UNITED STATES DISTRICT COURT
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF FLORIDA
Case No. 08-80736-CI V-Marra/Matthewman
JANE DOE # I and JANE DOE #2,
Petitioners,
I
UNITED STATES OF AMERICA,
Respondent.
UNITED STATES' RESPONSE TO
PETITIONERS' FIRST REOUEST FOR ADMISSIONS TO THE GOVERNMENT
The United States (hereinafter the "government") hereby responds to Jane Doe #1 and
Jane Doe #2's First Request for Admissions to the Government Regarding Questions Relevant to
Their Pending Action Concerning the Crime Victims Rights Act (hereinafter the "Request for
Admissions"), and states as follows:'
I. The government admits that the FBI and the U.S. Attorney's Office for the Southern
District of Florida ("USAO") conducted an investigation into Jeffrey Epstein
("Epstein") and developed evidence and information in contemplation of a potential
federal prosecution against Epstein for many federal sex offenses. Except as
otherwise admitted above, the government denies Request No. I.
The government's response is confined to Request No. I through Request No. 26 in the
"Discovery Requested" section of the Request for Admissions and does not intend to respond to
assertions in any other section of the Request for Admissions (including the "Background"
section), none of which appear to separately state any matter calling for an admission.
Nonetheless, the government denies the assertion that the government has declined the request of
Jane Doe #1 and Jane Doe #2 to stipulate to undisputed facts in this case.
EFTA00191199
2. (a) The government admits that, after Epstein's attorneys learned of the notification
that the government planned to provide to Jane Doe #2, who claimed that she was
not a victim, Epstein's attorneys contacted the USAO and objected to the
procedures for notification and the legal bases therefor. The government further
admits that the USAO considered those objections when evaluating what
notification to provide to victims. Except as otherwise admitted above, the
government denies Request No. 2(a).
(b) Admitted.
(c) The government admits that, as a result of objections lodged by Epstein's
attorneys, the government reevaluated the notifications that it had intended to
provide to victims and, as a result of that reevaluation, the USAO altered the
scope, nature, and timing of notifications that it had contemplated providing to
victims. With regard to Jane Doe #2, the government further admits that, as a
result of representations made by Jane Doe #2 that she was not a victim and
objections lodged by Epstein's attorneys, the USAO stopped making notifications
to Jane Doe #2. Except as otherwise admitted above, the government denies
Request No. 2(c).
(d) The government admits that, after the USAO received objections to victim
notifications from Epstein's counsel and reevaluated its victim notification
obligations, the USAO altered the language that was ultimately contained in the
July 9, 2008 notification letter to Jane Doe #1 in care of Bradley Edwards.
Except as otherwise admitted above, the government denies Request No. 2(d).
2
EFTA00191200
(e) The government admits that, at least in part as a result of objections lodged by
Epstein's lawyers to victim notifications, the USAO reevaluated its obligations to
provide notifications to victims, and Jane Doe #1 was thus not told that the USA(?)
had entered into a non-prosecution agreement with Epstein until after the
agreement was signed. The government further admits that Jane Doe #2 was not
told that the USAO had entered into a non-prosecution agreement with Epstein
until after the agreement was signed, but denies that the USA() did not inform
Jane Doe #2 as a result of any negotiations involving Epstein or any objections
lodged by Epstein's lawyers; the USAO did not consider Jane Doe #2 a victim
after she informed the USAO and the FBI that she was not a victim of any offense
committed by Epstein, and, as a result, the USAO did not consider informing Jane
Doe #2 about the non-prosecution agreement. Except as otherwise admitted
above, the government denies Request No. 2(e).
3. Denied.
4. Denied.
5. The government admits that, during the negotiations with Jeffrey Epstein regarding
the non-prosecution agreement, at least one experienced attorney within the USAO
subscribed to the position that the CVRA required notifications to the victims in this
case and that position was communicated to Epstein's counsel. To the extent that
Request No. 5 seeks admissions regarding the positions held by attorneys within the
USAO that were not communicated to non-government personnel regarding whether
or not the CVRA ultimately required notifications to the victims in this case, the
government objects to Request No. 5 as violative of the deliberative process privilege.
3
EFTA00191201
6. (a) Denied.
(b) Denied.
(c) Admitted.
(d) Admitted.
(e) Admitted to the extent that the reference to "Lillian Sanchez" was meant to refer
to Lilly Ann Sanchez.
(0 Admitted.
(g) Admitted.
7. The government admits that, on about January 10, 2008, when Jane Doe # I and Jane
Doe #2 were sent letters advising them that "this case is currently under
investigation," the U.S. Attorney's Office had already signed a non-prosecution
agreement with Jeffrey Epstein, but that, on that date, the non-prosecution agreement
nonetheless remained in a state of some flux and was subject to being set aside as
Epstein was challenging the propriety of the non-prosecution agreement and seeking
further review from the Department of Justice.
8. Denied.
9. (a) The government admits that, at Epstein's insistence, the USAO agreed to a
provision in the non-prosecution agreement that provided as follows: "The parties
anticipate that this agreement will not be made part of any public record. If the
United States receives a freedom of Information Act request or any compulsory
process commanding the disclosure of the agreement, it will provide notice to
Epstein before making that disclosure." Except as otherwise admitted above, the
government denies Request No. 9(a).
4
EFTA00191202
(b) Admitted.
(c) Denied.
(d) Denied.
