of Mr. Epstein?
13 A. I don't recall.
14 Q. Did he tell you who the investigators were?
15 A. Yes.
16 Q. Do you recall their names?
17 A. Ken Jenne, Mike Fisten.
18 Q. Do you know if Mike Fisten was the other person
19 that helped Ken Jenne deliver the boxes of material to the
20 Rothstein office you were in?
21 A. I don't know.
22 Q. Do you know Mike Fisten when you see him? I mean,
23 have you ever seen him to your knowledge?
24 A. Yes.
25 Q. So if he were to walk in here now would you
EFTA01153231
Page 48
1 recognize him?
2 A. Yes.
3 Q. Did you ever meet him?
4 A. Yes.
5 Q. Where?
6 A. Outside of Scott's office with Ken Jenne.
7 Q. Who introduced you?
8 A. Scott.
9 Q. Did he introduce you with a description of what Mr.
10 Fisten did for the firm?
11 A. Yes.
12 Q. What did he say he did?
13 A. That they were, you know, there to do investigative
14 work on the cases.
15 Q. Did he boast about any techniques they used?
16 A. Yes.
17 Q. What do you recall that he said?
18 A. That was one of Scott's sales pitches in general
19 about his investigative team and that you have to be cautious
20 of what you put in your trash can, it's not shredded and
21 cross-shredded. They would take video surveillance if they
22 had to, sit outside homes, watch patterns, watch where they
23 go. I think that's all I remember.
24 Q. Did he tell you that they had Mr. Epstein under
25 surveillance for further opportunities?
EFTA01153232
Page 49
1 A. No, I don't remember.
2 Q. Who else, if anyone, did you ever meet at the
3 Rothstein firm when you would go to Scott's office? Do you
4 remember?
5 A. Yeah.
6 Q. Let me withdraw that question for am moment and
7 just ask you about some names. Did you ever meet Stuart
8 Rosenfeld?
9 A. Briefly.
10 Q. At the office or outside?
11 A. At the office.
12 Q. What was the circumstance, did Scott bring him in?
13 A. No. We were passing through the hallway and Scott
14 just introduced him and we were talking by and that was it.
15 Q. So it was merely an introduction?
16 A. Yeah, if that. I mean, he wouldn't know who I was
17 or he didn't say specifically this is Dean Kretschmar.
18 Q. What about Russell Adler, did you ever meet him?
19 A. No.
20 Q. What about Debra Villegas?
21 A. No.
22 Q. Did you ever meet anyone there called, I'm not sure
23 I'm saying his name right, Frank Preve or Preve?
24 MRS. STREETER: Preve.
25 Q. Who is Frank Preve?
EFTA01153233
Page 50
1 A. Frank Preve was with Banyon and worked for George
2 Levin.
3 Q. And where did you meet him?
4 A. At George Levin's offices.
5 Q. And where was George Levin's office?
6 A. Off of Sunrise across from the Galleria Mall.
7 Q. Did you ever see Frank Preve at the Rothstein firm
8 when you visited those offices?
9 A. He was in the first meeting that I described Barry
10 Bekkedam was there, George Levin, Frank Preve. I did say
11 Frank Preve's name. That was the only time that I saw him.
12 Q. Do you know what his role was with Banyon?
13 A. He was George's right-hand man. He was the one
14 that sent you your statement. That's where my first
15 investment was through. He was the contact person with
16 Banyon Investment Income Fund.
17 4. Did you ever meet anybody named Boden, B-o-d-e-n?
18 A. No.
19 4. Are you affiliated with D3 Capital Club, LLC?
20 A. Describe what you mean affiliated?
21 4- Well, do you own any part?
22 A. No.
23 4. Do you know what it is?
24 A. Yes.
25 Q. What is it?
EFTA01153234
Page 51
1 A. It was an investment vehicle for the last
2 investment of this certain Epstein case.
3 Q. Does D3 stand for any particular thing, if you
4 know?
5 A. (No response).
6 Q. I mean, for example, like names DiScala, Dean,
7 Doug, anything?
8 A. Yes.
9 Q. It does stand for names?
10 A. Uh-huh (affirmative response).
11 Q. I'm going to ask you about some other individuals.
12 You had mentioned at the first meeting that the Banyon, with
13 Barry and Banyon people that were at Rothstein's office that
14 there were a number of people in addition to those you named.
