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
EFTA00230786
1131 pages
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MARTIN a WEINBERG, P.C. ATTORNEY AT TAW 10 PARK PLAZA, SUITE IMO BOSTON, MASSACHUSETTS 02116 FAX NIGHT EMERGENCY: Assistant United States Attorney United States Attorney's Office Southern District of Florida 500 S. Australian Ave. West Palm Beach, Florida 33401 Re: Jeffrey Epstein Dear Ms. July 22, 2011 EMAIL ADDRESSES: MIN Roy Black forwarded to me your letter to him dated July 21, 2011, from the District Attorney of the County of New York. We thank you for providing notice of the intended disclosure but we do object to any disclosure of the Non-Prosecution Agreement and the related list of witness/victims on the basis of the confidentiality provisions of paragraph 13. Absent an enforceable subpoena - which we would have the right to move to quash in the Court from which it was issued - there exists no right or duty to disclose the confidential Non-Prosecution Agreement or the non-public witness/victim list which was referenced in paragraph 7 of the NPA. Further, given that the witness/victim list was compiled based on the federal grand jury investigation, we object under Fed. R. Crim. P. 6(e) to its disclosure absent an appropriate court order. Very truly yours, Martin G. Weinberg cc: Roy Black EFTA00231426
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07/22/2011 15:55 3053562006 BSKS PAGE 02 MARTIN G. WEINBERG. P.C. ATTORNEY AT LAW nitorEnAz4surreimo EMAIL ADDRESSES: sortm. mAsuaniszny nsrn tAx MOW EVERGEACY: AssistarRl.:iiit States Attorney United States Attorney's Office Southern District of Flo • 500 S. Australian Ave. West Palm Beach, Florida 33401 Re: Jeffrey Epstein Dear Ms. July 22, 2011 Roy Black forwarded to me your letter to him dated July 21, 2011, from the District Attorney of the County of New York. We thank you for providing notice of the intended disclosure but we do object to any disclosure of the Non-Prosecution Agreement and the related list of witness/ victims on the basis of the confidentiality provisions of paragraph 13. Absent an enforceable subpoena - which we would have the right to move to quash in the Court from which it was issued - there exists no right or duty to disclose the confidential Non-Prosecution Agreement or the non-public wiMessivietim list which was referenced in paragraph 7 of the NPA. Further, given that the witness/victim list was compiled based on the federal grand jury investigation, we object under Fed. R. Crim. P. 6(e) to its disclosure absent an appropriate court order. Very truly yours, / m dc k 2 Martin G. Weinberg cc: Roy Black EFTA00231427
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07/22/2011 15:55 3053582006 BSKS PAGE 01 BLACK SPEBNICK KOPNSPAN STUMPF TRIAL ATT0RNEYS Email: Roy Black Howard M. Srebn'ck Scott A. Kornspan Larry A. Stumpf Maria Neyra Jackie Perczek Mark A.J. Shapiro Jared Lopez Marcos Reaton, Jr. Jessica Fonseca-Nader Kathleen P. Philips Jenifer J. Souliklas Noah Fox Joshua Shore FACSIMILE TRANSMITTAL SHEET FAX: (305) 358-2006 TELEPHONE: (305) 371-6421 TO: AUSA ~., Esq. RE: )epaeti , N.v. -DAZ DATE: July 22, 2011 SENDER: Jackie Perczek NO. OF PAGES (INCLUDING TRANSMITTAL SHEET): 17/JO . MESSAGE: SIF YOU DO NOT RECEIVE ALL PAGES, PLEASE CALL (305) 371.6421e PACETIMS CORTADIS PRIMA:~ Ani C0111.21tanu, INTORRIATION 3Olt ORLY.POIL nopostor tki rzerviounot ABOVE. DT TRE RITADER OP THISPAOSIRHE inbOT T8E reut= Iterntlft OR PM ~LOM% OR »Mrt R6BPOR8BLS TOR DILIVICRINO IT TO TIM INTATORWRIORIPIMT, YOU Ans tamari Neem= THAT ARY MISIISTIRATTOR OR OOM«) 01 TIMPACEITIMS IS ITTRICTLY PITOICOMRD. &POR Adat MCLIVIW tuis PAOSIIMS ERROR. PLEAMISTERIAISLIMOTHTUSZY TICLEPHON; ARO RiprIMIT taz °MIMI MOSHILLR TOUR AT TM AZOVITADDRISS VIA 111Z 17.S. PORTAL ~Ot. TRAM TOR. Y 201 S. Eliscayne Boulevard. Suite 1300, Miami. Florida 33131 (F) iwww.royblack tom EFTA00231428
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U.S. Department of Justice
United States Attorney
Southern District of Florida
500 S. Australian Ave, Ste 400
West Palm Beach, FL 33401
Facsimile:
July 27, 2011
DELIVERY BY FACSIMILE
Martin G. Weinberg, Esq.