(e) The government admits that, during the period from September 24, 2007 through
June 2008, the USAO did not notify Jane Doe #2 of the existence of the non-
prosecution agreement. The government further admits that, although FBI agents
notified Jane Doe #1 of the existence and substance of the agreement at the
request of the USAO on or about October 27, 2007, no employee of the USAO
personally notified Jane Doe #1 of the existence of the non-prosecution agreement
during the period from September 24, 2007 through June 2008. Except as
otherwise admitted above, the government denies Request No. 9(c).
10. (a) Admitted. Because Request No. 10 appears directed solely to the communica-
tions between FBI agents and Jane Doe #1 during their meeting on or about
October 26, 2007, the government responses to Requests No. 10(b) through 10(g)
address only that meeting.
(b) The government admits that, on or about October 26, 2007, FBI agents explained
to Jane Doe #1 that Epstein would plead guilty to state charges for procuring
minors to engage in prostitution; that Epstein would be required to register as a
sex offender; that Jane Doe #1 would be entitled to seek damages from Epstein;
and that, if she desired, Jane Doc //I would be entitled to use the services of an
attorney at no expense to her in seeking those damages from Epstein. The
government denies that the FBI agents explained that the state charges
"involv[ed] another victim."
5
EFTA00191203
(c) The government denies that the FBI agents did not explain to Jane Doc #1 that an
agreement had already been signed; denies that the FBI agents did not explain to
Jane Doe #1 that the agreement resolved the investigation of the federal case
involving Jane Doe #1; and denies that the FBI agents did not explain to Jane Doe
other terms of that agreement Except as otherwise admitted above, the
government denies Request No. 10(c).
(d) Denied.
(e) Denied.
(f) Denied.
(g) Denied.
I I. The government admits that, on or about November 28, 2007, A. Marie Villafalia of
the USAO sent a draft of a crime victim notification letter to Jay Lefkowitz, counsel
for Jeffrey Epstein, and that the draft notification letter stated, in part: "I am writing
to inform you that the federal investigation of Jeffrey Epstein has been completed,
and Mr. Epstein and the U.S. Attorney's Office have reached an agreement
containing the following terms ...." The government further admits that, in part as a
result of objections lodged by Epstein's lawyers, the USAO reevaluated its
obligations to provide notifications to victims, and, as a result of that reevaluation and
other considerations and developments, the USAO never sent victims the draft
notification letter that was sent to Jay Lefkowitz on or about November 28, 2007.
Except as otherwise admitted above, the government denies Request No. I I.
12. The government admits that, prior to July 3, 2008, the USAO had already entered a
binding non-prosecution agreement with Jeffrey Epstein. The government is without
6
EFTA00191204
knowledge of precisely when "Bradley J. Edwards was working on a letter to the U.S.
Attorney's Office concerning the need to federally prosecute Epstein for sex offenses
committed against Jane Doe #1 and Jane Doe #2," and, accordingly, the government
denies the assertion that Edwards worked on that letter on July 3, 2008. Except as
otherwise admitted above, the government denies Request No. 12.
13. (a) The government admits that, when Epstein pled guilty to state charges on June 30,
2008, Jane Doe #2 had not been informed by the USAO of the existence of the
non-prosecution agreement. The government further admits that, although the
USAO, through FBI agents, had notified Jane Doe ill of the existence of the non-
prosecution agreement prior to Epstein's June 30, 2008 guilty plea, no employee
of the USAO had personally notified Jane Doe #1 at that time of the existence of
the non-prosecution agreement. Except as otherwise admitted above, the
government denies Request No. I3(a).
(b) The government denies that, by the time of Epstein's June 30, 2008 guilty plea, an
attorney for the government working at the USAO had not already conferred with
Jane Doe #1 and Jane Doe #2 about their opinions regarding how the federal
investigation and potential prosecution of Epstein should proceed. The
government admits that the USAO had not conferred with Jane Doe #2 about the
non-prosecution agreement prior to Epstein's June 30, 2008 guilty plea. The
government further admits that, although the USAO had communicated with Jane
Doe #1 about the non-prosecution agreement through FBI agents prior to
Epstein's June 30, 2008 guilty plea, no employee of the USAO had personally
conferred with Jane Doe #1 about the non-prosecution agreement prior to
7
EFTA00191205
Epstein's guilty plea. Except as otherwise admitted above, the government denies
Request No. I3(b).
(c) Although the government was aware that Jane Doe #2 had been represented by
counsel paid for by Epstein, the government is unaware of the extent of Epstein's
defense attorneys' awareness of the USAO's communications with Jane Doe #1
and Jane Doe #2 about the agreement, as described in the responses to Requests
No. 13(a) and 13(b), and therefore can neither deny nor admit Request No. 13(c).
Except as otherwise admitted above and in the responses to Requests No. 13(a)
and 13(b), the government denies Request No. I3(c).
(d) The government admits that Epstein's attorneys negotiated with the USAO for a
provision in the non-prosecution agreement that ultimately provided as follows:
"The parties anticipate that this agreement will not be made part of any public
record. If the United States receives a Freedom of Information Act request or any
compulsory process commanding the disclosure of the agreement, it will provide
notice to Epstein before making that disclosure." Except as otherwise admitted
above, the government denies Request No. 13(d).
14. The government admits that, when Epstein was pleading guilty to the state charges
discussed in the non-prosecution agreement, the USAO and Epstein's defense
attorneys sought to keep the document memorializing the non-prosecution agreement
confidential, but denies that they sought at that time to keep the existence of the non-
prosecution agreement confidential. Except as otherwise admitted above, the
government denies Request No. 14.