15 I think you said the room was, the table was filled pretty
16 much.
17 A. Uh-huh (affirmative response).
18 Q. Was John Antolik present, if you recall?
19 A. I don't remember.
20 Q. Do you know who that person is?
21 A. Yes.
22 Q. Who was he?
23 A. He is, he knows A.J. DiScala.
24 Q. Was he an individual who had an interest in
25 investing in Banyon, do you know?
EFTA01153235
Page 52
1 A. Not Banyon.
2 Q. Any other investment that --
3 A. Razorback.
4 Q. Are you saying he did invest in Razorback to your
5 knowledge?
6 A. Yes.
7 Q. Chris Podaras, do you know someone by that name?
8 A. Yes.
9 Q. Do you know if he was at any of the meetings in
10 Rothstein's office?
11 A. Yes.
12 Q. Was he at what I'll call the first one, the large
13 group with Barry?
14 A. I don't remember.
15 Q. How do you know Chris?
16 A. I know Chris through A.J.
17 Q. Did he invest to your knowledge in Razorback or any
18 fund?
19 A. Yes.
20 Q. Have you ever done business with Chris Podaras?
21 A. Outside of this investment, no.
22 Q. Do you know someone named Jim Parrish?
23 A. Yes.
24 Q. Do you know if he was at any meeting at the
25 Rothstein firm?
EFTA01153236
Page 53
1 A. I don't remember.
2 Q. Do you know if he invested in Razorback?
3 A. I don't think so.
4 Q. Do you know if he invested in any product offered
5 by or opportunity offered by Scott Rothstein?
6 A. I don't think so.
7 Q. How do you know him?
8 A. Through A.J. DiScala.
9 Q. Do you know if he lives in New York or Florida?
10 A. Yes, he lives in New York.
11 Q. Do you know if he has a business affiliation, is he
12 with a firm or a company?
13 A. I think he's on his own.
14 Q. Michael Christ, is that name known to you?
15 A. Yes.
16 Q. Who is he?
17 A. He works for AIG which is an investment group.
18 Q. Do you recall if he was ever present at any meeting
19 in Scott Rothstein's office?
20 A. I don't recall.
21 Q. Do you know if Scott Rothstein ever told you or
22 others in your presence that there was any kind of insurance
23 in connection with the investments in the settlement
24 opportunity?
25 A. No.
EFTA01153237
Page 54
1 Q. Did anyone tell you there was insurance?
2 A. Yes.
3 Q. Who?
4 A. Barry Bekkedam, Frank Preve and George Levin.
5 Q. And did they tell you this on separate occasions or
6 at one sitting, at one time?
7 A. Separate occasions.
8 Q. And what did you understand the insurance was and
9 the amount?
10 A. I understood it was 70 million, it was a basically
11 a fraud and crime policy.
12 Q. Do you know if there ever was a fraud and crime
13 policy purchased?
14 A. I was told there was.
15 Q. Did you make a claim under that policy, if you
16 know?
17 A. Yes.
18 Q. Do you know if that is a pending matter?
19 A. Pending matter.
20 Q. So you understand that it's Banyon that had the
21 insurance?
22 A. Yes.
23 Q. Did Michael Legamaro did he ever ask again, not
24 just privately with you but in front of either Scott
25 Rothstein or somebody who he did not represent -- whether the
EFTA01153238
Page 55
1 investment, whether there was any insurance in place for the
2 investment?
3 A. I don't remember.
4 Q. Do you know someone named Al Rappetti?
5 A. Yes.
6 Q. And who is Mr. Rappetti?
7 A. He worked for Ballamor.
8 Q. That's Barry Bekkedam's firm?
9 A. Yes.
10 Q. How do you spell that, Ballamor?
11 MRS. STREETER: B-a-1-1-a-m-o-r.
12 MRS. APRIL: Is it on there?
13 MRS. STREETER: Yeah.
14 Q. Now, forgive me, I don't think I asked you this.
15 There's a lot of names I've been asking you about. Thane
16 Ritchey, how did you originally meet him?
17 A. I originally met him Monday night football game.
18 He met us. Is he a friend of A.J. DiScalas.
19 Q. Is this the game we talked about earlier, the
20 Dolphins/Jets game down here in October of 2009?
21 A. Yes.
22 Q. And you met him at the game?
23 A. Yes.
24 Q. Did A.J. tell you before the game anything about
25 Thane Ritchey?
EFTA01153239
Page 56
1 A. Yes.
2 Q. What did he tell you?
3 A. That Thane was, Thane's father was a pretty
4 prominent figure on Wallstreet as an investor. Thane had a
5 two billion plus fund himself for various investments. They
6 were both involved in I think A.J brought him to Tom
7 Petter's investment, which turned out to be a ponzi scheme.
8 Q. This is what A.J. was telling you by way of
9 background of Thane Ritchey?
