This is an FBI investigation document from the Epstein Files collection (FBI VOL00009). Text has been machine-extracted from the original PDF file. Search more documents →
FBI VOL00009
EFTA00178967
267 pages
Page 81 / 267
While Epstein was indicted on charges of soliciting a prostitute, the allegations in the police affidavit are more serious. Among them: - A girl who began massaging Epstein when she was 16 years old told police she became his "number one girl" and had visited his house hundreds of times. According to police, she said that when she told Epstein she was 16 years old, he advised her not to tell anyone that. This same girl said she and Epstein had an understanding that no vaginal penetration would occur. Yet on one occasion, she told police, Epstein forced himself on her. "She said her head was being held against the table forcibly, as he continued to pump inside her. She screamed No!' and Epstein stopped," according to the affidavit. Epstein allegedly paid the girl $1,000 for that visit. - A 14-year-old girl and her family reported that Epstein had touched the girl's vaginal area with a vibrator when she was at his house. , - One woman who would bring young girls to Epstein's house to massage him told police she . brought six girls to see him, and that they were all ages 14 to 16. - Many of the girls told police that Epstein would try and convince them to take off more clothing or to go further sexually than they were comfortable doing. "Jeff would try to get away with more and more on each massage,"Tajd•one girl who began massaging Epstein when she was 16 years old. » Click here for Brian & Investigative Team's llomenage July 26, 2006 I Permalink I User Comments (1.5) Contact ABC News I ABC.com ! Help & Info I Advertising Into I Terms of Use I Privacy Policy/Your California Privacy Rights NEWS External links are provided for reference.purposes. ABC News is not responsible for the content of external Internet sites. Copyright C 2006 ABCNews lternet Ventures 2 EFTA00179047
Page 82 / 267
EXHIBIT D EFTA00179048
Page 83 / 267
11/16/2006 16:31 FAX 5618.021767 USAO WPB FL a 0 0 2 U.S. Department of Justice United States Attorney Southern District of Florida 500 South Australian Ave., Suite 400 aim Beach, FL 33401 FLICSIMik VIA FACSIMILE Lilly Ann Sanchez, Esq. Fowler White Burnett 1395 Brickell Ave Fl 14 Miami Florida 33131-3300 Re: Jeffrey Epstein Dear Ms. Sanchez: November 16, 2006 Thank you for your letter and voicemail. I will plan to direct all correspondence to you unless you provide other instructions. In turn, please direct all 1:inure communications with the Office to my attention. As I mentioned in ray voicemail, Mr. Lewis stated that Mr. Epstein is willing to provide documents and information that we deem necessary to the investigation. I would appreciate if you would forward the documents and ' formation listed below to my attention or, if you prefer, to Special Agent , Federal Bureau of Investigation, 500 South Flaglor Drive, Suite 500, West Palm Beach, FL 33404. If you require a grand jury subpoena for any of the items, please let me know. 1. Documentation related to the ownership ofthe property located at 358 El Brillo Way, Palm Beach, Florida, including the purchase agreement and any mortgages, liens, or other encumbrances. 2. Documentation related to the ownership of Gulfstream Aircraft N909JE, Model O1159B, and Boeing Aircraft N908JE, Model 727-31, including purchase information. lease agreements, liens or other encumbrances, and payments for maintenance and storage. 3. All documents and information provided to the Palm Beach County State Attorney's Office in connection with its investigation of Mr. Epstein. 4. Bank information, account numbers, bank statements and billing statements for any bank accounts and/or credit cards used by Mr. Epstein (or any of his employees) to pay for Mr. Epstein's personal expenses, from January 1, 2004 to the present. EFTA00179049
Page 84 / 267
