Deposition of Scott Rothstein re - Trustee Services
Deposition of Scott Rothstein re - Trustee Services Deposition of Scott Rothstein re - Trustee Services
1 MR. PHILLIPS: In prison, okay. Page 192 2 So you don't want the jury to know whether 3 he's working or not working. 4 MR. KAPLAN: I don't want them to know -- I 5 don't want them to know what's going on within the 6 institution. 7 BY MR. PHILLIPS: 8 Q. Did you check the in compliance box under 9 oath while you were an attorney knowing that your 10 trust accounts were not in compliance? 11 A. Yes. 12 Q. And when you filed tax returns, when it 13 says, "I acknowledge under penalty of perjury that the 14 information set forth in the returns are true and 15 correct to the best of your knowledge and belief," did 16 you also sign those knowing that they were false? 17 A. Yes. 18 Q. I'm trying to wind down now. 19 (Thereupon, Mr. LaVecchio entered the room and 20 Mr. Kaplan exited the room.) 21 BY MR. PHILLIPS: 22 Q. I just want make it clear for the record, 23 you never openly discussed the Ponzi scheme with 24 anybody, not even your subPonzi people, correct? 25 MR. GAY: Objection to the form.
1 MR. PHILLIPS: What's wrong with the form? Page 193 2 THE WITNESS: That's not correct. 3 MR. PHILLIPS: Wait one second, I want to 4 see what's wrong with the form. 5 MR. GAY: It's vague, subPonzi people, I'm 6 not sure who that is. Two, I think it 7 mischaracterizes his prior testimony. 8 BY MR. PHILLIPS: 9 Q. Well, let me back up for a second then. 10 You certainly never discussed your Ponzi 11 scheme with Mr. Lipsitz, correct? 12 A. I never discussed the fact that I was 13 running a Ponzi scheme with Mr. Lipsitz. 14 Q. Okay. Could you count how many different 15 times you lied to the Florida Bar? 16 A. No, sir. 17 Q. Can you count how many different times you 18 lied to banks? 19 A. No, sir. 20 Q. Can you tell us how many different times you 21 lied on your tax returns? 22 A. No, sir. 23 Q. Can you tell us how many different times you 24 lied to clients? 25 A. No, sir, I'd be guessing.
- Page 141 and 142: 1 broken down? Page 141 2 A. That i
- Page 143 and 144: 1 on these "settlement deals"? Page
- Page 145 and 146: 1 yes, sir. Page 145 2 MR. SALIM: A
- Page 147 and 148: 1 "loan." Page 147 2 I think you ca
- Page 149 and 150: 1 asking? I mean, just generally as
- Page 151 and 152: 1 husband/wife privilege. You are n
- Page 153 and 154: 1 Q. It could be a mistake, could b
- Page 155 and 156: 1 uncle, or any other person that t
- Page 157 and 158: 1 Q. What do you mean by that, Scot
- Page 159 and 160: 1 A. Yes. Page 159 2 MR. GAY: Objec
- Page 161 and 162: 1 Q. With respect to the Picou deal
- Page 163 and 164: 1 BY MR. PHILLIPS: Page 163 2 Q. Di
- Page 165 and 166: 1 him, use it as he needed to for d
- Page 167 and 168: 1 BY MR. PHILLIPS: Page 167 2 Q. Ri
- Page 169 and 170: 1 June 4th, Mr. Lichtman asked you
- Page 171 and 172: 1 going on. Then it morphed into fu
- Page 173 and 174: 1 Q. Now, in the plea agreement you
- Page 175 and 176: 1 documents establish. Page 175 2 Q
- Page 177 and 178: 1 That he had actually been living
- Page 179 and 180: 1 Q. In fact, didn't Mr. Caputi con
- Page 181 and 182: 1 A. I don't know whether I did or
- Page 183 and 184: 1 Page 38 of that transcript that y
- Page 185 and 186: 1 A. I mean, hang on, court records
- Page 187 and 188: 1 A. I'll be polite and not discuss
- Page 189 and 190: 1 Q. And do you recall saying that
- Page 191: 1 Q. Yes. Page 191 2 A. Yes. 3 Q. D
- Page 195 and 196: 1 looked at so many documents and h
- Page 197 and 198: 1 upon what my thought process was
- Page 199 and 200: 1 Q. So your position was, when you
- Page 201 and 202: 1 Q. Do you recall telling him that
- Page 203 and 204: 1 relationship with God, right? Pag
- Page 205 and 206: 1 the money into. Page 205 2 Q. Wel
- Page 207 and 208: 1 CERTIFICATE 2 STATE OF FLORIDA )
1 MR. PHILLIPS: What's wrong with the form?<br />
Page 193<br />
2 THE WITNESS: That's not cor<strong>re</strong>ct.<br />
3 MR. PHILLIPS: Wait one second, I want to<br />
4 see what's wrong with the form.<br />
5 MR. GAY: It's vague, subPonzi people, I'm<br />
6 not su<strong>re</strong> who that is. Two, I think it<br />
7 mischaracterizes his prior testimony.<br />
8 BY MR. PHILLIPS:<br />
9 Q. Well, let me back up for a second then.<br />
10 You certainly never discussed your Ponzi<br />
11 scheme with Mr. Lipsitz, cor<strong>re</strong>ct?<br />
12 A. I never discussed the fact that I was<br />
13 running a Ponzi scheme with Mr. Lipsitz.<br />
14 Q. Okay. Could you count how many diffe<strong>re</strong>nt<br />
15 times you lied to the Florida Bar?<br />
16 A. No, sir.<br />
17 Q. Can you count how many diffe<strong>re</strong>nt times you<br />
18 lied to banks?<br />
19 A. No, sir.<br />
20 Q. Can you tell us how many diffe<strong>re</strong>nt times you<br />
21 lied on your tax <strong>re</strong>turns?<br />
22 A. No, sir.<br />
23 Q. Can you tell us how many diffe<strong>re</strong>nt times you<br />
24 lied to clients?<br />
25 A. No, sir, I'd be guessing.