96 1 Q. All right. Let me just clarify one point 2 before you do that? 3 A. Yes, sir. 4 Q. In your answer, were you referring to the 5 evidence you could recall or the information you could 6 recall that supported your allegations as to both 7 Virginia Roberts and other minors or were you treating 8 those separately? 9 A. No, I was not treating those separately. I 10 was -- for me, there's a common -- what the law refers 11 to as a common scheme or plan in a criminal conspiracy 12 for international trafficking that involved not just a 13 single girl, but multiple girls, so the answer was -- 14 was with respect to multiple girls. 15 Q. Okay. So I may have some questions to 16 distinguish further between those two -- 17 A. Yes. 18 Q. -- but is it fair to say that -- and I 19 realize you're going refresh your recollection, but that 20 you had exhausted your recollection of the basis for the 21 allegation in this Exhibit 2, the motion to join as to 22 both Miss Roberts and other minors? 23 A. Yes. 24 Q. Okay. So then now take a look at that and 25 tell me if there's anything there that refreshes your ROUGH DRAFT ONLY HOUSE_OVERSIGHT_021919