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10/25/07 THU 13:18 FAX 305 530 8440 EXECUTIVE OFFICE Q002
U.S. Department of Justice
United States Attorney
Southern District of Florida
99 N.E. 4" Street
Miami, Fl 33132
Tel ■
Facsimile:
October 25, 2007
DELIVERY BY FACSIMILE
The Hon. Edward B. Davis (Ret.)
Akerman Senterfitt
Miami, Florida 33131
Re: Service as a Special Master
Dear Judge Davis:
Thank you for agreeing to serve as a Special Master and for assisting the
United States
Attorney's Office in the selection of an attorney representative
to represent a group of
identified victims. This letter is meant to assist you in performing
your duties by providing
you with background information regarding the agreement betwe
en the United States and
Jeffrey Epstein and the duties that the attorney representative will
have to perform.
The Federal Bureau of Investigation and the U.S. Attor
ney's Office conducted an
investigation of Mr. Epstein. As a result of that investigation, the
U.S. Attorney's Office and
Mr. Epstein entered into a Non-Prosecution Agreement and
an Addendum that contains,
inter alia, the following terms:
7A. The United States has the right to assign to an independen
t third-party the
responsibility for consulting with and, subject to the
good faith approval of
Epstein's counsel, selecting the attorney representative
for the individuals
identified under the Agreement. If the United State
s elects to assign this
responsibility to an independent third-party, both the United
States and Epstein
retain the right to make good faith objections to the attorney
representative
suggested by the independent third-party prior to the final
designation of the
attorney representative.
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TAE H014.EDWARD B. DAVIS (Bet)
Ocrkasetz 25, 2007
PAGE 2 OF 4
7B. The parties will jointly prepare a short written subm
ission to the
independent third-party regarding the role of the attorney repre
sentative and
regarding Epstein's Agreement to pay such attorney representa
tive his or her
regular customary hourly rate for representing such victims
subject to the
provisions of paragraph 7C, infra.
7C. Pursuant to additional paragraph 7A, Epstein has agreed
to pay the fees
of the attorney representative selected by the independent third
party. This
provision, however, shall not obligate Epstein to pay the fees
and costs of
contested litigation filed against him. Thus, if after considerati
on of potential
settlements, an attorney representative elects to file a contested
lawsuit
pursuant to 18 U.S.C. § 2255 or elects to pursue any other conte
sted remedy,
the paragraph 7 obligation of the Agreement to pay the costs
of the attorney
representative, as opposed to any statutory or other oblig
ations to pay
reasonable attorneys fees and costs such as those contained in § 2255
to bear
the costs of the attorney representative, shall cease.
8.If any of the individuals referred to [in the paragraphs above
] elects to file
suit pursuant to 18 U.S.C. § 2255, Epstein will not contest the
jurisdiction of
the United States District Court for the Southern District
of Florida over his
person and/or the subject matter, and Epstein waive
s his right to contest
liability and also waives his right to contest damages up to
an amount agreed
to between Epstein and the identified individual, so
long as the identified
individual elects to proceed exclusively under 18 U.S.C. §
2255, and agrees to
waive any other claim for damages, whether pursuant to
state, federal, or
common law. Notwithstanding this waiver, with respect to
those individuals
whose names appear on the list provided by the Unite
d States, Epstein's
signature on this agreement, his waivers and failures to conte
st liability and
such damages in any suit are not to be construed as
an admission of any
criminal or civil liability.
9.Epstein's signature on this agreement also is not to be
construed
admission of civil or criminal liability or a waiver
of any jurisdictional or
other defense as to any person whose name does not appear on
the list
provided by the United States.
1(1.Except as to those individuals who elect to proceed exclu
sively under 18
U.S.C. § 2255, as set forth in [the above paragraphs],
neither Epstein's
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'DIE HON.EDWARD B. DAVIS(RET.)
OCTOBER 25,2007
PAGE 3 OF4
signature on this agreement, nor its terms, nor any resulting waivers or
settlements by Epstein are to be construed as admissions or evidence of
civil or criminal liability or a waiver of any jurisdictional or other defense
as to any person, whether or not her name appears on the list provided by
the United States.
The most recent version of the statute referenced above, 18 U.S.C. § 2255,
provides that:
Any person who, while a minor, was a victim of a violation of section ... 2422
or 2423 of this title and who suffers personal injury as a result of such
violation, regardless of whether the injury occurred while such person was a
minor, may sue in any appropriate United States District Court and shall
recover the actual damages such person sustains and the cost of the suit,
including a reasonable attorney's fee. Any person as described in the
preceding sentence shall be deemed to have sustained damages of no less than
$150,000 in value.'
Section 2422 prohibits the use of a facility of interstate commerce to induce minors
to engage in sexual activity and prostitution, and section 2423 prohibits interstate travel for
the purpose of engaging in sexual activity or prostitution with minors. The United States has
identified 34 victims as defined by this statute. The United States takes no position as to the
validity of any such claim under this statute.
Due to the circumstances of the case and the number and caliber of the attorneys who
represent Mr. Epstein, in selecting the victims' attorney representative, the United States
suggests that you consider the following criteria:
1. Experience doing both plaintiffs' and defense litigation.
2. Experience with state and federal statutory and common law tort claims.
3. The ability to communicate effectively with young women.
4. Experience litigating against large law limn and high profile attorneys who
An earlier version of this statute deems that any person described in the preceding
sentence shall have sustained damages of no less than $50,000 in value.
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THE HON.EDWARD B. DAVIS (RET.)
OCTOBER 25, 2007
PAGE 4 OF 4
may test the veracity of the victims' claims.
5. Sensitivity to the nature of the suit and the victims' interest in
maintaining
their privacy.
6. Experience litigating in federal court in the Southern District
of Florida.
7. The resources to hire experts and others, while working on a contin
gency
fee basis, in order to prepare for trial, if a settlement cannot be
reached
(defense counsel has reserved the right to challenge such litigation).
8. The ability to negotiate effectively.
Pursuant to this letter, the United States assigns to you the responsibil
ity for consulting
with and selecting the attorney representative for the individuals
. The United States and
Epstein retain the right to make good faith objections to the
attorney representative you select
prior to the final designation of the attorney representative.
In that regard, after you have
reached a decision regarding the attorney representative, pleas
e provide me with his or her
name and contact information.
If I can provide you with any further information, please do
not hesitate to contact me
and/or the U.S. Attorney and/or Jay Lefkowitz, Esq. on behal
f of Epstein. Mr. Lefkowitz can
be reached at - Kirkland & Ellis LLP, Citigroup Center,
New York, New York 10022-4611. Thank you again
for your assistance with this matter.
Sincerely,
R. Alexander Acosta
United States Qttorney
By: weh
Jeffrey Sloman
First Assistant United States Attorney
cc: AUSA A. Marie Villafana
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