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Privilege Log — Dated 2-23-2011 BATES DATE TO FROM DESCRIPTION OBJECTION Team privilege;irrelevant & reasonably calculated to …
Privilege Log — Dated 2-23-2011 BATES DATE TO FROM DESCRIPTION OBJECTION Team privilege;irrelevant & reasonably calculated to …
PRIVILEGED AND CONFIDENTIAL ATTORNEY-WORK PRODUCT REFLECTS PRIVILEGED ATTORNEY/CLIENT COMMUNICATIONS MEMORANDUM TO: FILE FROM: DARREN K. INDYKE RE: WRONGDOING BY ATTORNEYS IN THE EPSTEIN CRIMINAL MATTER DA…
ATTORNEY WORK PRODUCT PRIVILEGED AND CONFIDENTIAL MV's Bad Acts 1. All the actions and actors in this matter were entirely local to the State of Florida. The State had convened a grand jury which, after reviewing the evidence from…
POE & BURTON PLLC Privileged & Confidential Attorney Work Product DRAFT …
This communication may contain confidential and/or privileged information. If you are not the intended recipient (or have received this communication in error) please notify the sender immediately and destroy this communication. Any unauthorized copying, disclosure or distribution of the…
THIS DOCUMENT IS PROTECTED BY THE ATTORNEY CLIENT PRIVILEGE AND/OR THE ATTORNEY WORK PRODUCT PRIVILEGE AND/OR THE INVESTIGATOR CLIENT PRIVILEGE To: Darren Indyke From: William Riley / Christine Jannotti Date: March 29, 2011 Re: Epstein / Background re: Re: 8577R…
THIS DOCUMENT IS PROTECTED BY THE ATTORNEY CLIENT PRIVILEGE AND/OR THE ATTORNEY WORK PRODUCT PRIVILEGE AND/OR THE INVESTIGATOR CLIENT PRIVILEGE To: Robert Critton From: William Riley / Christine Jannotti Date: July 14, 2009 Re: Epstein / Background re: re File…
From: "Martin Weinberg" To: Jeffrey Epstein Subject: ATTORNEY-CLIENT PRIVILEGE Date: Mon, 27 Apr 2009 14:25:01 +0000 Attachments: Crimes_and_Criminal_Procedure_-_18_USC_Section_2255_-_US_Code.pdf Putting aside NPA, and your arguably…
From: Jeffrey Epstein To: Martin Weinberg Subject: Re: ATTORNEY-CLIENT PRIVILEGE Date: Mon, 15 Jun 2009 15:10:34 +0000 ok for me would you send me the numbers for the two of you On Mon, Jun…
From: Martin Weinberg To: Jeffrey Epstein Cc: Martin Weinberg Subject: ATTORNEY-CLIENT PRIVILEGE Date: Tue, 15 Mar 2011 15:24:26 +0000 The objective of the call is far more modest - it is to have give Roy…
From: "Martin Weinberg" < To: "Jeffrey Epstein" Subject: ATTORNEY-CLIENT PRIVILEGE Date: Fri, 29 May 2009 22:53:16 +0000 I'm sorry I'm at my son's college graduation in seattle followed by my 10th…
From: "Martin Weinberg" To: "Jeffrey Epstein" -4 Cc: ' „:1 - - Subject: ATTORNEY-CLIENT PRIVILEGE Date: Sat, 20 Feb 2010 20:01:49 +0000 First thoughts -Alfredo testified in depositions - committed perjury by saying everything he had he gave to Recarey - has…
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 8/15108 Emails between A. Acosta and A…
EPSTEIN - CVRA - JANE DOE'S DISCOVERY REQUESTS Highlights of DE 224,225 filed 8-16-13 challenging Govt assertions of privilege, 6(e) protections to vast majority of requested (and ordered) discovery: 1. Doc 225-1 pg 2 par 9…
…rigUIL9 COMO. • PelSovta 01 Malicious Prosecution and the Litigation Privilege by Tcd Babbitt The litigation privilege is an absolute or continuation of an original…
…Martin Weinberg" To: "Martin Weinberg" < >, "Jeffrey Epstein" Subject: Re: ATTORNEY-CLIENT PRIVILEGE Date: Sat, 20 Feb 2010 20:04:41 +0000 Leave it up to Bob to determine whether Alfredo's attys are opposing compulsion motion - I will…
To: Jeffrey Epsteinueevacation gmail.com] From: Sent e : :1 Office number goes to voicemail. What is the privileged number to reach my general? This message is confidential. It may also be privileged or otherwise protected by work product immunity or…
"Gmax" Fw: Please note that this e-mail and any files transmitted with it may be privileged, confidential, and protected from disclosure under applicable law. If the reader of this message is not the intended recipient, you…
…FLORIDA Case No. 08-80736-Civ-Marra/Matthewman JANE DOE #1 AND JANE DOE #2, Petitioners, v. UNITED STATES OF AMERICA, Respondent. UNITED STATES' NOTICE OF FILING SECOND SUPPLEMENTAL PRIVILEGE LOG Pursuant to the Court's June IS, 2013 Omnibus…
…FLORIDA Case No. 08-80736-Civ-Marra/Matthewman JANE DOE #1 AND JANE DOE #2, Petitioners, v. UNITED STATES OF AMERICA, Respondent. / UNITED STATES' NOTICE OF FILING SECOND SUPPLEMENTAL PRIVILEGE LOG Pursuant to the C…
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