{"database": "deposition_transcripts", "table": "segments", "rows": [[10121, 17, 41, "Page 42", null, null, "Mr. Sullivan. His answer to that would require revealing attorney-client communication. BY Q If the sex that you had with this woman was consensual, as you claim it was, why would she have wanted to reserve her right to bring claims against you? A I don't know. Q You previously testified in a sworn deposition that this was your only Epstein-connected sexual encounter. A That's correct. Q Do you stand by that testimony? A I do. Q Did you ever meet any minor girls through Mr. Epstein? A No, I did not. Q But you did meet young women through Mr. Epstein, correct? A Again, I met some of his assistants, who were in their twenties or thirties. Q And you met the woman that you claim you had consensual sex with through Mr. Epstein, correct? A Correct. Q How many young women would you say you met through Mr. Epstein? A A half a dozen. Q Other than the encounter that we just discussed, did you engage in sexual activity with any of those women? A No, I did not. Q Did Mr. Epstein ever pay women to engage in sexual activity with you? A No, he did not. Q I'd like to introduce as minority exhibit A an email chain between you and Mr. Epstein"]], "columns": ["id", "deposition_id", "segment_index", "speaker", "start_seconds", "end_seconds", "text"], "primary_keys": ["id"], "primary_key_values": ["10121"], "units": {}, "query_ms": 1.1570286005735397, "source": "Epstein Files Transparency Act (Public Law 119-38) DOJ Production", "source_url": "https://www.justice.gov/epstein", "license": "CC BY-NC-SA 4.0", "license_url": "https://creativecommons.org/licenses/by-nc-sa/4.0/"}