8
EFTA00191206
IS. (a) The government admits that, while Bruce E. Reinhart was an Assistant U.S.
Attorney, he learned confidential, non-public information about the Epstein
matter.
(b) The government admits that, while Bruce E. Reinhart was an Assistant U.S.
Attorney, he discussed the Epstein matter with another Assistant U.S. Attorney
working on the Epstein matter.
(c) Denied.
16. Admitted.
17. Admitted.
18. (a) Denied.
(b) Denied.
19. To the extent that Request No. 19 is directed to the business or personal relationships
of the 93 U.S. Attorneys and over 5,400 Assistant U.S. Attorneys serving across this
country, or the countless individuals who have formerly served as U.S. Attorneys and
Assistant U.S. Attorneys throughout this nation, the government objects to Request
No. 19 as overly broad and burdensome and not calculated to lead to or involve
information relevant to the instant matter. The government denies possessing or
having any knowledge or information about a personal or business relationship
between Jeffrey Epstein and either the U.S. Attorney or any Assistant U.S. Attorney
serving in the Southern District of Florida. Except as otherwise admitted above, the
government denies Request No. 19.
20. Admitted.
21. Denied.
9
EFTA00191207
22. (a) Admitted.
(b) Admitted.
(c) Admitted.
23. The government admits that the non-prosecution agreement signed by the USAO and
Jeffrey Epstein currently blocks the USA() from prosecuting sex offenses committed
by Epstein against Jane Doe #1 and Jane Doe #2 in the Southern District of Florida
from in or around 2001 through in or around September 2007, provided that those
offenses are set out on pages I and 2 of the non-prosecution agreement, were the
subject of the joint investigation by the FBI and the USAO, or arose from the federal
grand jury investigation. Except as otherwise admitted above, the government denies
Request No. 23.
24. Admitted; Jeffrey Epstein provided valuable consideration to the federal government
through the non-prosecution agreement he entered with the USAO.
25. Denied.
26. The government objects to Request No. 26 because it seeks information protected
from disclosure by the law enforcement investigative privilege.
/II
I0
EFTA00191208
Respectfully submitted,
WIFREDO A. FERRER
UNITED STATES ATTORNEY
By: Is Dexter A. Lee
Dexter A. Lee
Assistant United States Attorney
Florida Bar No. 0936693
99 N.E. 4th Street
Miami, Florida 33132
Tel: (305) 961-9320; Fax: (305) 530-7139
Email: dexter.lee®usdoj.gov
A. Marie Villafana
Assistant United States Attorney
Florida Bar No. 0018255
500 S. Australian Avenue, Suite 400
West Palm Beach, FL 33401
Tel: (561) 820-8711; Fax: (561) 820-8777
Email: ann.marie.c.villafana®usdoj.gov
Eduardo I. Sanchez
Assistant United States Attorney
Florida Bar No. 877875
99 N.E. 4th Street
Miami, Florida 33132
Tel: (305) 961-9057; Fax: (305) 536-4676
Email: [email protected]
Attorneys for United States
CERTIFICATE OF SERVICE
I hereby certify that a true and correct copy of the foregoing United States' Response to
Petitioners' First Request for Admissions to the Government was served via CM/ECF on this
19th day of July, 2013, on the parties and counsel appearing on the attached service list.
/s Dexter A. Lee
Assistant United States Attorney
II
EFTA00191209
SERVICE LIST
Jane Does 1 and 4 United States,
Case No. 08-80736-CIV-MARRA/MATTHEWMAN
United States District Court, Southern District of Florida
Brad Edwards, Esq.,
Farmer, Jaffe, Weissing,
Edwards, Fistos & Lehrman, P.L.
425 North Andrews Avenue, Suite 2
Fort Lauderdale, Florida 33301
(954)524-2820
Fax: (954) 524-2822
E-mail: [email protected]
Paul G. Cassell
S.J. Quinney College of Law at the
University of Utah
332 S. 1400 E.
Salt Lake City, Utah 84112
(801) 585-5202
Fax: (801) 585-6833
E-mail: casselp®law.utah.edu
Attorneys for Jane Doe # 1 and Jane Doe # 2
12 Roy Black, Esq.
Jackie Perczek, Esq.
Black, Srebnick, Kornspan & Stumpf, P.A.
201 South Biscayne Boulevard, Suite 1300
Miami, FL 33131
(305) 371-6421
Fax: (305)358-2006
E-mail: [email protected]
Martin G. Weinberg
MARTIN G. WEINBERG, P.C.
20 Park Plaza
Suite 1000
Boston, MA 02116
Office: (617) 227-3700
Fax: (617) 338-9538
Email: owlmgw@attnet
Jay P. Letkowitz
Kirkland &Ellis, LLP
601 Lexington Avenue
New York. NY 10022
Fax:
Email: [email protected]
