EFTA01365506.pdf
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From: Daniel Sabba
Sent: 2/1/2016 3:05:24 PM
To: Todd Stevens
Subject: RE: Epstein account opening II)
The issue is that JE was listed as president of Gratitude America Ltd in the entity's original articles of incorporation.
Additionally, JE was listed as the source of funds in the initial KYC done by Paul's team.
When An reached out to Middle Office, they looked at the KYC and flagged the request as "high risk" and asked us to get
AML approval. As you recall, we already went to AML (Wayne Salit) to ask whether the account opening could be done.
Wayne was the one who referred us to RRC.
When we went to the RRC, they requested an external updated Enhanced Due Diligence Report. The entire back and
forth over the past week is on the request for this report, which is under Paul's review for sign-off.
In summary, first, the KYC does not reflect this is a separate relationship. Second, given the post-facto nature of the
changes in the article of incorporation, I think AML/RRC are very likely to still require the due diligence report.
From: Todd Stevens
Sent: Friday, January 29, 2016 4:59 PM
To: Daniel Sabba
Subject: Fwd: Epstein account opening [I]
Thoughts? What is JE's role here?
Begin forwarded message:
From: Paul Morris <
Date: January 29, 2016 at 2:03:59 PM EST
To: Todd Stevens <
Subject: FW: Epstein account opening Dj
Classification: For Internal use only
Todd, so why are we doing this? This should be separate relationship
Paul Morris
Managing Director
Deutsche Bank Private Bank
Office:
Cell.
From: Ariane Dwyer
Sent: Friday, January 29, 2016 1:59 PM
To: Paul Morris; Daniel Sabba
Cc: Todd Stevens; Vahe Stepanian; Mark Frankel
Subject: RE: Epstein account opening [I]
Hi Paul,
That is correct.
Best,
CONFIDENTIAL - PURSUANT TO FED. R. CRIM. P. 6(e) DB-SDNY-0056266
CONFIDENTIAL SDNY_GM_00202450
EFTA01365506
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EFTA01365506
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