Case 9:08-cv-80736-KAM Document 216 Entered on FLSD Docket 07/27/2013 Page 1 of 2
Case 9:08-cv-80736-KAM Document 216 Entered on FLSD Docket 07/27/2013 Page 1 of 2
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF FLORIDA
Case No. 08.80736-Civ-Marra/Matthewman
JANE DOES #1 AND #2,
Petitioners,
I
UNITED STATES OF AMERICA,
Respondent.
UNITED STATES' NOTICE OF FILING SUPPLEMENTAL PRIVILEGE LOG
Pursuant to the Court's June 18, 2013 Omnibus Order (DE 190), the Respondent, United
States of America, by and through the undersigned Assistant United States Attorney, hereby gives
notice of its filing of its Privilege Log, which is attached hereto.
The documents referenced in the Privilege Log are being delivered today to the Chambers
of U.S. District Judge Kenneth A. Mama for ex pane in camera review, pursuant to the Court's
Omnibus Order.
Respectfully submitted,
WIFREDO A. FERRER
UNITED STATES ATTORNEY
By:
Assistant United States Attorney
Florida Bar No.
500 South Australian Ave, Suite 400
West Palm Beach. FL 33401
Telephone;
Facsimile:
EFTA00223850
Case 9:08-cv-80736-KAM Document 216 Entered on FLSD Docket 07/27/2013 Page 2 of 2
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that on July 26, 2013, I electronically filed the foregoing document
with the Clerk of the Court using CM/ECF. According to the Court's website, counsel for all parties
are able to receive notice via the CM/ECF system.
Assistant United States Attorney
SERVICE LIST
Jane Does 1 and 2'. 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
425 N Andrews Ave Ste 2
Fort Lauderdale FL 33301-3268
Paul G. Cassell
S.J. Quinney College of Law at the
University of Utah
332 S. 1400 E.
Salt Lake Cit Utah 84112
Fax:
E-mail:
Attorneys for Jane Doe # 1 and Jane Doe # 2
2
EFTA00223851
Case 9:08-cv-80736-KAM Document 216-1 Entered on FLSD Docket 07/27/2013 Page 1 of 14
SUPPLEMENTAL PRIVILEGE LOG
Bates Range Description Privilege(s) Asserted
Suppl. Box #3
P-013279
Thru
P-013280 8/15108 Emails between A. Acosta and
, and re
proposed correspondence to Jay Leflcowitz Attorney-Client Privilege
Work Product
Suppl. Box #3
P-013281 Handwritten note re Epstein investigation Attorney-Client Privilege
Work Product
Investigative privilege
Also contains information
subject to privacy rights of
victims who are not
arties to this liti ation
Suppl. Box #3
P-013282
Thru
P-013283 7/9/08 Email from to A.
Acosta, and FBI re
proposed response to Goldberger letter re victim
notification Attorney-Client Privilege
Work product
Deliberative Process
Suppl. Box #3
P-013284 7/10/08 Emails between and Attorney-Client Privilege
Work Product
Deliberative Process , and FBI it proposed
response to Goldberger's letter it victim
notification
Suppl. Box #3
P-013285
Thru
P-013289 File folder entitled "8/5/08 AMCV e-mail re
correct a t" containing 8/5/08 email from
to A. Acosta,
re "Jeffrey Epstein
A ement" discussing 6/24/08 email from
to R. Black and J. Goldberger
concerning the binding nature of the Agreement Attorney-Client Privilege
Work Product
Deliberative Process
Suppl. Box #3
P-013290
Thru
P-013292 File folder entitled "8/14/08 E-mail from Lefk to
AMCV" containing undated emails from
to A.
Acosta, re draft response to
8/14/08 email from J. Leflcowitz regarding "the
December 2007 proposal" Attorney-Client Privilege
Work Product
Page 1 of 14
EFTA00223852
Case 9:08-cv-80736-KAM Document 216-1 Entered on FLSD Docket 07/27/2013 Page 2 of 14
Bates Range Description Privilege(s) Asserted
Suppl. Box #3
P-013293
Thru
P-013299 File folder entitled "8/15/08 AMCV e-mail re
A t" containing 8/15/08 e-mails from
to A. Acosta,
re follow u on A reement and
from A. Acosta to on issue
of Special Master with attached 8/15/08 emails
from to A. Acosta,
re A inat;
8/15/08 email from J. Lefkowitz to
, R. Black, M. Weinbe re
'rant; 8/14/08 emails from
to J. Lefkowitz, R. Black
re interpretation of A eement; email from J. Attorney-Client Privilege
Work Product
Deliberative Process
Lefkowitz to re
itSnis re Agreement; email from
to J. Lefkowitz, re
production of Agreement to victims
Suppl. Box #3
P-013300
Thru
P-0133303 File folder entitled "8/18/08 Lefkowitz Ltr to
AMCV" containing
handwritten draft notes for proposed letter to J.