10 A. Yeah. And he has a big hedge fund.
11 Q. That's the two billion dollar fund you're talking
12 about?
13 A. Yeah.
14 Q. Do you know what it's called?
15 A. Ritchey Capital.
16 Q. Did you speak with Thane Ritchey about investing
17 with Scott Rothstein when you met him at the football game?
18 A. No.
19 Q. Did you speak with him at some time after that
20 about investing?
21 A. No.
22 Q. Did you ever borrow money from Thane Ritchey to
23 invest in the, well, in the Epstein settlements, the products
24 that Rothstein offered?
25 THE WITNESS: Maxine?
EFTA01153240
Page 57
1 MRS. STREETER: Sure.
2 MRS. APRIL: Off the record for a couple of
3 minutes.
4 (WHEREUPON, an off-the-record discussion was had).
5 MRS. STREETER: I just want to say something. Back
6 on the record. Mr. Kretschmar has advised me that his
7 business dealings with Mr. Ritchey are involved in
8 present litigation right now. His lawyer is not present
9 to advise him, it's the subject of ongoing litigation
10 and he's not comfortable answering any of these
11 questions. He's not going to answer any more.
12 MRS. APRIL: Let's defer on all of that. Let me
13 just say since we're on the record that rather than --
14 that we will not cover that today and in the event that
15 that litigation resolves itself and it becomes necessary
16 in this case to re-depose him on certain issues we
17 reserve that right.
18 MRS. STREETER: That's fine.
19 Q. I think you testified previously that you were not
20 told the names of any of the alleged victims of Mr. Epstein
21 who were the plaintiffs in these cases that were being
22 projected as large settlements?
23 A. Uh-huh (affirmative response).
24 Q. But you understood that there were 17 or 18 girls
25 who were going to be making claims against Mr. Epstein?
EFTA01153241
Page 58
1 A. Uh-huh (affirmative response).
2 Q. Other than Mr. Epstein, did Scott Rothstein at any
3 of these meetings or times that you spoke with him or he
4 spoke to you talk about other defendants? In other words,
5 cases that didn't involve Jeff Epstein?
6 A. Yes.
7 Q. And did you get any description of the defendants,
8 if not by name or by characterization?
9 A. Yes.
10 Q. What did he tell you?
11 A. He about the same time as this case, he was telling
12 us about another case he didn't have but he thought he was
13 going to get, and it was a American company that did some
14 wrongful acts in South America and it was related to do
15 Pineapple.
16 Q. Did you ever here of the term Qui Tam case?
17 A. Yes.
18 Q. Do you remember if Scott discussed any of the Qui
19 Tam case with you?
20 A. I think that may have been one of the Qui Tam
21 cases.
22 Q. Was Mr. Legamaro present when Scott Rothstein
23 discussed that case or cases?
24 A. I don't remember.
25 Q. Were you given any papers or including like an
EFTA01153242
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1 offering memorandum or prospectus by Scott Rothstein?
2 A. No.
3 Q. Do you know if any of your colleagues that you
4 were, like A.J. DiScala, were given any offering papers or
5 prospectus by Scott Rothstein?
6 A. I don't know.
7 Q. What about Mr. Legamaro, did he receive any
8 documents from Scott Rothstein or someone on behalf of Scott
9 Rothstein?
10 A. I don't know.
11 Q. So when is the last time you ever speak to Scott
12 Rothstein, if not the exact date, the approximate time? You
13 are free to look at the calendar if that helps you?
14 A. I think this was that last meeting.
15 Q. And that was late October?
16 A. Yeah.
17 Q. Did you ever meet someone named Halle, H-a-1-1-e,
18 on or about the last week of October, 2009?
19 A. Somebody by the name of Halle?
20 Q. Yes.
21 A. Is that a first name, last name?
22 Q. Well, Warren Halle?
23 A. Warren Halle?
24 Q. Well, let me try a different question. Do you know
25 someone named Buddy Hack?