11/16/2006 10:31 FAX USAO WPB FL 5b003 Lary ANN SeimRez,EsQ. NOVEMBER 16, 2006 PAGG 2 OF 3 5. Information and billing statements for any "land lines," cellular telephones, Blackberry units, e-mail addresses, webpages, or the like for Mraiiin and all of hispersonal assistants (including but not limited to and from January I, 2004 to the present. 6. The computers, hard drives, CPUs, and any other computer media (including CD- ROMs, DVDs, floppy disks, flash drives, etc.) removed from 358 El Brillo Way, Palm Beach, Florida prior to the execution of the search warrant at that premises in October 2005. 7. All calendars, diaries, and address books kept by Mr. Epstein and all of his personal assistants from January 1, 2004 to the present, including electronic calendars and address books, whether stored on computer, FDA, or cellular telephone. 8. For persons in his employ at any time from January 1, 2004 to the present, employment and/or separation agreements between Mr. Epstein (or his company) and his personal assistants, airplane pilots, personal chefs, and for anyone who worked at 358 El Brillo Way, Palm Beach, Florida. 9. The names and contact information of all pessons who performed "massage services" for Mr. Epstein at 358 El Brillo Way, Palm Beach, Florida or at his residences in New Albany, Ohio, Little St. James, U.S.V.I., and New York, NY; and documentation of payments made to or gifts given to any such persons. 10. Wage and earnings statements and other tax documents for all individuals referenced in items (8) and (9), supra. 11. Mr. Epstein's tax returns for 2004 and 2005. 12. From January 1, 2004, to the present, flight manifests and passenger lists for travel via Gulfstream Aircraft N909.1E, Modal G1159B and Boeing Aircraft N908JE, Model 727-31 (to the extent not already provided). 13. Documentation regarding any other interstate or international travel undertaken by Mr. Epstein from January 1, 2004, to the present, including but not limited to airplane tickets, car rental records, and hotel receipts. After I have a chance to review the documents, I will contact you to set up a time to interview Mr. Epstein. EFTA00179050
Page 85 / 267
11•/18/2008 18:32 FAX 3018021)v, USA0 WPB FL O004 LILLY ANN SANCHEZ, ESQ. NOveMBat 16, 2006 PAGE 3 oF 3 Thank you for your assistance with this matter, and I look forward to working with you and Mr. Lercourt. Sincerely, Alexander Acosta United States Attorney By: Assistant United States Attorney EFTA00179051
Page 86 / 267
EXHIBIT E EFTA00179052
Page 87 / 267
JUL-09-2007 09 : 29 PM M' RS 30' 190189 P . 1 a tomes Ro frano United States District Court SOUTHERN DISTRICT OF FLORIDA SUBPOENA TO TESTIFY BEFORE GRAND JURY FGJ 07-103(WPB)-Tues./No. O1.Y-33 SUBPOENA FOR: PERSON X X DOCUMENTS OR OBJECT'S] YOU ARE HEREBY COMMANDED to appear and testi fy before the Grand Jury of the United States District t the place, date and time specified below, United States District Courthouse 701 Clematis Street West Palm Bench, Florida 33401 ROOM: Grand Jury Room DATE AND TIME: March 13, 2007 1:00 pm• YOU ARE ALSO COMMANDED to bring with you the following document(s) or object(s): Ail documents referring or relating to Jeffrey Epstein, including but not limited to billing statements, record of payments, appointment books, treatment notes, and correspondence. *Please coordinate your compliance with this subpoena and confirm the date and time , and location of your appearance with Special Agent Federal Bureau of Investigation, Telephone: this subpoena shall remain in effect until you arc granted leave to depart by the court or by an officer acting • ni behalf of the court. poem) is issued upon application 'Med States of America DATE: March 2, 2007 Name, Address and Phone Number of Assistant U.S. Attorney ssistant U.S. Attorney 500 So. Australian Avenue, Suite 400 West Palm Beach, FL 33401-6235 le Irgesettin lion of A0110 :okM 010.227 JAN.86 EFTA00179053
Page 88 / 267
JUL-09-2007 09:28 PM M RS 30' 90189 P.02 U.S. Department of Justice United States Attorney Southern District of Florida 500 g Australian Ave, Suite 400 Ware Palm Beach, FL 11401.6235 APPEARANCE NOTICE The attached subpoena requires the production of the records specified to a Federal Grand Jury/Trial in the Southern District of Florida. A new provision of the Federal Rules of Evidence provides that routine business records may be admitted at trial through the declaration of a custodian, if they are provided sufficiently in advance of trial to allow an opportunity for any challenges to their authenticity. Therefore, you may be able to avoid appearing personally at the grand jury/trial at the time and place specified by completely filling out the attached Certification , and immediately returning it with the records to Special Agent FBI at the following address: Federal Bureau of Investigation 505 South Flagler Drive, Ste. 500 West Palm Beach, Florida 33401-5923 EARLY VOLUNTARY TURNOVER Please note that we are requesting an early voluntary turnover of the materials subpoenaed. The early voluntary turnover date is prior to March 13. 2007. BY: Sincerely, R. ALEXANDER ACOSTA UNITED STATES ATTORNEY TATATTkir UNITED STATES ATTORNEY EFTA00179054
Page 89 / 267