20 Park Plaza, Suite 1000
Boston, MA 02116
Re:
IttfiraMin
Dear Mr. Weinberg:
Thank you for your letter of July 22, 2011. In order to review and address the objections that
you raised in that letter, the Office deferred making its planned disclosure to the District Attorney
of the County of New York of the Non-Prosecution Agreement ("Agreement") and the list of
identified victims that was provided to Mr. Epstein pursuant to the Agreement. Nonetheless, after
completing a full review of your objections, the Office still intends to proceed with the planned
disclosures.
The Agreement requires the Office only to provide Mr. Epstein with notice prior to a
disclosure of the Agreement "[i]f the United States receives a Freedom of Information Act request
or any compulsory process"; the Agreement does not require Mr. Epstein's concurrence in any
disclosure. Contrary to your suggestion, the Agreement (including paragraph 13) also does not make
the Agreement itself "confidential." On the contrary, the Agreement expressly contemplates that
disclosures of the Agreement may be made, and the Agreement further contemplates, contrary to
your suggestion, that such disclosures of the Agreement may be made other than in response to
"compulsory process." Here, moreover, the District Attorney of the County of New York, as a local
law enforcement agency, has provided a legitimate request for disclosure of the requested
information, as well as a promise to maintain the confidentiality of the information, particularly the
names of the minor victims.
/ our objection pursuant to Federal Rule of CninmaiProcedure 6(e) also does not impact the
planned disclosures. The victim list itself is not grand jury material, and, thus, disclosure of that list
to the District Attorney's Office will not violate Rule 6(e).
If you wish to supply any additional authority (other than citation to Rule 6(e) and to
paragraph 13 of the Agreement) for your claims that the Office cannot disclose the Agreement and
EFTA00231429
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MARTIN WEINBERG, ESQ. JULY 27, 2011 PAGE 2 OF 2 the victim list to the District Attorney of the County of New York, we would be willing to consider those authorities before making any disclosure, provided that any such authorities are furnished to us before 5:00 p.m. on July 29, 2011. Otherwise, seeing no obstacle to the previously-planned disclosures, the Office will be disclosing copies of both the Non-Prosecution Agreement and the list of identified victims that was provided to Mr. Epstein to the District Attorney of the County of New York at 5:00 p.m. on July 29, 2011. Sincerely, Wifredo A. Ferrer By: IIII. cc: Deborah L. Morse, Assistant District Attorney, County of New York Roy Black, Esq. EFTA00231430
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United States Attorney's Office Southern District of Florida 500 S. Australian Ave., West Palm Beach, FL 33401-6235 DATE: 7/Z7/2 01/ TO: ititiVrim lAkiiva:XO ORGANIZATION: FAX #: SUBJECT: jerr" EeSTE/P4 FROM: (Fax) NUMBER OF PAGES, INCLUDING THIS PAGE: 3 COMMENTS: Original document: To follow via Federal Express To follow via hand delivery Nothirino follow, FAX = original EFTA00231431
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Fax Send Report Date/Time Fax Number Fax Name Model Name No. Name/Number 246 : JUL-27-2011 03:01PM WED : phaser 3300PFP StartTime Tine Mode Page Result 07-27 03:00PM 00'31 ECM (lotted Stale> AIN: ney's Office Southern Ulsiriet of Florida 500 S. Australiau Ave., West Palm Beach, Pl. 33401-0235 DATE. -7/£272Ciel— _. • — 70. Ates7a illeavApeit ORGANIZATION: FAX,: SIAUFCT: tirefflt feSX09_ .11— ( f"Afeje (Fax) FROM: NUMBER OF PAGES. INCLUDING t11IS PAGE: 3 - COMMENTS: Origentallocunmot 7u Sew via fagot.). snarl To foam via Federal ExweAS 7o Meow via hand Mine X Meiji° toast FAX r ()Arai 003/003 CO( EFTA00231432