EFTA01153243
Page 60
1 A. Yes.
2 Q. Who is that?
3 A. He works for Larson.
4 Q. The boat dock company?
5 A. Yeah.
6 Q. Ships, yachts? I'm not sure? Larson?
7 A. Yes.
8 Q. Do you know if he introduced you to someone named
9 Warren Hal or Halle?
10 A. Yes.
11 Q. Do you know under what circumstances you met this
12 gentleman?
13 A. We met with him, my stepfather and I and A.J.
14 DiScala at my father's house, stepfather's house, same person
15 in this case. And we told him about the investment but he
16 ended up not investing.
17 Q. Do you know if that was after you last visited the
18 Rothstein office?
19 A. I don't remember.
20 Q. Was it during any kind of a event at a boat show or
21 any --
22 A. Yeah, it was a boat show.
23 Q. Early in your testimony you mentioned Michael
24 Szafranski I think and I believe you said, without me going
25 back to my exact notes, that he had something to do with
EFTA01153244
Page 61
1 verifying the Rothstein firm's representations for Banyon or
2 for Ballamor. Do you know who hired him?
3 A. From my understanding, it was Platinum Centurion.
4 Q. And what's Platinum Centurion?
5 A. They're a hedge fund in New York.
6 Q. And is there any individual who you ever talked to
7 who was with Platinum Centurion other than Szafranski?
8 A. I don't understand your question.
9 Q. Well, in other words, when you talk about Platinum
10 Centurion, is there an individual that you believe to be the
11 operator of those funds?
12 A. Oh, I don't know. I was told Platinum Centurion by
13 George Levin and Frank Preve.
14 Q. But you did meet Szafranski, right?
15 A. Yes.
16 Q. Did I understand you said he was at the first
17 meeting in Scott's office or do you know?
18 A. I don't know.
19 Q. Where did you meet him in New York or down here?
20 A. Down here.
21 Q. Do you know where you were when you met him?
22 A. He had an office in RRA on a different floor.
23 Q. And RRA is Rothstein, Rosenfeld & Adler?
24 A. Correct.
25 Q. Did it strike you as odd that a third party who was
EFTA01153245
Page 62
1 sent to verify the bonafides of the Rothstein office had an
2 office in that firm?
3 MRS. STREETER: Objection as to form. You can
4 answer.
5 A. Yes and no. It wasn't on RRA's main floor, but it
6 was a few floors down and didn't seem to be a very important
7 area of their firm.
8 Q. Do you think it might have been an office they were
9 letting him use for whatever he was doing there?
10 A. Yeah.
11 Q. Did Scott Rothstein ask you or -- well, did he ever
12 ask you to bring in other investors to this deal he was
13 pitching?
14 A. Yes.
15 Q. Did he offer you any additional benefit if you
16 brought others in?
17 A. Yes.
18 Q. What was that?
19 A. It was a higher percentage than 15 percent but I
20 don't remember the exact percentage. It was different.
21 Q. And when you say 15 percent is that the return you
22 were promised on the investment?
23 A. Banyon.
24 Q. And Banyon?
25 A. Yes.
EFTA01153246
Page 63
1 Q. So how much money did you put in Banyon?
2 A. 8.4 million.
3 Q. And then you also said you invested in other ways,
4 was that with the same promised return?
5 A. Of the 15 percent?
6 Q. Yes.
7 A. I invested in Razorback. I don't remember then
8 what the exact return was on that. I think it was higher
9 than the 15.
10 Q. But Razorback was also a in vestment with Rothstein
11 based on the same kinds of settlements as the one you were
12 looking at with respect to Epstein, is that correct? Let me
13 rephrase that.
14 Was the prototype, the nature of the investment,
15 the settlements the same for Razorback as it was going to be
16 for your later investment for D3?
17 A. They weren't the same in the sense that if one was
18 a confidential settlement for a company versus -- we went off
19 of what Scott was telling us what he was negotiating. So
20 there wasn't a standard, you know, return per se other than
21 what George Levin was offering us at the first initial
22 investment of Banyon, which was a set 15 percent.
23 Q. And the first investment with Banyon, did you have
24 a prospectus or an offer of memorandum?
25 A. Yes.
EFTA01153247
Page 64
1 Q. How did you learn that you had been defrauded, I
2 think that's the word you used earlier in your deposition
3 today? How did you first hear about that?