EFTA00191210
Page I of 1
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EFTA00191212
Brad Edwards, Esq.,
Farmer Jaffe Weissing Edwards Fistos Lehrman
425 N AndreWs Ave Ste 2
Fort Lauderdale, FL 33301-3268
brad©pathtojustice.com
954-524-2820
Fax: 954-524-2822
Paul G. Cassell
S.J. Quinney College of Law at the
University of Utah
332 S. 1400 E.
Salt Lake City, Utah 84112
(801) 585-5202
Fax: (801) 585-6833
E-mail: casselpialaw.utah.edu
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EFTA00191213
PRIVILEGE LOG
Bates Range Description Privilege(s) Asserted
Box #1
P-000001
thru
P-000039 File folder entitled "CORR RE GJ
SUBPOENAS" containing correspondence
related to various grand jury subpoenas and
attorney (Villafada) handwritten notes 6(e)
Work Product
Box #1
P-000040
thru
P-000549 Operation Leap Year Grand Jury Log
containing subpoenas OLY-01 through OLY-81,
correspondence and research related to
enforcement of same, documents produced in
response to some subpoenas; and attorney
(Villafafla) handwritten notes 6(e)
Work Product
Contains documents subject
to investigative privilege
Also contains documents
subject to privacy rights of
victims who are not parties to
this litigation
Box #1
P-000550
thru
P-000621 File folder entitled "Ritz Compact Flash SW"
containing copies of a sealed search warrant
application, warrant, and supporting documents 6(e)
Contains information subject
to investigative privilege
Also contains information
subject to privacy rights of
victims who are not parties to
this litigation
Box #1
P-000622
thru
P-000693 File folder entitled "PNY Technologies Compact
Flash SW" containing copies of a sealed search
warrant application, warrant, and supporting
documents 6(e)
Contains information subject
to investigative privilege
Also contains information
subject to privacy rights of
victims who are not parties to
this litigation
Box #1
P-000694
thru
P-000781 File folder entitled "JE Corporations" containing
attorney research on Epstein-owned corporations
and prior litigation Work Product
Contains information subject
to investigative privilege
Box #1
P-000782
thru
P-000803 File folder entitled "Capital One"
containing subpoena and correspondence 6(e)
Box #1
P-000804
thru
P-000854 File folder entitled "DTG Operations/Dollar
Rent-a-Car" containing subpoena and responsive
documents 6(e)
Contains documents and
information subject to
investigative privilege
Also contains documents and
information subject to privacy
rights of victims who are not
parties to this litigation
Page 1 of 23
EFTA00191214
Bates Range Description Privilege(s) Asserted
Box #1
P-000855
thru
P-000937 File folder entitled "JP Morgan Chase"
containing subpoena, correspondence, and
responsive documents 6(e)
Contains documents and
information subject to
investigative privilege
Box #1
P-000938
thru
P-000947 File folder entitled "Washington Mutual"
containing subpoena, correspondence, and
responsive documents 6(e)
Contains documents and
information subject to
investigative privilege
Box #1
P-000948
thru
P-000982 File folder entitled "Computer Search &"
containing legal research on computer search and
handwritten notes on indictment preparation Work Product
Attorney-Client
Contains information subject
to investigative privilege.
Also contains information
subject to privacy rights of
victims who are not parties to
this litigation
Box #1
P-000983
thru
P-001007 File folder entitled "Attorney Notes from
Document Review" containing typed and
handwritten attorney (Villafada) notes, target
letters, correspondence re grand jury subpoena Work product
6(e)
Contains information subject
to investigative privilege.
Also contains information
subject to privacy rights of
victims who are not parties to
this litigation
Box #1
P-001008
thru
P-001056 File folder entitled "Notes from Fed Ex Records"
containing handwritten and typed attorney
(Villafafia) notes and screen shots of FedEx
subpoena response electronic file Work Product
6(e)
Contains information subject
to investigative privilege.
Also contains information
subject to privacy rights of
victims who are not parties to
this litigation
Box #1
P-001057
thru
P-001959 File folder entitled "Colonial Bank Records"
containing records received in response to grand
jury subpoena 6(e)
Contains information subject
to investigative privilege
Box #1
P-001960
Thru
P-002089 File folder entitled "OLY Grand Jury Log Vol 2:
OLY-51 THROUGH" containing subpoenas
numbered OLY-51 through OLY-81 with related
correspondence 6(e)
Contains information subject
to investigative privilege.
Also contains information
subject to privacy rights of
victims who are not parties to
this litigation
Page 2 of 23
EFTA00191215
Bates Range Description Privilege(s) Asserted
Box #1
P-002090
Thru
P-002169 File folder entitled "Epstein Corporate Records:
OLY-51, OLY-52, OLY-53, OLY-54" containing
subpoenas, records received in response to
subpoenas, and related correspondence 6(e)
Contains information and
documents subject to
investigative privilege
Box #1
P-002170
Thru
P-002246 File folder entitled "Colonial Bank" containing
subpoenas, correspondence related to subpoenas,
records received in response to subpoenas 6(e)
Contains information and
documents subject to
investigative privilege
Box #1
P-002247
Thru
P-002265 File folder entitled "JEGE & Hyperion from
Goldberger OLY-46 & OLY-47" containing
documents received in response to subpoenas 6(e)
Contains information and
documents subject to
investigative privilege
Box #1
P-002266
Thru
P-002386 Indictment preparation binder containing:
Grand jury subpoena log, evidence/activity
summary chart, witness/victim names and contact
list, attorney (Villafafia) handwritten notes, 302s,
portions of state investigative file, attorney
(Villafafia) typed notes, of individuals listed as
"Additional victims" Work product
6(e)
Contains information and
documents subject to
investigative privilege. Also
contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #1
P-002387
Thru
P402769 Indictment preparation binder containing:
Grand jury subpoena log, evidence/activity
summary chart, witness/victim names and contact
list, attorney (Villafafia) handwritten notes, 302s,
portions of state investigative file, attorney
(Villafafia) typed notes, relevant pieces of grand
jury materials, telephone records/flight records
analysis charts, victim/witness photographs,
DAVID records, NCICs, and related materials for
persons identified as Jane Does #15, 16, 17, 18,
19, Past Employees, Misc. Witnesses Work product
6(e)
Contains information and
documents subject to
investigative privilege. Also
contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #1
P-002770
Thrti
P-00321 I Indictment preparation binder containing:
witness/victim list with identifying information,
sexual activity summary, telephone call summary
chart, attorney (Villafafia) handwritten notes,
302s, portions of state investigative file, attorney
(Villafafia) typed notes, relevant pieces of grand
jury materials, telephone records/flight records
analysis charts, victim/witness photographs,
DAVID records, NCICs, and related materials for
persons identified as Jane Does #1, 2, 3, 4, 5, 6, 7,
8 Work product
6(e)
Contains information and
documents subject to
investigative privilege. Also
contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Page 3 of 23
EFTA00191216
Bates Range Description Privilege(s) Asserted
Box #1
P-003212
Thru
P-003545 Indictment preparation binder containing meta-
analysis charts of telephone/flight/grand jury
information for a number of victim/witnesses,
Nadia Marcinkova, and Adriana Mucinska Work product
6(e)
Contains information and
documents subject to
investigative privilege. Also
contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #1
P-003546
Thru
P-003552 FBI Reports of March 2008 interviews of
additional witness/victim located in New York Work product
6(e) .
