I. And what additional evidence is there to support Count 9, which alleges that JE and used a facility of interstate commerce to persuade, induce, and entice Jane Doe # to engage in prostitution? How man calls have you been able to document between Jane Doe #8 and 1. I-Iow old was Jane Doe #8 at the time? And what is the activity that she and JE engaged in that also violated Fl. Stat. 794.05? J. Is there anything you want to add regarding Count 25, which alleges that JE and recruited and procured Jane Doe #8 to engage in commercial sex acts knowing that she was a minor? XI. JANE DOE #9 A. Who is Jane Doe #9? Have you testified about her previously? 1. Is there anything that you want to clarify or add regarding your earlier testimony? B. Has she been interviewed? In addition to her statements, who else provided information regarding Jane Doe #9? C. During what period of time did Jane Doe #9 have contact with JE? D. How old was she during that time frame? E. How did she meet JE? F. And what sexual activity was she involved in with JE? G. Did she recruit anyone to go to JE's home? H. Does your prior testimony cover the evidence supporting the allegations in overt acts 55, 61, 66-67, 102, 107-108, 140, 142-143, 150? I. And what additional evidence is there to support Count 10, which alleges that JE and used a facility of interstate commerce to persuade, induce, and entice Jane Doe #9 to engage in prostitution? How man telephone calls have you been able to document between Jane Doe #9 and J. Is there anything you want to add regarding Count 26, which alleges that JE and I. recruited and procured Jane Doe #9 to engage in commercial sex acts knowing that she was a minor? Hays 8 o. 16 EFTA01718335