4 A. A.J. had received a e-mail from Scott Rothstein
5 saying to stay away and that basically he wasn't right, he
6 was sorry and it's best to stay away from him. And then we
7 called, well, I shouldn't say we, A.J. called Frank Preve and
8 said, What's going on? And so George Levin and Frank were in
9 conversations with Scott.
10 Q. When A.J. got this e-mail from Scott, did he show
11 it to you or forward it to you?
12 A. Yeah. Yeah, he showed it to me.
13 4. And did it make sense to you?
14 A. No
15 4- Did you understand that -- well, what did it mean
16 to you? Let me retract that and ask a different question.
17 What happened after that? You said that A.J. spoke
18 to Preve?
19 A. Yes.
20 4. And what did he learn from that communication that
21 he shared with you?
22 MRS. STREETER: I'm going to -- I just want to put
23 on the record, again, that you're going into areas that
24 are part of our case and involving our litigation. I
25 mean, he's here to talk about Epstein. I'm not
EFTA01153248
Page 65
1 comfortable with this line of questioning.
2 MRS. APRIL: Well, let me ask you this: I'm not
3 sure that they don't blend together, but let me --
4 Q. Do you know, do you know what happened after that
5 with respect to your investment? You had already made some
6 investments, right, at that point that this e-mail was sent?
7 A. Yes.
8 Q. Did you have other investments that were in process
9 or that were halted, can you tell me what happened to your --
10 Let me backup.
11 When did you decide, if you did, to invest in the
12 group of settlements that I'll describe as the Epstein
13 settlement?
14 A. I didn't make an investment in the Epstein
15 settlements.
16 Q. You never made that investment?
17 A. No.
18 Q. Were you going to or did you never get to the point
19 where you decided?
20 A. I basically didn't have any more money to invest.
21 Q. Did Scott Rothstein ever ask you to sign any
22 agreement or anything that you wouldn't discuss what was said
23 to you in his office about the Epstein cases or any other
24 cases?
25 A. No.
EFTA01153249
Page 66
1 Q. Did he ever say you could not take notes of what
2 you were looking at if you chose to look at those files?
3 A. I don't recall.
4 Q. Do you know who Elizabeth Friedland is?
5 A. Yes.
6 Q. Who is she?
7 A. She was A.J.'s secretary.
8 Q. And did A.J. have a company called Clockwork
9 Capital Advisors in New York City?
10 A. Yes.
11 Q. And to your knowledge was that his -- did she work
12 for that company?
13 A. I don't know.
14 Q. When is the last time, if you remember, that you
15 spoke with A.J. DiScala?
16 A. Eight months ago.
17 Q. Do you know if he still has Clockwork as a if
18 Clockwork Capital Advisors still operates?
19 A. I don't know.
20 Q. Do you know an attorney named Chris Roman?
21 A. No.
22 Q. Do you know a firm named Clifford chance?
23 A. Yes.
24 Q. Do you know how you are acquainted with that firm
25 at all?
EFTA01153250
Page 67
1 MRS. STREETER: Can we take a break for a second?
2 I want to talk to you.
3 MRS. APRIL: Sure. I think he needs to answer the
4 question first if he can or not.
5 Q. Do you happen to know who Clifford Chance is?
6 A. A.J. spoke with him and dealt with Clifford
7 Chance.
8 MRS. APRIL: Give me just a second and then we can
9 take that break you were talking about.
10 Q. Do you know someone named Adam Fisher?
11 A. Yes.
12 Q. Who is Mr. Fisher?
13 A. Who is Adam fisher?
14 Q. Yes.
15 A. Adam is another friend of A.J. DiScalas or knows
16 A.J. DiScala.
17 Q. Do you know if he was ever at any meeting that you
18 attended at the Rothstein firm?
19 A. Yes.
20 Q. Yes, he was there?
21 A. Yes.
22 Q. Was it the first one when you were with the Banyon
23 people?
24 A. I don't recall.
25 Q. Do you know if anybody invested in the settlements
EFTA01153251
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1 that we've described as the Epstein settlements that Scott
2 Rothstein was trying to sell as an investment?
3 A. I'm sorry, do I --
4 Q. Do you know if anyone invested in it?
5 A. Yes.
6 Q. Who?
7 A. My father invested in that, Mercato Jew [STA], and
8 I don't know if any -- I don't know any others.
9 Q. I promise, we are going to take a break in a
10 second, but what's Mercato Jew [STA]?
