137 H3vlgiu2 ih other than Ms. Maxwell might have been at the same place at the 2 same time. It's just, you know, a happenstance they were in 3 the same place and that's not admissible. Well, your Honor 4 will notice in our opening brief on this, at pages 15 I think 5 through the next ten pages or so, we've gone through with a 6 chart and we've said, okay, here's the question we asked, and 7 then in the right-hand column of our chart we put in the 8 witnesses and, you know, the flight logs. I know other things 9 that your Honor is very familiar with. This is why we're 10 asking these questions. You know, the flight logs have been 1a talked about over and over again, but for good reason. Kellen 12 is on some of these flight logs, and what's up? Those are the 13 questions that we asked, and of course she takes the Fifth. 14 There are other things as well. For example, Sarah 15 Ransome testified, I witnessed with my own two eyes Sarah 16 Kellen reporting to Ghislaine in front of me, but I can't de remember specifics. They weren't talking about girls. I can't 18 remember the specific conversation, but every single person, 19 100 percent, 200 percent, reported to Ghislaine. Later on in 20 that same deposition -- that was at page 288 and thereabouts. 21 At page 387: I witnessed the same thing -- all the girls 22 did -- the same thing I had to do was go and report to Sarah 23 Kellen, Leslie Groff, and Ghislaine Maxwell. Ghislaine was the 24 main lady. So again, we have an allegation by our client that 25 Ms. Maxwell was a part of a larger conspiracy. That's one of SOUTHERN DISTRICT REPORTERS, P.C. (212) 805-0300 HOUSE_OVERSIGHT_011440