Case 1:15-cv-07433 Document1 Filed 09/21/15 Page 7 of 12 others repeat such false and defamatory statements and thereby further damaged Giuffre’s reputation. 33. | Maxwell made her statements to discredit Giuffre in close consultation with Epstein. Maxwell made her statements knowing full well they were false. 34. | Maxwell made her statements maliciously as part of an effort to conceal sex trafficking crimes committed around the world by Maxwell, Epstein and other powerful persons. 35. | Maxwell intended her false and defamatory statements set out above to be broadcast around the world and to intimidate and silence Giuffre from making further efforts to expose sex crimes committed by Maxwell, Epstein, and other powerful persons. 36. | Maxwell intended her false statements to be specific statements of fact, including a statement that she had not recruited an underage Giuffre for Epstein’s abuse. Maxwell’s false statements were broadcast around the world and were reasonably understood by those who heard them to be specific factual claims by Maxwell that she had not helped Epstein recruit or sexually abuse Giuffre and that Giuffre was a liar. cee On or about January 4, 2015, Maxwell continued her campaign to falsely and maliciously discredit Giuffre. When a reporter on a Manhattan street asked Maxwell about Giuffre’s allegations against Maxwell, she responded by saying: “I am referring to the statement that we made.” The New York Daily News published a video of this response by Maxwell indicating that she made her false statements on East 65" Street in Manhattan, New York, within the Southern District of New York. 7 HOUSE_OVERSIGHT_015537