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United States Attorney's Office Southern District of Florida 500 S. Australian Ave., West Palm Beach, FL 33401-6235 DATE: —7/2-7/Zip TO: belockain 11- ORGANIZATION: ive (A) 0,4( 6(5/rid orAtt FAX It: SUBJECT: sreri FROM: A . Marie Vi &AA-ex MI (Fax) NUMBER OF PAGES, INCLUDING THIS PAGE: 3 COMMENTS: Original document: Tn follow via rcgul To follow via Federal Express To follow via hand delivery X Nothinrto follow, FAX = original EFTA00231433
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Fax Send Report Date/Time : JUL-27-2011 03:03PM WED Fax Number Fax Name Model Name : Phaser 3300MFP NO. Name/Number startTime Time Mode Page Result 247 07-27 03:01PM 00'57 ECM lifiered Slam Alloracy's Office Somber,' NisINN of Ala 500 S. Austrahau Ave., West Palm Beach, 8.334014235 cals . 77/1 .7 4-00 — 1O: bakomin_ ORGANIZATION- tJQW etbisterlettlitenstiPEitii FAX a: SUBJECT- tT6..6r FROM- rax) NUMBER OF PAGES. INCLUDING THIS PAGE:.. _ _ COMMENTS: OrigitutIclownieni: x To letlow Ina 'oval mac lo follow wa Feder?' express To follow era hand delivery Nottunrio fNbw. FAX 's origwed 003/003 O.K EFTA00231434
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U.S. Department of Justice United States Attorney Southern District of Florida 500 S. Australian Ave, Ste 400 West Palm Beach, FL 33401 Facsimile: July 21, 2011 DELIVERY BY ELECTRONIC MAIL Roy Black, Esq. Black Srebnick Kornspan & Stumpf P.A. 201 S. Biscayne Blvd, Suite 1300 Miami, FL 33131 Re: ,Jeffrey Epstein Dear Mr. Black: On July 17, 2011, the Office received a written request from the District Attorney of the County of New York for a copy of the signed Non-Prosecution Agreement and the list of identified victims that was provided to Mr. Epstein pursuant to the Non-Prosecution Agreement. Pursuant to the District Attorney's request, the U.S. Attorney's Office intends to disclose these items to Deborah L. Morse, Assistant District Attorney, at 5:00 p.m. on Friday, July 22, 2011. Pursuant to the terms of the Non-Prosecution Agreement, the Office is hereby giving you notice of this intended disclosure. By: Sincerely, Wifredo A. Ferrer United States Attorn ss►stant m tates ttorney cc: Deborah L. Morse, Assistant District Attorney, County of New York EFTA00231435
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United States Attorney's Office Southern District of Florida 500 S. Australian Ave., West Palm Beach, FL 33401-6235 DATE: 7/21/2..0 r I TO: )1OLindri moyse ORGANIZATION: bi.hr/Ci - A FAX #: SUBJECT: FROM: (Fax) NUMBER OF PAGES. INCLUDING THIS PAGE: 2 - COMMENTS: Original document: To follow via Federal Express To follow via hand delivery X Nothirrto follow, FAX = original EFTA00231436
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Fax Send Report Date/Time : JUL-21-2011 02:08PM THU Fax Number Fax Name Model Name : Phaser 33001, SP NO. Name/Number StartTime Time Mode Page Result 211 07-21 02:07PM 00'25 ECM 002/002 O.K - • - United Stales Attorney's Office Southern District Of Florida 500 S. Australian Ave., West Palm Reach, VIL 33401-6235 DATE. 7 /21/loll TO: Dineati / /kwve n ORGANIZAI ION: FAX 0: SUBJECT: FROM. NUMBBROFPAGESJNCLUDINGTHSP COMMENTS: . avinardmmmat To w nr rirqu r via Fel J-r Express To via h. n d Avery Offikraw, AN'HorIgMal EFTA00231437
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2123359288 Fax: Jul 17 2011 10:15ps P001/002 DISTRICT ATTORNEY CYRUS R. VANCE, JR. otrucT Arrow/v. Date: To: Fax: From: OF THE COUNTY OF NEW YORK ONE HOGAN PLACE New York, N. Y. 10013 APPEALS BUREAU FAX DOCUMENT COVERSHEET FAX # Vi-dy /7_Zoft 4-45,4 Tel #: .335- 921.3 # of Pages 2- (includes cover sheet) IlAre 444 K URGENT K ROUTINE Deliver Immediately 0 Discuss with Appropriate Person(s) o As Requested Review and Comment K For Your Approval Take Necessary Action o For Your Information 0 Reply Via FAX K File Reply Via Messenger K Reply Directly K Progress Report o Investigate K Let's Discuss K Prepare Reply for Signature o Other Action To Be Taken/Additional Comments: art/7i - 6.4 AiA.. Atio eAkoj e A 414 he ?PAS. -rs IA/c /sorer, 2 • lg. t un, ei rkedele. rem_ Of ratio.; --4 )ciporA4 dictre—, EFTA00231438