Contains information and
documents subject to
investigative privilege. Also
contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box 141
P-003553
Thru
P-003555B Printout of filenames from Federal Express
subpoena response with Attorney notations Work product
6(e)
Box #1
P-003556
Thru
P-003562 Document entitled "Identified Numbers" with
accompanying handwritten attorney list compiled
from grand jury materials and attorney analysis of
records Work product
6(e)
Contains information subject
to investigative privilege
Box #1
P-003563
Thru
P-003629 Folder entitled "Flight Manifests" containing
manifests received pursuant to grand jury
subpoena 6(e)
Contains information and
documents subject to
investigative privilege
Box #1
P-003630
Thru
P-003633 File folder entitled "Recent Attorney Notes"
containing handwritten attorney (Villafada) notes
regarding document review and case strategy Work product
6(e)
Investigative privilege
Deliberative process
Box #1
P-003634
Thru
P-003646 File folder bearing victim name containing FBI
interview report from May 2008, telephone
activity report with attorney (Villafanana)
handwritten notes, related grand jury material Work product
Attorney-client privilege
6(e)
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Page 4 of 23
EFTA00191217
Bates Range Description Privilege(s) Asserted
Box #1
P-003647
Thru
P-003651 File folder entitled "Summary of Sexual Activity"
containing chart bearing handwritten title "Sexual
Activity — Summary" with meta-analysis of
information, sorted by name of each
victim/witness, including name and identifying
information of each victim/witness Work product
6(e)
Investigative privilege
Deliberative process
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #1
P-003652
Thru
P-003663 File folder entitled "Victim Civil Suits" Not privileged.
Produced to counsel for
Petitioners
Box #1
P-003664
Thru
P-003678 File folder entitled "Research re JE Websites"
containing attorney research Work product
Box #1
P-003679
Thru
P-003680 File folder entitled "Serene Cano (N.Y. AUSA)"
containing attorney (Villafafla) handwritten notes Work product
Box #1
P-003681
Thru
P-003687 File folder entitled "Dr. Anna Salter" containing
attorney (Villafafia) memo to expert witness and
handwritten attorney notes Work product
Investigative privilege
Box #1
P-003688
Thru
P-003693 File folder entitled la GO Interview" containing
attorney handwritten notes of interview, and
attorney handwritten notes regarding potential
charges Work product
Investigative privilege
Also contains information
subject to privacy rights of
victims who are not parties to
this litigation
Box #I
P-003694
Thru
P-003711 File folder entitled "Research re Travel for
Prostitution" containing attorney (Villafafia)
handwritten notes regarding grand jury
presentation, chart entitled "Brought to Epstein's
House" with handwritten notes, Message Pad
meta-analysis chart, summary of evidence related
to one victim/witness, and relevant grand jury
information Work product
6(e)
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #1
P-003712 Empty file folder bearing name of victim/witness Investigative privilege
Also contains information
subject to privacy rights of
victim who is not a party to
this litigation
Page 5 of 23
EFTA00191218
Bates Range Description Privilege(s) Asserted
Box #1
P-003713
Thru
P-003746 File folder entitled "T(] M(]" containing grand
jury subpoenas, motion and order to compel
testimony, and correspondence regarding same 6(e)
Documents under seal
pursuant to court order
Box #1
P-003747
Thru
P-003751 File folder entitled "Adrian Ross" containing
subpoena and correspondence regarding same 6(e)
Box #1
P-003752
Thru
P-004295 File folder entitled "PBPD Investigative File"
obtained via subpoena 6(e)
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #1
P-004296
Thru
P-004350 File folder bearing name of victim/witness
containing meta-analysis chart showing telephone
calls, travel, and grand jury materials relevant to
possible charges Work product
6(e)
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this liti tion
Box #1
P-004351
Thru
P-004381 File folder entitled "Daniel Documents Work product
53909-004" containing attorney research related
to bias issue
Box #1
P-004382
Thru
P-004478 File Folder entitled "FEDEX" containing
documents obtained via subpoena 6(e)
Investigative privilege
Box #1
P-004479
Thru
P-004551 File Folder entitled "State of Delaware Records"
containing documents obtained in preparation for
indictment 6(e)
Investigative privilege
Work product
Box #1
P-004552
Thru
P-004555 File folder entitled "Jet Blue Records" containing
documents obtained via subpoena 6(e)
Work product
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #1
P-004556
Thru
P-004560 File folder entitled "FL EMPLOYMENT
RECORDS" containing FDLE records on targets
and witnesses obtained at attorney request Investigative privilege
Work product
Pagc 6 of 23
EFTA00191219
Bates Range Description Privilege(s) Asserted
Box # I
P-004561
Thru
P-004565 Filed folder entitled "JANUSZ BANASIAK"
containing attorney (Villafana) handwritten notes
of interview Work product
Investigative privilege
Box #1
P-004566
Thm
P-004716 File folder entitled "JANUSZ BANASIAK
RECORDS 23-0001 THROUGH 23-" containing
documents obtained via subpoena 6(e)
Work product
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #1
P-004717
Thru
P-004722 File folder entitled "IGOR ZINOVIEV"
containing attorney research regarding witness Work product
Investigative privilege
Box #1
P-004723
Thru
P-004725 File folder entitled "BEAR STEARNS
RESEARCH" containing attorney research
regarding potential witness and subpoena
recipient Work Product
Investigative privilege
Box #1
P-004726