11 A. That's an organization that Thane Ritchey owns.
12 MRS. APRIL: Let's take a couple of minutes and then
13 I'm going to be wrapping up soon any way.
14 (WHEREUPON, an off-the-record discussion was had).
15 Q. A few more questions about what Mr. Rothstein told
16 you and the others who were present about the Epstein cases
17 and the cases that he anticipated would be settled, Okay?
18 A. Uh-huh (affirmative response).
19 Q. Did he tell you who was negotiating settlements on
20 behalf of the Rothstein firm's clients, who specifically?
21 A. Who was negotiating --
22 Q. The settlements? In other words, did he tell you
23 it's me, Scott Rothstein, or it's
24 A. Oh, yeah. It was him.
25 Q. He said it was him?
EFTA01153252
Page 69
1 A. Yeah.
2 Q. Did he tell you what lawyers were actually working
3 on those cases?
4 A. On his side or
5 Q. On his side?
6 A. No. The story was that Scott, that's why he had a
7 separate office, handled all the confidential settlements.
8 All the other cases were handled by the firm.
9 Q. Did he tell you any of the names of the other
10 lawyers who even worked on these cases before they settled?
11 A. No. From what I -- that's what I'm trying to say.
12 He was the one that worked on these cases, Scott
13 personally.
14 Q. Did he ever mention the lawyers who had in his
15 firm, who had originated the cases, you know, who brought
16 them into the firm?
17 A. No.
18 Q. Did he ever mention a lawyer named Brad Edwards?
19 A. No.
20 Q. Did you know that Brad Edwards was one of the
21 partners at that firm?
22 A. No.
23 Q. Did you ever hear that -- so you're telling me you
24 never heard the names of any lawyers who might have done
25 anything with these cases?
EFTA01153253
Page 70
1 A. Correct.
2 Q. Because Scott told you it was just Scott?
3 A. Right.
4 Q. Did you wonder how he got the cases?
5 A. Of course.
6 Q. And he told you that the first girl or the second
7 girl had led to many other potential settlements?
8 A. Uh-huh (affirmative response).
9 Q. But did he tell you how the very first one came to
10 him?
11 A. The story I remember was just, you know, Scott's
12 image and the fact that he was on several billboards, big in
13 the community, you know, he had gained a lot of exposure. I
14 think the mother had searched him out and wanted to speak
15 with him. I never knew it was an attorney, you know, or
16 somebody else in his firm that brought it to him. I didn't
17 get that detailed.
18 Q. And I think you said you didn't actually look at
19 any of the court paper who's see who signed them for the
20 firm?
21 A. Correct.
22 Q. But did Mr. Legamaro comment about that at all in
23 Scott's presence?
24 A. I don't remember.
25 Q. Do you know one of the girls was referred to as LM,
EFTA01153254
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1 does that -- is that something you remember?
2 A. I don't remember that.
3 Q. How about Jane Doe, did you ever hear them refer
4 or any girl referred to as Jane Doe?
5 A. Yes.
6 Q. And did you understand that was to conceal her true
7 identity?
8 A. Yes.
9 Q. Now, I had some do you know, and you may not,
10 but do you know the total amount that was invested in the
11 Epstein group of settlements?
12 MR. KING: Objection to form. Foundation.
13 Q. It's Okay. If you know. You mentioned your father
14 I believe was one of the investors?
15 A. I think it was 13 million, but --
16 Q. You're not sure?
17 A. I'm not sure.
18 Q. Your lawyer has indicated that you are still
19 involved in certain litigation and therefore are reluctant to
20 to testify about certain relationships and matters. So at
21 this time, I'm not sure if I can ask this question. She will
22 tell me or tell you if I can or not?
23 Are you engaged in any litigation with Mr. Ritchey
24 currently?
25 MRS. STREETER: You can answer that question.
EFTA01153255
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1 A. Yes.
2 Q. Well, in light of that, I am not going to pursue
3 certain questions that I might have otherwise, but I am going
4 to reserve the right to recall you at such time as if we deem
5 it necessary and if your willing to speak about it at a
6 future date.
7 MRS. APRIL: I don't have any other questions at
8 this time.
9 MR. KING: I don't have any questions.
10 MRS. STREETER: He will read.
11 (WHEREUPON, the deposition recessed at 11:40 .)
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