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2123359288 Fax: DISTRICT ATTORNEY OF THE COUNTY OF NEW YORK ONE HOGAN PLACE Now York. N. Y. 10013 CYRUS R. VANCE, JR. 0MMUCT Arroromr , Esq. Assistant United States Attorney Office of the United States Attorney Southern District of Florida liaktralian Avenue West Palm Beach, Florida 334O1 Dear Ms. Jul 17 2011 10:15Pa P002/002 July 15, 2011 As we have discussed, I am currently working on the appeal brought by defendant Jeffrey Epstein In which he challenges his risk-offender designation under New York State's Sexual Offender Registration Act. The non-prosecution agreement between defendant and your Office would be of assistance to us in fashioning our response on appeal. I would appreciate it if you would send us a copy of that agreement, including the list of victims. Please let me know If you need any further information in order to make this material available. I appreciate your assistance, and courtesy, in this matter. Yours truly, e Deborah L. Morse Assi nt District Attorney EFTA00231439
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U.S. Department of Justice United Stales Attorney Southern District of Florida 500 S Australian Ave, Ste 400 West Palm Beach, FL 33401 (56!) 820-8711 Facsimile: July 21, 2011 DELIVERY BY ELECTRONIC MAIL Roy Black, Esq. Black Srebnick Komspan & Stumpf P.A. 201 S. Biscayne Blvd, Suite 1300 Miami, FL 33131 Re: Jeffrey Epstein Dear Mr. Black: On July 17, 2011, the Office received a written request from the District Attorney of the County of New York for a copy of the signed Non-Prosecution Agreement and the list of identified victims that was provided to Mr. Epstein pursuant to the Non-Prosecution Agreement. Pursuant to the District Attorney's request; the U.S. Attorney's Office intends to disclose these items to Deborah L. Morse, Assistant District Attorney, at 5:00 p.m. on Friday, July 22, 2011. Pursuant to the terms of the Non-Prosecution Agreement, the Office is hereby giving you notice of this intended disclosure. Sincerely, Wifredo A. Ferrer United States Attorne By: istant nit tates ttorney cc: Deborah L. Morse, Assistant District Attorney, County of New York EFTA00231440
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DISTRICT ATTORNEY OF THE COUNTY OF NEW YORK ONE HOGAN PLACE New York, N. Y. 10013 CYRUS R. VANCE, JR. OTRCT ATTORNEY May 6, 2011 , Esq. Assistant United States Attorney Office of the United States Attorney Southern District of Florida 500 S. Australian Avenue West Palm Beach, Florida 33401 Dear Ms. As I explained during our telephone conversation last week, I am currently working on an appeal brought by defendant Jeffrey Epstein. Defendant Epstein challenges the designation that he was given under New York State's Sexual Offender Registration Act. The underlying sexual misconduct at issue was the subject of an investigation and/or prosecution by your Office, as well as the Florida State's Attorney Office in Palm Beach County. I know that you handled the matter on behalf of your office when the case was presented to the federal grand jury. Those grand jury proceedings would be of assistance to us in fashioning our response on appeal, and I would appreciate it if you would send us a transcript of those roceedings. If we furnish the minutes to the appellate court, we would do under seal for the purpose of an in camera review. Please let me know if you need any further information in order to make the materials available. I appreciate your assistance, and courtesy, in this matter. Yours truly, Deborah L. Morse Assistant District Attorney EFTA00231441