Thru
P-004819 File folder entitled "LAWSUITS INVOLVING
EPSTEIN CORP'S" containing attorney research
regarding Epstein's past personal and business
litigative practices Work Product
Investigative privilege
Box #1
P-004820
Thru
P-004959 Filed folder entitled "SEC RECORDS"
containing attorney research regarding Epstein
financial relationships Work Product
Investigative privilege
Box #1
P-004960
Thru
P-005059 File folder entitled "Message Pads" containing
selected items from evidence obtained via
subpoena Work Product
6(e)
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #1
P-005060
Thru
P-005081 File folder bearing name of victim/witness
containing correspondence with counsel for
victim/witness, attorney witness outline with
attorney handwritten notes, attorney handwritten
notes regarding witness reports and case
preparation Work Product
6(e)
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #1
P-005082
Thru
P-005083 File folder entitled "New York Trip" containing
attorney notes re witness interview Work product
Investigative privilege
Page 7 of 23
EFTA00191220
Bates Range Description Privilege(s) Asserted
P-005084 duu P-005107 are non responsive
documents and have been removed
Box #1
P-005108
Thru
P-005193 File folder entitled "ANNA SALTER" containing
attorney research on select expert, use of experts
at trials in child exploitation cases, and additional
research materials on offenders and victims Work product
Investigative privilege
Box #1
P-005194
Thru
P-005300 File folder entitled "Extra Copies" containing
meta-analysis chart and 302's of victim/witnesses
used in preparing indictment package Work product
6(e)
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #1
P-005301
Thru
P-005331 File folder entitled "JUAN ALESSI
STATEMENT" containing transcript obtained via
subpoena 6(e)
Investigative privilege
Box #1
P-005332
Thru
P-005341 File folder entitled "KEN LANNING" containing
attorney research on select expert, including
attorney handwritten notes Work product
Investigative privilege
Box #1
P-005342
Thru
P-005387 File folder entitled "Info re Planes" containing
correspondence regarding subpoenas and
documents received in response to subpoenas 6(e)
Investigative privilege
Box #1
P-005388
Thru
P-005442 File folder entitled "Police Reports & PC
Affidavit" containing portions of police reports
with attorney notes, related phone records, a list
entitled "Victims" with identifying information
and attorney handwritten notes, photographs and
DAVID information, and additional attorney
research regarding Epstein sexual activity Work product
6(e)
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box # I
P-005443
Thru
P-005496 File folder entitled "[Victim name] Transcript of
Interview & GJ Transcript" 6(e)
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #1
P-005497
Thru
P-005556 File folder entitled "Bear Stearns Subpoena
Resp." containing material received in response
to subpoena 6(e)
Investigative privilege
Page 8 of 23
EFTA00191221
Bates Range Description Privilege(s) Asserted
Box #1
P-005557
Thru
P-005576 U.S. Attorney's Office Criminal Case File Jacket
containing file opening documents, expert
witness payment documents Work product
Deliberative process
Box #1
P-005578
Thru
P-005583 U.S. Attorney's Office Asset Forfeiture Case File
Jacket containing file opening and file closing
documents Work product
Deliberative process
Box #1
P-005584
Thru
P-005606 File folder entitled "6001 Immunity Request"
containing internal memoranda seeking witness
immunity and correspondence with counsel for
witness regarding same 6(e)
Work product and
deliberative process (as to
internal memoranda)
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #2
P-005607
Thru
P-005914 File folder entitled "MASTER PHONE
RECORDS" containing meta-analysis of all
phone, travel, and grand jury data for all
victim/witnesses for indictment preparation Work product
6(e)
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #2
P-005915
Thru
P-005977 File folder bearing name of victim/witness
containing meta-analysis of all phone, travel, and
grand jury data related to that victim/witness for
indictment preparation Work product
6(e)
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #2
P-005978
Thru
P-006050 File folder bearing name of victim/witness
containing meta-analysis of all phone, travel, and
grand jury data related to that victim/witness for
indictment preparation Work product
6(e)
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #2
P-006051
Thru
P-006065 File folder bearing name of victim/witness
containing meta-analysis of all phone, travel, and
grand jury data related to that victim/witness for
indictment preparation Work product
6(e)
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Page 9 of 23
EFTA00191222
Bates Range Description Privilege(s) Asserted
Box #2
P-006066
Thru
P-006220 File folder entitled "JANE DOE #4" containing
meta-analysis of all phone, travel, and grand jury
data related to that victim/witness for indictment
preparation Work product
6(e)
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #2
P-006221
Thru
P-006222 File folder entitled ""JANE DOE #12" containing
meta-analysis of all phone, travel, and grand jury
data related to that victim/witness for indictment
preparation Work product
6(e)
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #2
P-006223
Thru
P-006522 File folder entitled "CORRECTED PHONE
RECORDS 5/31/07" containing meta-analysis of
all phone, travel, and grand jury data related to all
victims/witnesses for indictment preparation Work product
6(e)
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #2
P-006523
Thni
P-006802 File folder entitled "[Victim Name] Phone
