50 1 know, Know every single one of them, but I had a pool of 2 persons in mind that I thought could provide that 3 information. 4 Q. So at the time you filed the pleading, you 5 didn't have the name of any other minor in mind; is that 6 right? 7 A. No -- well, I had, you know, I had for 8 example 23 names, 24 names in the West Palm Beach Police 9 Department report as potential persons that could 10 provide that information. I also had in mind a broader 11 pool of people, again, some of whom had been identified 12 by FBI, some of whom had not been identified as 13 potentially providing that information. 14 Q. When you say these people have been 15 identified as potentially providing this information, 16 what do you mean? 17 A. What I mean is that, as indicated in the 18 pleading, it was my understanding on December 30th, that 19 Mr. Dershowitz had not only abused Virginia Roberts, but 20 had abused other underage minors and that if we could 21 figure out the names of those girls, we could bring them 22 in and have them testify and explain exactly what he had 23 done to them, explain the crimes he had committed to 24 them 25 And I was hopeful that this was going to be ROUGH DRAFT ONLY HOUSE_OVERSIGHT_021873