81 H3VOGIU1 ih year was limited to a portion of the school year starting 2 October 20th, 2001, ending only in March 7th, 2002, which only 3 further substantiates Ms. Giuffre's testimony that at one point 4 she attempted to get away from defendant's abuse, along with -- 5 and Mr. Figueroa testified to the same. 6 So again, I would also reiterate that her reputation 7 as a child for being a truant or a runaway is not what is at 8 issue in this case. She is a 30-something-year-old woman and 9 did not have a reputation related to her school attendance. 10 There is also in this case zero evidence of her 1a not-for-profit being a tax fraud. It's not funded and it's in 12 compliance with United States tax rules. 13 Additionally, Ms. Giuffre has produced volumes of 14 papers of tax returns filed with the Australian government, the 15 country where she has predominantly resided since she was 19 16 years old. And that's all I'm going to say for that, to keep Ue, it brief. 18 MR. CASSELL: Your Honor, I'm just going to address 19 all of the points that -- I'll just take very few minutes here, 20 with your permission. 21 So on point number 7 that I addressed, the issue of 22 slut, it seems like we're in agreement that that should be a 23 term that's not used. 24 The debate was over the term "prostitute". Again, Dr. 25 Esplin, their own expert, you can see in the 702 motions, he SOUTHERN DISTRICT REPORTERS, P.C. (212) 805-0300 HOUSE_OVERSIGHT_011384