Records" containing telephone records received
in response to subpoena Work product
6(e)
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #2
P-006803
Thru
P-006860 File folder entitled "Lists of Identified Phone
Numbers" containing charts of information culled
from grand jury materials, interviews, and other
investigation, with attorney handwritten notes,
and information to issue follow-up grand jury
subpoena Work product
6(e)
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #2
P-006861
Thru
P-007785 File folder entitled "EPSTEIN/KELLEN CELL
PHONE RECORDS" containing documents
received via subpoena with attorney handwritten
notes and highlighting Work product
6(e)
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Page 10 of 23
EFTA00191223
Bates Range Description Privilege(s) Asserted
Box #2
P-007786
Thru
P-008120 Folder entitled "OLY GRAND JURY LOG:
OLY-01 THROUGH OLY-50" containing
subpoenas, correspondence regarding same, 6(e)
letters, attorney handwritten notes regarding
records received in response to subpoenas Work product
6(e)
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #2
P-008121
Thru
P-008139 Handwritten flight logs received in response to
subpoena 6(e)
Investigative privilege
Box #2
P-008140
Thru
P-008298 Grand jury presentation folder containing
attorney handwritten notes, typed outline with
additional handwritten notes, complete indictment
package dated 2/19/2008, victim list with
identifying information, photographs, and
summary of activity Work product
6(e)
Investigative privilege
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Box #2
P-008299
Thru
P-008363 File folder entitled "FINAL AGREEMENTS"
containing subfolder entitled "Agrmts Filed in
State Court" (P-008300-P-008327 [not being
withheld as privileged — have been produced to
opposing counsel]); signed Non-Prosecution
Agreement, Addendum, and operative portion of
12/19/2007 Sanchez-Acosta letter (P-008328-P-
008343 [not being withheld as privileged — have
been produced to opposing counsel]); subfolder
entitled "12/19/07 Acosta-Sanchez Ltr"
containing unredacted copies of that letter (P-
008344-P-008363 [pursuant to Court's Order, not
being withheld as privileged — will be produced
to opposing counsel upon lift of stay by 11 th
Circuit])
Box #2
P-008364
Thru
P-008382 File folder entitled "Lacerda Immunity Request"
containing internal memoranda, Justice
Department documentation, and subpoena
regarding immunity request 6(e)
Work Product
Deliberative Process
Investigative privilege
Box #2
P-008383
Thru
P-008516 File folder containing March IS, 2008 grand jury
presentation materials, including "Operation Leap
Year Revised Indictment Summary Chart (by
victim)," grand jury materials, draft indictments,
victim reference list, grand jury subpoena log Work product
6(e)
Investigative privilege
Deliberative process
Also contains information and
documents subject to privacy
rights of victims who are not
parties to this litigation
Page 11 of 23
EFTA00191224
Bates Range Description I'll% ilege(s) Asserted
Box #2
P-008517
Thru
P-008535 6/25/2007 Letter from Gerald Lefcourt to Jeffrey
Sloman and Andrew Lourie
[pursuant to Court's Order, not being withheld as
privileged — will be produced to opposing counsel
upon lift of stay by 11's Circuit]
Box #2
P-008536
Thru
P-008542 Handwritten attorney notes to prepare for
interview of Jane Doe #2 Work product
Investigative Privilege
Contains information subject
to privacy rights of victims
who are not parties to this suit
Box #2
P-008543
Thru
P-008549 Handwritten attorney notes regarding May 8,
2007 grand jury presentation Work product
6(e)
Investigative privilege
Contains information subject
to privacy rights of victims
who are not parties to this suit
Box #2
P-008550
Thru
P-008615 File folder entitled "Most Recent Indictment &
Good Cases" containing draft indictment and
legal research Work product
6(e)
Investigative privilege
Deliberative process
Contains information subject
to privacy rights of victims
who are not parties to this suit
Box #2
P-008616
Thru
P-008686 File folder entitled "FBI Summary Charts"
containing chart prepared at direction of AUSA,
containing victim names, identifying information,
summary of activity, and other information
relevant to indictment Work product
Attorney-Client Privilege
6(e)
Investigative privilege
Contains information subject
to privacy rights of victims
who are not parties to this suit
Box #2
P-008687
Thru
P-008776 File folder entitled "[Victim name]/Jane Doe #4"
containing phone records and meta-analysis of all
phone, travel, and grand jury data related to that
victim/witness for indictment preparation Work product
6(e)
Investigative privilege
Contains information and
documents subject to privacy
rights of victims who are not
parties to this suit
Box #2
P-008777
Thi u
P-00SSOS File folder entitled "[Victim name]/Jane Doe #5"
containing handwritten notes and meta-analysis
of all phone, travel, and grand jury data related to
that victim/witness for indictment preparation Work product
6(e)
Investigative privilege
Contains information subject
to privacy rights of victims
who are not parties to this suit
Page 12 of 23
EFTA00191225
Bates Range Description Privilege(s) Asserted
Box #2
P-008809
Thru
P-008847 File folder entitled "[Victim name]/Jane Doe #6"
containing meta-analysis of all phone, travel, and
grand jury data related to that victim/witness for
indictment preparation Work product
6(e)
Investigative privilege
Contains information subject
to privacy rights of victims
who are not parties to this suit
Box #2
P-008848
Thru
P-008862 File folder entitled "[Victim name]/Jane Doe #7"
containing meta-analysis of all phone, travel, and
grand jury data related to that victim/witness for