Lefkowitz; 5/22/07 e-mail from to
re
meeting with G. Lefcourt with attached email
from G. Lefcourt re solicitation for meetin s Attorney-Client Privilege
Work Product
Suppl. Box #3
P-013304
Thru
P-013325 File folder entitled "6/25/07 Lefcourt to Attorney-Client Privilege
Work Product & containin 6/25/07 letter (with
handwritten notes b from G.
Lefcourt to
addressing reasons for not
rosecutin E stein; handwritten outline by
of ossible res nse to letter
Suppl. Box #3
P-013326
Thru
P-013329 File folder entitled "9/17/07 to Attorney-Client Privilege
Work Product Lefkowitz containin 9/17/07 e-mail from
to and from
to concerning status
of plea negotiations
Suppl. Box #3
P-013330
Thm
P-013333 File folder entitled "11/8/07 Lefkowitz to
' containing 11/8/07 letter from J.
Lefkowitz re issues arising during pendency of
matter with attorney handwritten notes Attorney-Client Privilege
Work Product
Suppl. Box #3
P-013334
Thru
P-013337 File folder entitled "11/13/07 to Attorney-Client Privilege
Work Product Lefkowitz (was this sein.1 containing draft
11/13/07 letter from responding to J.
Lefkowitz's letter
Page 2 of 14
EFTA00223853
Case 9:08-cv-80736-KAM Document 216-1 Entered on FLSD Docket 07/27/2013 Page 3 of 14
Bates Range Description Privilege(s) Asserted
Suppl. Box #3
P-013338
Thru
013341 File folder entitled "12/6/07 to [Not considered
privileged. Will be
produced to opposing
counsel upon lifting of
stay] Lefkowitz" containing 12/5/07 faxed letter w/
cover sheet from K. Starr and J. Lefkowitz to A.
Acosta
Suppl. Box #3
P-013342
Thru
P-013350 File folder entitled "12/05/07 Starr to Acosta"
containing drafts of 11/30/07 letters from A.
Acosta to K. Starr and from to J.
Lefkowitz re performance and victim notification
with handwritten notes and edits by Attorney-Client Privilege
Work Product
Deliberative Process
Suppl. Box #3
P-13351
Thru
P-013361 File folder entitled "12/21/07 Lefkowitz to
Acosta" containing handwritten notes by
, 12/21/07 letter from J.
Lefkowitz to A. Acosta re performance of NPA
and appeal to Washington with attorney
handwritten notes Attorney-Client Privilege
Work Product
Suppl. Box #3
P-013362
Thru
P-013366 File folder labeled "12/26/07 Lefkowitz to
Acosta" containing 2 copies of draft letter from
A. Acosta to J. Lefkowitz (with 12/28/07 fax
header) Attorney-Client Privilege
Work Product
Deliberative Process
Suppl. Box #3
P-013367
Thru
P-013372 File folder labeled "Draft hr from to Attorney-Client Privilege
Work Product Lefkowitz re termination" containing draft letter
dated "April , 2008" from to J.
