12 H3VOGIU1 ih in to show reputation." Let me explain why I believe that 2 argument is fundamentally flawed, and that will, of course, 3 carry over to other illustrations, as well. 4 The statement to which defense counsel was referring 5 was a statement that Ms. Giuffre's mother made during a 6 deposition as a witness in this case where the only people in 7 the room were the court reporter and the attorneys. The fact 8 that when asked, "What did you think of your daughter 17 years 9 ago? Well, I thought at the time that she was a liar," wasn't 10 something that goes to Ms. Giuffre's reputation because there's 1a no evidence anybody knew about it other than, you know, the 12 mother who is now being deposed in 2016. 13 Moreover, the question was, "What did you think about 14 the fact that your then 17-year-old child was running away from 15 school? Well, I thought she was lying to me about that." That 16 would go, I guess, to her reputation back in, what, 1999, 2000, de 2001, that time period, but of course the damages that are at 18 issue in this case are damages around 2016 and thereabouts when 19 the defamatory statement is released. 20 So it's hard to see even an argument for the statement 21 of the mom in a deposition going to reputation. I don't know, 22 maybe I'm missing something, maybe there's some marginal 23 relevance that can be distilled out of all of that. But of 24 course then your Honor has to weigh whatever marginal value 25 that has as to reputational issues against the very significant SOUTHERN DISTRICT REPORTERS, P.C. (212) 805-0300 HOUSE_OVERSIGHT_011375