indictment preparation Work product
6(e)
Investigative privilege
Contains information subject
to privacy rights of victims
who are not parties to this suit
Box #2
P-008863
Thru
P-008890 File folder entitled "[Victim name]/Jane Doe #8"
containing meta-analysis of all phone, travel, and
grand jury data related to that victim/witness for
indictment preparation Work product
6(e)
Investigative privilege
Contains information subject
to privacy rights of victims
who are not parties to this suit
Box #2
P-008891
Thru
P-009103 File folder entitled "Certified Copy of State Case"
containing certified copy of Epstein state criminal
cases and change of plea transcript (not being
withheld as privileged — copy provided to
opposing counsel]
Box #2
P-009104
Thru
P-009111 File folder entitled "Meeting Timeline"
containing Villafafia typed notes summarizing
meetings with opposing counsel prepared at
request of R. Alexander Acosta, with handwritten
correction and typed guideline estimate Work product
Deliberative process
Box #2
P-009112
Thru
P-009113 11/26/2008 Email from Roy Black to A. Marie
Villafafia and Karen Atkinson re Jeffrey Epstein
(work release)
[pursuant to Court's Order, not being withheld as
privileged — will be produced to opposing counsel
upon lift of stay by 1 l'h Circuit]
Box #2
P-009114
Thru
P-009115 7/3/2008 Email from A. Marie Villafafia to Col.
M. Gauger at PBSO re Epstein work release with
attachment [not being withheld as privileged —
produced to opposing counsel]
Box #2
P-009116
Thru
P-009125 12/6/2007 Letter from Jeffrey Sloman to Jay P.
Lefkowitz re Jeffrey Epstein (victim notification)
[pursuant to Court's Order, not being withheld as
privileged — will be produced to opposing counsel
upon lift of stay by 11's Circuit])
Page 13 of 23
EFTA00191226
Bates Range Description Privilege(s) Asserted
Box #2
P-009126
Tbru
P-009134 File folder entitled "[Victim name]/Jane Doe #9"
containing meta-analysis of all phone, travel, and
grand jury data related to that victim/witness for
indictment preparation Work product
6(e)
Investigative privilege
Contains information subject
to privacy rights of victims
who are not parties to this suit
Box #2
P-009135
Thru
P-009141 File folder entitled "[Victim name]/Jane Doe
#13" containing meta-analysis of all phone,
travel, and grand jury data related to that
victim/witness for indictment preparation Work product
6(e)
Investigative privilege
Contains information subject
to privacy rights of victims
who are not parties to this suit
Box #2
P-009141A
Thru
P-00914IC File folder entitled "[Victim name]/Jane Doe
#12" containing meta-analysis of all phone,
travel, and grand jury data related to that
victim/witness for indictment preparation Work product
6(e)
Investigative privilege
Contains information subject
to privacy rights of victims
who are not parties to this suit
Box #2
P-009142
Thru
P-009152 File folder entitled "Adriana 'Mucinka' Ross"
containing meta-analysis of all phone, travel, and
grand jury data related to that individual for
indictment preparation Work product
6(e)
Investigative privilege
Contains inform
📷 Images in this document (65 detected; 6 largest described)
AI-generated factual descriptions of embedded images (llava:13b). These are searchable across the corpus.
[Image 1] The image shows a scanned document, specifically a shipping label. The label is from FedEx and includes a tracking number, recipient information, and a barcode. The recipient's name is visible, but it is not appropriate to disclose personal information. The label indicates that the package is being shipped to a location in Florida, USA. The date on the label is not fully visible, but it appears to
[Image 2] The image shows a page from a document, which appears to be a table or a list with various entries. The text is too small to read clearly, but it seems to be a list of items or tasks with corresponding numbers and possibly descriptions or notes. The document is a standard letter or report format, with a header and footer that are not fully visible. The content of the document is not described, as
[Image 3] The image shows a document with a table that lists various items along with their corresponding descriptions. The table is organized into columns with headings such as "Date Range," "Description," and "Privacy Assessed." The items listed include references to laws, work products, and other topics related to privacy and data protection. The document appears to be a report or a summary of privacy as
[Image 4] The image shows a page from a document, which appears to be a table or a list of items with corresponding descriptions. The table is organized with headers such as "Bone Density," "Description," and "Derived Approach." There are several entries under each category, with visible text that includes phrases like "Bone Density," "Bone Density," "Bone Density," and "Bone Density." The document seems to
[Image 5] The image shows a page from a document, which appears to be a table or list of items. The table is organized with columns and rows, and there are visible entries with text. The text includes names, dates, and possibly descriptions or titles related to the items listed. The document is a scan or a photograph of a printed page, and the text is legible. The visible names include "William Alex Acosta,
[Image 6] The image shows a document with a table of information, which appears to be a list of items or tasks with corresponding dates and descriptions. The document is structured with columns and rows, and there are visible text entries that include dates, numbers, and descriptions of actions or events. The text is too small to read in detail, but it seems to be a formal or official document, possibly rel