Lefkowitz concerning the compliance with the
A ement
Suppl. Box #3
P-013373
Thru
P-013503 File folder labeled "6/3/08 Submission to
the DAG" containing 6/3/08 letter from
to Office of the DAG cc'd to
re
Jeffrey Epstein, detailing events concerning the
Agreement and thereafter and with relevant
attachments Attorney-Client Privilege
Deliberative Process
Work Product
Investigative privilege
Suppl. Box #3
P-013504
Thru
P-013507 File folder labeled "Mtg w/ Ken Starr, RAA, JS,
Drew" containing handwritten notes by Attorney-Client Privilege
Work Product
Suppl. Box #3
P-013508
Thru
P-013514 File folder labeled "Internal Con." ciicd,in
11/28/07 e-mails from to
re responding to 11/28/07 e-mail from
J. Lefkowitz to regarding victim
notification with attachments Attorney-Client Privilege
Work Product
Page 3 of 14
EFTA00223854
Case 9:08-cv-80736-KAM Document 216-1 Entered on FLSD Docket 07/27/2013 Page 4 of 14
Bates Range Description Privilege(s) Asserted
Suppl. Box #3
P-013515
Thru
P-013525 Draft 11/30/07 letter from A. Acosta to K. Starr Attorney-Client Privilege
Work Product
Deliberative Process cc'd to and re
compliance with Agreement and internal emails
from A. Acosta, and re
items to address in letter
Suppl. Box #3
P-013526
Thru
P-013527 5/23/07 e-mail from to Attorney-Client Privilege
Work Product
Deliberative Process re draft proposed internal e-mail about
handling of case and attached email
correspondence between and G.
Lefcourt
Suppl. Box #3
P-013528
Thm
P-013530
P-013532
Thru
P-013537 Handwritten notes by dated Work Product
9/21 re telephone conference with possible victim
representative, conflict check with names and
email listed, list of names of potential victim
representatives, payment discussion, and
guideline calculation, email containing contact
info for potential victim representative, draft Non
Prosecution Agreement dated 9/10/07 4:17 pm
Suppl. Box #3
P-013531 Typed note addressed to "Dear David" re
response to grand jury subpoena 6(e)
Investigative privilege
Suppl. Box #3
P-013538
Thin
P-013553 File folder labeled "Notes Re Post-Agreement
Communications" containing handwritten notes Work Product
Deliberative Process
by
Suppl. Box #3
P-013554
Thru File folder labeled "E-mails Re Plea
Negotiations" containing:
• 11/28/07 e-mail from to Attorney-Client Privilege
Work Product
Deliberative Process
Investigative Privilege
re non-prosecution agreement, with
attached correspondence;
• 9/19/07 e-mail from to
re
negotiating strategy, with attached
correspondence;
• 9/18/07 e-mail from to
A. Acosta,
, re negotiating
strategy;
• 9/17/07 e-mail from to
A. Acosta re negotiation;
• 9/17/07 e-mail from to
A. Acosta,
, re ne otiations;
• 9/17/07 e-mail from to
Page 4 of 14
EFTA00223855
Case 9:08-cv-80736-KAM Document 216-1 Entered on FLSD Docket 07/27/2013 Page 5 of 14
Bates Ranee Description
strategy:
• 9/14107 e-mail from to
A. Acosta, re negotiation
• S. Ball re proposed
plea agreement and Information;
• 9/14107 e-mail from
A. Acosta,
re plea negotiations;
9/13107 e-mail from to
S. Ball, re
indictment package;
9/13107 e-mail from to
re trust agreement with
attached correspondence;
9/13107 e-mail from
re trust a ment;
9/13107 e-mail from to
re conference call
with J. Lefkowitz;
9/13/07 e-mail from to
re plea negotiations with
attached correspondence;
9/13/07 e-mail from to
re charging strategy with
attached correspondence.
9/13/07 e-mail from to
S. Ball, re
indictment package;
9/13/07 e-mail from to
A. Acosta,
re plea negotiations;
9/11/07 e-mail from to
re meeting w/ G. Lefcourt with
attached correspondence;
9/11/07 e-mail from to
re revised Agreement with
attached correspondence;
9/11/07 e-mail from to
re non-prosecution agreement
edits with attached correspondence;
9/11/07 e-mail from
to re status of negotiations