JUL-09-2007 09:29 PM W 2S 3or '90189 P.03 CERTIFICATION OF BUSINESS RECORDS I, the undersigned, flit.' 4 Al, , declare that I am: employed by/associated with e /Ca 114 14-4t #41.£ Pnic Tot, in the position of and by reason of my position am authorized and qualified to make this declaration. In my employment with the above-named bank/company I am familiar with the business records it maintains. The above-named bank/company maintains records of its business which are: 1. made at or near the time of the occurrence of the matters set forth therein, by, or from information transmitted by, a person with knowledge of those matters; 2. kept in the course of regularly conducted business activity; and 3. made by the regularly conducted activity as a regular practice. Among the records so maintained are the attached records itemized in Appendix A, Inventory of Documents. I declare under penalty of perjury that the foregoing is true and correct. Date of execution: % .-//- ci 7 Place of execution: de-roti ka-e4 - 1/4, .74 Signature: -11:44.2/C EFTA00179055
Page 90 / 267
JUL-09-2007 09:29 PM m' RS 307 790189 P.04 APPENDIX A DOCUMENT INVENTORY The documents submitted are as follows; at c 6(164 4 i J2-42 C-at 41 f /4 14 6- 1 riri en C. ••• Si-J.41111-'4Z 15-14/ 11, / de, v. Signature of Records Custodian: /*A EFTA00179056
Page 91 / 267
EXHIBIT F EFTA00179057
Page 92 / 267
07/16/2687 09:46 ROY BLACK HOWARD M. HREEINICK SCOW A. KORNSPAN LARRY A. Swami MARIA NEYRA JACKIE PERcZEK MARK A.,J. SHAPIRO JARED !JOKE Matarag2WM, BLACK SREB & KORN PAGE 02 BLACK SREBNICK KORNSPAN & STUMPF PA July 13, 2007 wxn U.S. MAIL Esq. Assistant United States Attorney Office of the United States Attorney Southern District of Florida 500 South Australian Avenue, Suite 400 West Palm Beach, Florida 33401 CIDUSTINZ M. NO Jessica FOriszca-tlanta KATHLEEN P. Psittna AARON ANTHON MARCOS HZAION, JR. Mansucw P. °Manus E-Mail: - Re: Grand Jury Subpoena - William Riley Dear Ms. Villifafla: I represent Jeffrey Epstein, the target of a pending Grand Jury investigation. Prior to the Initiation of this federal investigation, I represented Mr. Epstein on a Palm Beach Florida State Attorney's Office investigation and subsequently an Information, the factual basis of which is identical to, and gave rise to, the federal investigation presently underway. In connection with my earlier representation of Mr, Epstein, I hired Mr. William as a private investigator to act under my direction in anticipation of defending Mr. Epstein against possible criminal charges and any litigation which may have followed. All his investigations were done as my agent and thus are covered by the work product privilege, and all communications to him are protected by the attorney client privilege. Though we are not conceding the existence of any computers that would be 1 1 responsive to the subpoena served upon Mr. to the extent there are any such computers, they would contain documents a . are privileged attorney-client communications and attorney work-product. Your subpoena also asks for materials describing the scope of bib investigation and thus they are our work product. 2019. Biscayne Boulevard, Suite 1300 • Miami, Florida 33131 • Phone: Fax: • www.RoyBlack.com EFTA00179058
Page 93 / 267
07/16/2007 09:46 , Esq. July 13, 2007 Page 2 BLAdK SREB 8 KORN PAGE .03 As you know, the United States Attorney's Office Manual, Guidelines for Issuing Grand Jury and Trial Subpoenas to Attorneys for Information Relating to the Representation of Clients, requires that the attorney client and work-product privileged information sought by the Grand Jury subpoena issued to Mr. Riley must first be authorized by the Assistant Attorney General for the Criminal Division before it may issue. Therefore, please advise me as to whether the applicable sections of the United States Attorney's Office Manual was complied with prior to the issuance of the Grand Jury subpoena to Mr. Riley. Please also advise as to the preliminary steps taken in advance of the issuance of the subpoena, as required by the Manual. Finally, please provide me with the name of the Assistant Attorney General of the Criminal Division who undertook the evaluation of the request for the Grand Jury subpoena, as required by the same section of the Manual and, if an evaluation was made, the basis upon which the Assistant determined that the information sought in the subpoena was not protected by a valid claim of privilege. RB/wg Sincerely, R4i► Black Black. SrebnIck, Komspan & Stumpf, P.A. EFTA00179059
Page 94 / 267
EXHIBIT G EFTA00179060
Page 95 / 267
