📄 Extracted Text (289 words)
Smith Vittozor LLP
250 West 55th Street. 30th Floor
New York. NY 10019
SMITH VI LLAZOR
November 23, 2021
BY E-MAIL to
The Honorable Alison J. Nathan
United States District Judge
Southern District of New York
40 Foley Square
New York, New York 10007
Re: United States v. Maxwell. No. 20 Cr. 330
Dear Judge Nathan:
We represent the independent administrator of the Epstein Victims'
Compensation Program. We write regarding the Court's order, dated November 22, 2021,
denying motion to quash Maxwell's subpoena to her and ordering production of
the subpoenaed documents by November 24, 2021 at noon.
ends to comply with the Court's order and produce responsive
documents to the Court. However, given the volume of materials and the steps necessary to
ensure that documents produced fall within the scope of the subpoena, it is not possible to
produce all materials by noon tomorrow. We understand that the volume of potentially
responsive materials is approximately 6,000 to 7,000 pages, and we note that the original return
date for the subpoena was November 29, 2021 at 8:30am.
We intend to produce by noon tomorrow documents consisting of claim forms and any
narratives signed by the four individuals identified in the subpoena, payment records, and
releases executed by the four individuals. We intend to produce remaining responsive
documents as soon as possible thereafter and respectfully request until November 29, 2021 at
8:30am (the original subpoena return date) to complete production.
We are available should the Court have any questions.
Respectfully submitted,
/s/ Patrick J. Smith
Patrick J. Smith
Smith Villazor LLP
cc: Al.et , AUSA AUSA AUSA
Christian R. Everdell, Esq., Jeffrey S. Pagliuca, Esq., Laura A. Menninger,
Esq., Mark Stewart Cohen, Esq., Bobbi C. Stemheim, Esq. (by e-mail)
EFTA00087562
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EFTA00087562
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