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DISTRICT ATTORNEY OF THE COUNTY OF NEW YORK ONE HOGAN PLACE Now York, N. Y. 10013 CYRUS R. VANCE, JR. DISTRICT AITCRMEY August 15, 2011 , Esq. Assistant United States Attorney Office of the United States Attorney Southern District of Florida 500 S. Australian Avenue West Palm Beach, Florida 33401 Dear Ms. Pursuant to our conversation, I have enclosed copies of the brief and appendix filed by defendant Jeffrey Epstein on appeal, as well as a copy of our brief in response. I look forward to hearing your opinion. Yours truly, ti 6t 1 of Lc.) Deborah L. Morse Assistant District Attorney EFTA00231442
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New York County Clerk's Index No. 30129/2010 'sin 'Dark $ig:matte &curt APPELLATE DIVISION-FIRST DEPARTMENT PEOPLE OF THE STATE OF NEW YORK, Respondent, —against— JEFFREY E. EPsTEIN, Defendant-Appellant. APPENDIX CYRUS R. VANCE, JR. NEW YORK COUNTY DISTRICT ATTORNEY'S OFFICE One Hogan Place New Yor New York 10013 Attorneys for Respondent JAY P. LEFKOWITZ SANDRA LYNN MUSUMECI KIR1CLAND & ELLIS LLP 601 Lexington Avenue New York, New York 10022 Attorneys for Defendant-Appellant REPRODUCED ON RECYCLED PAPER EFTA00231443
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TABLE OF CONTENTS PAGE Appellant's Pre-Argument Statement, dated February 9, 2011 Al Appellant's Notice of Appeal, dated February 9, 2011 A3 Order Appealed From, dated January 18, 2011 with Notice of Entry A4 Palm Beach Police Department - Probable Cause Affidavit of Det. - Defendant dated May 1, 2006 A6 Palm Beach Sheriffs Office Booking Card for Jeffrey Epstein, dated July 23, 2006 A28 2006 Grand Jury Indictment of Felony Solicitation of Prostitution - Jeffrey E. Epstein A29 Information for Procuring Person under 18 for Prostitution - Jeffrey E. Epstein, dated June 26, 2008 A31 Guilty Plea for Felony Solicitation of Prostitution and Procuring Person under 18 for Prostitution - Jeffrey E. Epstein, dated June 30, 2008 A32 Judgment for Procuring Person under 18 for Prostitution - Jeffrey E. Epstein, dated June 30, 2008 A33 Sentence for Procuring Person under 18 for Prostitution - Jeffrey E. Epstein, dated June 30, 2008 A34 Community Control Standard Conditions, dated June 30, 2008 A35 Palm Beach Sheriffs Offiee-Beeking-Gard-for-Jeffrey--Epstein dated June 30, 2008 A47 EFTA00231444
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ii PAGE Order Granting Jeffrey E. Epstein's Motion for Travel, dated December 18, 2009 A48 Letter from Florida Department of Corrections Regarding Termination of Supervision, dated July 21, 2010 A49 Letter from Palm Beach Sheriff's Office Regarding Jeffrey Epstein's Participation in the Work Release Program, dated August 12, 2010 A50 Letter from Jack A. Goldberger to NYS Sex Offender Registry Regarding Florida Registration Level applicable to Jeffrey E. Epstein, dated August 12, 2010 A51 Letter from Martin G. Weinberg to NYS Board of Examiners of Sex Offenders Regarding Level and Designation Determination for Jeffrey Epstein, dated August 16, 2010 A53 Letter from Stephen R. Alexander, Psy.D. to Jack Goldberger Regarding Opinion of Jeffrey E. Epstein, dated August 16, 2010 A58 Recommendation of Board of Examiners of Sex Offenders, Including Risk Assessment Instrument, dated August 19, 2010 and Case Summary, dated August 23, 2010 A62 Letter from Supreme Court attaching Notification, Recommendation and Notice of Right to Appeal, dated August 26, 2010 A67 Letter from Supreme Court to Jeffrey E. Epstein informing of SORA Level Determination Hearing, dated August 26, 2010 A68 Order Sheet for Jeffrey Epstein, dated August 26, 2010 A69 Letter from Supreme Court to Counsel Informing of SORA Level Determination Hearing (with attachment), dated August 26, 2010 A71 EFTA00231445