with attached correspondence; to
S. Ball
to
Page 5 of 14 Privilege(s) Asserted
EFTA00223856
Case 9:08-cv-80736-KAM Document 216-1 Entered on FLSD Docket 07/27/2013 Page 6 of 14
Bates Range Description Privilege(s) Asserted
■ 9/10/07 e-mail from to
re ne otiations; 9/10/07 e-mail
from to
re state grand jury proceedings;
■ 9/17/07 e-mail from A. Acosta to
,
, re draft Agreement
with attached correspondence;
■ 9/14/07 e-mail from to
A. Acosta,
, S. Ball, re finalizing
documents;
■ 9/14/07 e-mail from to
re charging strategy with
attached correspondence;
■ 9/13/07 e-mail from to
re settin u trust fund;
■ 9/13/07 e-mail from to
re final negotiations with
attached correspondence;
■ 9/11/07 e-mail from to
re scheduling a meeting
regarding finalizing the agreement with
attached correspondence;
■ 9/11/07 e-mail from to
re non-prosecution
agreement edits with attached
correspondence;
■ 9/11/07 e-mail from to
re non-prosecution
agreement edits with attached
correspondence;
■ 9/11/07 e-mail from to
re negotiations with
attached correspondence;
■ 9/17/07 e-mail from to
re negotiation
strategy
Suppl. Box #3 File folder entitled "[J Target Letter" containing 6(e)
P-013609 copy of signed letter and contact info for counsel Investigative Privilege
Thru for target
P-013615
Page 6 of 14
EFTA00223857
Case 9:08-cv-80736-KAM Document 216-1 Entered on FLSD Docket 07/27/2013 Page 7 of 14
Bates Range Description Privilege(s) Asserted
Suppl. Box #3
P-013616
Thru
P-013621 File folder entitled "Atty Notes re Revised
Indictment" containing handwritten notes by Attorney-Client Privilege
Deliberative Process
Work Product
Investigative Privilege
Also contains information
subject to privacy rights of
victims who are not
parties to this litigation
Suppl. Box #3
P-013622
Thru
P-013643 File folder entitled "Research Re Possible
Misdemeanors" containing attorney research Work product
Suppl. Box #3
P-013644
Thm
P-013653 File folder entitled "Notes Re Plea Ne 1 otiations"
containing 9/17/07 e-mail from
to re status
u . date; undated and typed handwritten notes by Attorney-Client Privilege
Work Product
Deliberative Process
Investigative privilege
Also contains information
subject to privacy rights of
victims who are not
parties to this litigation re items to be completed on
case, strength of case, victim interviews,
summary of evidence, guidelines calculations
Suppl. Box #3
P-013654
Thru
P-013745 File folder entitled "Plea Agreement Drafts"
containing several draft plea agreements some Attorney-Client Privilege
Work Product
Deliberative Process with handwritten notes by ;
copies of draft non-prosecution agreement some
with handwritten notes by ,
copy of a draft Information
Suppl. Box #3
P-0013747
Thru
P-013810 File folder entitled "Draft Non-Prosecution
Agreements" containing several draft non-
prosecution a reements some with handwritten
notes by - plea sheet State
Circuit Court; copies of draft Information; draft
plea proffer; draft motion and order to seal; draft
penalty sheet; draft plea agreement Attorney-Client Privilege
Work Product
Deliberative Process
Suppl. Box 3
P-013811
Thru
P-013833 File folder entitled "Information Packet Drafts"
containing several drafts of Informations, and
complete draft Information packet Attorney-Client Privilege
Work Product
Deliberative Process
Suppl. Box 3
P-013834
Through
P-013835 Two pages of filed document, D.E. 62, page 2 of
54 and page 6 of 54, containing handwritten
attorney notes atty work-product
Page 7 of 14
EFTA00223858
Case 9:08-cv-80736-KAM Document 216-1 Entered on FLSD Docket 07/27/2013 Page 8 of 14
Bates Range Description Privilege(s) Asserted
Suppl. Box 3
P-013836
Thru
P-013837 Palm Beach Daily News Article, "Attorneys want
Jeffrey Epstein Agreement Thrown Out," with
attorney's notes written on margin Atty work-product