07/10/2007 09:33 FAX USA0 WPB FL 0003/003 U.S. Department of Justice United States Attorney Southern District of Florida 500 South Australian Ave., Suite 400 ch, FL 33401 Facsimile. VIA FACSIMILE Roy Black, Esq. Black Srebnick Kornspan & Stumpf P.A. 201 S. Biscayne Blvd, Suite 1300 Miami, FL 33131 Re: Correspondence Dated July 13. 2007 Dear Mr. Black: July 16, 2007 Thank you for your letter ofJuly 13, 2007. You and your finn are neither a subpoenaed party nor counsel to a subpoenaed party. Accordingly, pursuant to the Federal Rules of Criminal Procedure, I an, not at liberty to discuss this matter with you. Moreover, it is not the practice of this Office to discuss internal Department of Justice policies with non-Justice Department personnel. If Mr. Riley believes he has cause to move to quash the subpoena, or if Mr. Epstein does for that matter, counsel for the respective parties should so move. Otherwise, we expect compliance by tomorrow, which includes a one-week extension already requested by Ms. Sanchez prior to Mr. Richey's appearance as counsel for Mx. Riley. cc: , Esq. William Richey, Esq. Lilly Ann Sanchez, Esq. Sincerely, IL Alexander Acosta United States Attorney Assistant United States Attorney EFTA00179061
Page 96 / 267
7 'c72OO7 9:5P All FROM: Will is L. Richey, P William L. Richey, P.A. TO: PAGE: nO, OF 003 "it;Viillii am L. Richey, P.A. F:ct: Lb!: grand Jury Subpoena 201 South Biscayne Boulevard 34th Floor, Miami Center Miami, Florida 33131-4325 Phone: Fax: K;siriiite:41*Rniit40 r e Esq. Front: Danise Townsend Date: 7/6/2007 9:55:27 AM Pages: 3 Ana ;lied is a Notice of Appearance for and TI is trait mittal is intended only for the use of the addressee and may contain information that is privileged, cc undent al and exempt from disclosure by law. If the reader of this transmittal is not the intended redpient, y: u ire wreby notified that any dissemination, distribution or copying of this communication is strictly ptahibite.l. If you have received this communication in error, please notify us immediately by telephone and re ur i thic original transmittal to us by mail. Thank you for your cooperation. If ycu ii we not received a clear and legible transmission or if there are any problems with this tit. I:15 MIS iion, please telephone us immediately at EFTA00179062
Page 97 / 267
7 .t/2on7 9:S8 AM FROM: Will, im L. Richey, P Williem L. Richey, P.A. TO: 1 PAGE: 002 OF OO8 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE NO. FGJ 07-103(WPB)/No. OLY-64 hl RE: Grand Jury Subpoena. NOTICE OF APPEARANCE William L. Richey, P.A.. hereby enters its appearance on behalf of William Riley all' I Riley Kiraly. in the above-captioned matter and requests that it be notified of all -airing dates herein and that any and all motions, petitions, applications, requests, demands, memoranda. briefs, notices, orders, opinions, and all such similar papers of an' nature or description, made or filed by anyone pertaining to any party herein or pe taining in any way to the case, be served upon it at the address set forth below. Respectfully submitted, WILLIAM L. RICHEY. P.A. 201 South Biscayne Boulevard 34th Floor, Miami Center Miami. Flori 1 Telephone: Facsimile: E-Mail: ILL AM L. RICHE Fla. Bar No. EFTA00179063
Page 98 / 267
A4 An FP : a. lu-y, 111:: 411. It. P TI PAGE: ai CERTIFICATE OF SERVICE I hereby certify that a true and correct copy of the foregoing was served by U.S. mz it and facsimile this da of July. 2007 to Assistant US Attrney, 500 South Australian Avenue, Suite 400, West Palm Beach. Florida 33401. EFTA00179064
Page 99 / 267
UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE NO. FGJ 07-103(WPB)/No. OLY-64 IN RE: Grand Jury Subpoena. NOTICE OF UNAVAILABILITY William L. Richey, counsel for WILLLIAM RILEY and RILEY KIRALY, hereby gives notice to this Honorable Court that he has scheduled a business trip out of the country to Lagos, Nigeria from July 20, 2007 through and including July 31, 2007. This trip has been coordinated with several other parties to the matter and involves meetings with local law enforcement, other lawyers and accountants. Additionally, substantial security has been arranged for the parities. Undersigned counsel respectfully requests that no pleadings, discovery, hearings, notices, etc., be filed/scheduled in this matter during such time. Respectfully submitted, WILLIAM L. RICHEY, P.A. 201 South Biscayne Boulevard 34th Floor, Miami Center Miami, Florida 33131 Telephone: Facsimile: E-Mail: ILLI • M L. Fla. Bar No. EFTA00179065
Page 100 / 267
CERTIFICATE OF SERVICE I hereby certify that a true and correct copy of the foregoing was served by U.S. mail and facsimile this—C y of July, 2007 to , Assistant US Attorney, 500 South Australian Avenue, Suite 400, West Palm Beach, Florida 33401. EFTA00179066