Suppl. Box 3
P-013838
Thru
P-013841 Letter from Paul Cassell to Wifredo A. Ferrer,
December 10, 2010, Subject: Request for
Investigation of Jeffrey Epstein Prosecution, with
underlines, written notes, and comments by DOJ
attorne Atty work-product
Suppl. Box 3
P-013842 Email from to Ruth Atty work-product
Atty-client privilege (OPR), February 25, 2011, 4:31 p.m., Re:
Request for OPR Investigation — Jeffrey Epstein
Non-Prosecution ktreement
Suppl. Box 3
P-013843
Thru
P-013844 E-mail, to Atty work-product
atty-client privilege and September
19, 2007, 4:33 p.m., RE: Plea Agreement
Suppl. Box 3
P-013845
Thru
P-013846 E-mail, to Atty work-product
September 19, 2007, 4:21 p.m., RE: Epstein,
with internal U.S. Attorney's Office e-mails
attached
Suppl. Box 3
P-013847
Thru
P-013849 E-mail to Any work-product
and September
18, 2007, 11:43 a.m., RE: Draft Agreements?,
with e-mail from Jay Lefkowitz (September 18,
2007, 11:09 a.m. attached
Suppl. Box 3
P-013850 E-mail, to Alex Acosta,
, , and
September 18, 2007, 9:31 a.m.,
RE: E stein Ne otiations Atty work-product
Suppl. Box 3
P-013851
Thru
P-013853 E-mail, to and Atty work-product
September 17, 2007, 10:35 a.m.,
RE: Epstein [providing update re plea
negotiations
Suppl. Box 3
P-013854 E-mail, to , Atty work-product
September 13, 2007, 8:10 ..m., RE: Epstein,
with e-mail from (September
13, 2007,a).ni•hed
Suppl. Box 3
P-013855 E-mail, to M and Atty work-product
Atty-client privilege September 10, 2007, 5:24 p.m.,
RE: FBI
Suppl. Box 3
P-013856
Thru
P-013857 E-mail, to Atty work-product
Atty-client privilege September 6, 2007, 5:47 ..m., RE: Epstein, with
e-mail from M (September 6, 2007,
5:35 .m. attached
Page 8 of 14
EFTA00223859
Case 9:08-cv-80736-KAM Document 216-1 Entered on FLSD Docket 07/27/2013 Page 9 of 14
Bates Range Deseri. lion Privilege(s) Asserted
Suppl. Box 3
P-013858 Email, to atty work-product
September 6, 2007, 9:29 a.m., Re: Meeting on
Friday
Suppl. Box 3
P-013859
Through
P-013860 Email, Gerald Lefcourt to Lilly [Not considered
privileged. Will be
produced to opposing
counsel upon lifting of
stay] Ann Sanchez, Roy Black, re: Jeffrey Epstein
Suppl. Box 3
P-013861
Thru
P-013865 E-mail, to Atty work-product
atty-client privilege July 13, 2007, 3:14 p.m., RE: Epstein, with e-
mail from (July 5, 2007, 3:30 p.m.),
to (July 4, 2007, 5:16 p.m.),
and to (July 3, 2007, 1:47
p.m.), att.telicd
E-mail to
. and
.lulu 3. 200'. 6:26 a.m.. Rh: E stein Suppl. Box 3
P-013866 Atty work-product
Suppl. Box 3
P-013867
Thru
P-013868 E-mail, to Atty work-product
June 21, 2007, 3:24 p.m., RE: Meetii.ct
Week, with e-mails from to
(June 21, 2007, 2:58 p.m.), and to
(June 21. 2007, 1:37 .m.), attached
Suppl. Box 3
P-013869 E-mail. to
and
June 18, 2007, 5:04 .m., RE: E stein Atty work-product
Suppl. Box 3
P-013870
Thru
P-013871 E-mail, to May Atty work-product
24, 2007, 9:25 a.m., FW: Jeffrey E stein, with e-
mail from Gerald Lefcourt to
(May 23, 2007, 5:00 p.m.), to
Gerald Lefcourt (May 22, 2007, 6,rim.), and
Gerald Lefcourt to
, and Lilly Ann Sanchez (May 22, 2007,
2:05 •.m.), attached
Suppl. Box 3
P-013872 E-mail, to Atty work-product
MI, and , May 22, 2007, 3:11
p.m., FW: Jeffrey EIS; with e-mail from
Lefcourt to M, and Lilly Ann
SancheLE42 2, 2007 2:05 p.m: ached
Suppl. Box 3
P-013873 E-mail to and M, May 14, Atty work-product
2007, 10:52 a.m., RE: Operation Leap Year, with
e-mail from to and
(May 14, 2007, 10:38 a.m.), attached
Page 9 of 14
EFTA00223860
Case 9:08-cv-80736-KAM Document 216-1 Entered on FLSD Docket 07/27/2013 Page 10 of
14
Bates Range Description Privilege(s) Asserted
Suppl. Box 3
P-013874
Through
P-013875 Inadvertently marked as privileged, will be
produced
Suppl. Box 3
P-013876
Thru
P-013877 E-mail, to and Atty work-product
, September 19, 2007, 4:33 p.m., RE:
Draft Plea aA ent, with e-mail from
Lefkowitz to (Se • tember 19, 2007, 3:44
p.m.), and Lefkowitz to (September 19,
2007, 3:35 m.) attached
Suppl. Box 3
P-013878
Thru
P-013879 E-mail, M. to September 19, 2007,
from
19
to
3:50
19 2007,
19,
and
attached Atty work-product
•zfin., RE: Epstein, with e-mails
to and September
2007, 4:13 p.m.), to and
I,nber 19, 2007, 4:05 p.m.), and
and (Se tember 19, 2007,
p.m.), to (Se tember
2:36 p.m.), to (September
2007, 2:33 p.m.), and to
(Se a. 19, 2007, 2:31 p.m.),
Suppl. Box 3
P-013880
Thru
P-013882 E-mail to and Atty work-product
, September 18, 2007, 11:43
Drafklreements?, with e-mails from
to M, and (September
2007, 11:18 a.m.), Lefkowitz to
(September 18, 2007, 11:09 a.m.), and
to Lefkowitz (September 18, 2007, 9:14
ande Lefkowitz to (September
2007, 8:59 a.m. attached a.m., RE:
18,
a.m.),
18,
Suppl. Box 3
P-013883 E-mail, to Acosta, M Atty work-product
, and September 18, 2007,
9:31 a.m., RE: E . stein NeSons
Suppl. Box 3
P-013884
Thru
P-013886 E-mail, to M and Atty work-product
September 17, 2007 10:35 a.m., RE: Epstein,
with e-mail from (September 17, 2007,
10:26 a.m.
Suppl. Box 3
P-013887 itached
E-mail, to Atty work-product
September 13, 2007, 8:10 •.m., RE: Epstein,
with e-mail from (September
13, 2007 7:54 .niktached
Suppl. Box 3
P-013888 E-mail, to • and Atty work-product
Any-client privilege , September 10, 2007, 5:24 p.m.,
RE: FBI
Page 10 of 14
EFTA00223861
Case 9:08-cv-80736-KAM Document 216-1 Entered on FLSD Docket 07/27/2013 Page 11 of
14
Bates Range Descri . tion Pnvilege(s) Asserted
Suppl. Box 3
P-013889
Thru
P-013890 E-mail, to M Atty work-product
Atty-client privilege September 6, 2007, 5:47 ..m., RE: Epstein, with
e-mail from M (September 6, 2007,
5:35 p.m. attached
Suppl. Box 3
P-013891 Email, to . atty work-product
September 6, 2007, 9:29 a.m., Re: Meeting on
Friday
Suppl. Box 3
P-013892
Through
P-013893 Email, Gerald Lefcourt to Lilly [Not considered
privileged. Will be
produced to opposing
counsel upon lifting of
stay] Ann Sanchez, Roy Black, re: Jeffrey Epstein
Suppl. Box 3
P-013894
Thru
P-013898 E-mail, to Atty work-product
atty-client privilege July 13, 2007, 3:14 p.m., RE: Epstein, with e-
mail from (July 5, 2007, 3:30 p.m.),
to (July 4, 2007, 5:16 p.m.),
and to (July 3, 2007, 1:47
..m.), attached
Suppl. Box 3
P-013899 E-mail I to
and
July 3, 2007, 6:26 a.m., RE: E stein Atty work-product
Suppl. Box 3
P-013900
Thru
P-013901 E-mail, to Any work-product
June 21, 2007, 3:24 p.m., RE: Meetin! Next
Week, with e-mails from to
(June 21, 2007, 2:58 p.m.), and to
June 21, 2007 1:37 .m. attached
Suppl. Box 3
P-013902 E-mail, to
and
. June I3, 2007, 5:04 p.m.. Iiiiii, stein Atty work-product
Suppl. Box 3
P-013903
Thru
P-013904 E-mail, to May
24, 2007, 9:25 a.m., FW: Jeffrey E stein, with e-
mail from Gerald Lefcourt to
(May 23, 2007, 5:00 p.m.), to
Gerald Lefcourt (May 22, 2007, 6•m.), and
Gerald Lefcourt to
, and Lilly Ann Sanchez (May 22, 2007,
2:05 .m.), attached Atty work-product
Suppl. Box 3
P-013905 E-mail, to M Atty work-product
and , May 22, 2007, 3:11
p.m., FW: Jeffre Eilii-i, with e-mail from
Lefcourt to and Lilly Ann
Sanchez (May 22, 2007, 2:05 p.m.), attached
Page 11 of 14
EFTA00223862
Case 9:08-cv-80736-KAM Document 216-1 Entered on FLED Docket 07/27/2013 Page 12 of
14
Bates Range Description Privilege(s) Asserted
Suppl. Box 3
P-013906 E-mail to and , May 14, Atty work-product
2007, 10:52 a.m., RE: Operation Leap Year, with
e-mail from to and
(May 14, 2007, 10:38 a.m.), attached
Suppl. Box 3
P-013907
Through
P-013908 Inadvertently marked as privileged, will be
produced
Suppl. Box 3
P-013909
Thru
P-013911 Memorandum, Lisa Howard, Assistant Counsel,
U.S. Department of Justice, Office of
Professional Responsibility (OPR), to Ruth
, Acting Associate Counsel, OPR,
undated, Subject: Recommendation Deliberative Process
Privilege; atty work-
product
Suppl. Box 3
P-013912
Thru
P-013914 Memorandum, Lisa Howard, Assistant Counsel,
OPR, to Ruth , Acting Associate
Counsel, OPR, Subject: Recommendation, with
handwritten note dated 5/4/11 Deliberative Process
Privilege, atty work-
product
Suppl. Box 3
P-013915
Thru
P-013918 Memorandum, Lisa Howard, Assistant Counsel,
OPR, to Ruth , Acting Associate
Counsel, OPR, Subject: Recommendation, with
two post-it notes attached with handwritten
attorney notations, and handwritten notations,
underlines, and circled text throughout the body
of the two page memorandum Deliberative Process
Privilege; atty work-
product
Suppl. Box 3
P-013919
Thru
P-013921 Draft letter, marked "Confidential", from Robin
C. Ashton, Counsel, Office of Professional
Responsibility to Wifredo A. Ferrer, United
States Attorney, with handwritten corrections,
strikethroughs, and added text Deliberative Process
Privilege
Attorney Work Product
Suppl. Box 3
P-013922
Thru
P-013924 Draft Letter, marked "Confidential", from Robin
C. Ashton, to Wifredo A. Ferrer, with
handwritten corrections Deliberative Process
Privilege
Attorney Work Product
Suppl. Box 3
P-013925
Thru
P-013927 Draft Letter, from Robin C. Ashton to Professor
Paul G. Cassell, with handwritten correction Deliberative Process
Privilege
Attorney Work Product
Suppl. Box 3
P-013928
Thru
P-013930 Draft Letter, from Robin C. Ashton to Professor
Paul G. Cassell, with handwritten corrections Deliberative Process
Privilege
Attorney Work Product
Suppl. Box 3
P-013931
Thru
P-013933 Draft Letter, from Robin C. Ashton to Professor
Paul G. Cassell, with handwritten corrections,
circled text, strikethroughs, and additional text Deliberative Process
Privilege
Attorney Work Product
Page 12 of 14
EFTA00223863
Case 9:08-cv-80736-KAM Document 216-1 Entered on FLSD Docket 07/27/2013 Page 13 of
14
Bates Range Description Privilege(s) Asserted
Suppl. Box 3
P-013934
Thru
P-013936 Draft Letter, marked "Confidential," from Robin
C. Ashton to Wifredo A. Ferrer, with handwritten
corrections Deliberative Process
Privilege
Attorney Work Product
Suppi. Box 3
P-013937
Thm
P-013939 Draft Letter, Robin C. Ashton to Professor Paul
G. Cassell, with handwritten corrections Deliberative Process
Privilege
Attorney Work Product
Suppl. Box 3
P-013940
Thru
P-013942 Draft Letter, marked "Confidential: To Be
Opened by Addressee Only," Robin C. Ashton to
Wifredo A. Ferrer, with handwritten corrections Deliberative Process
Privilege
Attorney Work Product
Suppl. Box 3
P-013943 E-mail, Ruth
2011, 11:19
for your review,
Ruth
and Howard
a.m.)attached to Lisa Howard, May 5, Deliberative Process
Privilege
Attorney Work Product a.m., RE: Re-write of Epstein letters
with e-mail from Lisa Howard to
(May 5, 2011, 11:08 a.m.), and
to Howard Ma 5, 2011, 11:10 a.m.),
to (May 5, 2011, 10:41
Suppl. Box 3
P-013944 E-mail,
11:17 a.m.,
your review, to Howard, May 5, 2011,
RE: Re-write of Epstein letters for
with e-mail from Howard to
(May 5, 2011, 11:08 a.m.),
to Howard (May 5, 2011, 11:01 a.m.),
to (May 5, 2011, 10:41), Deliberative Process
Privilege
and Howard
attached
Suppl. Box 3
P-013945 E-mail, to Howard, May 4, 2011, 5:01 Deliberative Process
Privilege p.m., RE: draft letters in E stein matter, with e-
mail from Howard to (May 4, 2011,
4:57 ..m.), attached
Suppi. Box 3
P-013946 E-mail, to Robin C. Ashton, May 4, Law Enforcement
investigatory record, atty
work product; deliberative
rocessprivilege 2011, 4:08 p.m., RE: FYI on the Florida matter
Suppl. Box 3
P-013947 E-mail, Paul
12:23 p.m.,
information,
handwritten
between
and Cassell to May 3, 2011, atty work product; law
enforcement investigatiory
record RE: OPR Inquiry — request for
with post-it note attached with
attorney notes on telephone call
and Howard with
Suppl. Box 3
P-013948
Thru
P-013951 E-mail, to Howard and Robin C. any work-product
Ashton, May 3, 2011, 12:30 p.m., FW: OPR
Inquiry — request for information, with attached
e-mails. Handwritten attorney notes on margin
Page 13 of 14
EFTA00223864
Case 9:08-cv-80736-KAM Document 216-1 Entered on FLSD Docket 07/27/2013 Page 14 of
14
Bates Range Description Privilege(s) Asserted
Suppl. Box 3
P-013952
Thru
P-013953 E-mail to Ruth March atty work-product; atty-
client privilege 16, 2011, 10:52 a.m., RE: Referral of Cassell
Request for Investi ation, with e-mail from Paul
Cassell to and
(March 152011 7:21 p.m. attached
Suppl. Box 3
P-013954
Thru
P-013955 E-mail EIM' to OPR, atty work-product, atty-
client privilege December 16, 2010, 10:59 a.m., FW: OPR
Referral — Allegation of Misconduct — U.S.
Attorne 's Office, S.D.Fla., with e-mail from
to (December 16, 2010,
10:22 a.m.), attached. Handwritten attorney
notations.
Suppl. Box 3
P-013956
Thru
P-013846 Fourteen (14) pages of handwritten attorney notes
on case, telephone interviews with DOJ attorneys atty work-product
Page 14 of 14
EFTA00223865
📷 Images in this document (16 detected; 6 largest described)
AI-generated factual descriptions of embedded images (llava:13b). These are searchable across the corpus.
[Image 1] The image is a document scan, specifically a page from a legal case file. The document is titled "Case No. 08-0877-WAN" and appears to be a "DECISION AND ORDER" from a court case. The document is dated "2010/05/14" and is signed by a judge.
The visible text includes case-related information such as the names of the parties involved, the date of the hearing, and the names of the attorneys represen
[Image 2] The image is a scanned document, specifically a page from a court case file. The document is a "Case Number: 08-08701-WAN" and is dated "2010/05/13". It appears to be a page from a court proceeding, with various entries such as "Date", "Time", "Description", and "Description". The entries are organized in a table format, with columns for "Date", "Time", "Description", and "Description". The docume
[Image 3] The image displays a document with a header that reads "Case No. 08-00706-001" and a date of "January 2008." The document appears to be a legal or court-related document, possibly a transcript or a court order. There are several sections with visible text, including "Date Range," "File Number," "Description," and "Signature." The visible text in the "Description" section is redacted, with the word
[Image 4] The image shows a document with a table of information, which appears to be a case report or a legal document. The table is divided into columns with headings such as "Date," "Case Number," "Description," and "Status." The document is marked with yellow highlights, indicating certain sections or entries that have been reviewed or are of particular interest. The text is too small to read in detail,
[Image 5] The image shows a document with text, which appears to be a page from a legal or official report. The document is titled "Case No. 123456789" and includes a date and page number at the bottom. The text is in English and contains various sections with headings such as "Description," "Description," "Description," and "Description." The text is too small to read in detail, but it seems to be discussi
[Image 6] The image is a document scan, specifically a page from a legal case file. The document appears to be a list of exhibits, with each exhibit numbered and described. The text is redacted, which means that certain parts of the document have been blacked out to protect sensitive information. The visible parts of the document include the case number, the names of the parties involved, and the descriptio