📄 Extracted Text (426 words)
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF NEW YORK
CASE NO. 17 Civ 616 (JOK )
Plaintiff,
VS.
JEFFREY EPSTEIN, GHISLAINE
Defendants.
DEFENDANT
INITIAL RULE 26(a)(I)(A) DISCLOSURE STATEMENT
Defendant by and through her attorneys, Steptoe & Johnson LLP,
hereby submits her Initial Disclosures pursuant to Rule 26(a)( I )(A) of the Federal Rules of Civil
Procedure based upon information currently known or available.
PRELIMINARY STATEMENT
=njoys the protections of the self-incrimination clause of the Fifth Amendment to
the United States Constitution (the "Fifth Amendment"). It is it= express intent in this
Disclosure Statement to claim the fullest possible protection of the United States Constitution.
■does not intend by any of her disclosures to waive such protection and requests that, in
cases of any doubt or ambiguity, her disclosures be construed as an assertion rather than a waiver
of such privilege. also reserves her right to amend her disclosures without compromising
her rights under the Fifth Amendment.
In addition, the production of any documents referred to in this Disclosure Statement
shall not be construed to waive: (i) the attorney-client privilege and/or the work-product doctrine,
either generally or as they may attach to particular documents; or (ii) the admissibility of the
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documents in this case. This Disclosure Statement shall not in any way constitute a waiver of
M defenses. ■ reserves her right to supplement and amend these Initial Disclosures as
discovery proceeds and additional information becomes known or discoverable without
compromising any of the aforementioned rights, privileges, protections, or the admissibility of
any documents.
Disclosures
I. Rule 26(a)(1)(A)(i) Disclosures
■asserts her right under the Fifth Amendment to decline to make this disclosure.
IL Rule 26(a)(1)(A)(ii) Disclosures
asserts her right under the Fifth Amendment to decline to make this disclosure.
III. Rule 26(a)(1)(A)(iii) Disclosures
■does not currently claim any damages in connection with this action.
IV. Rule 26(a)(1)(A)(iv) Disclosures
Subject to and without compromising any of the above-referenced rights, privileges,
protections, and/or the admissibility of any documents, has no insurance agreements under
which an insurance business may be liable to satisfy all of part of a possible judgment or to
indemnify or to reimburse for payments made to satisfy the judgment.
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Dated: August 28, 2018
New York, New York
STEPTOE & JOHNSON LLP
By: /s/ Michael C. Miller
Michael C. Miller
Attorneys or De endants Jeffrey Epstein,
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CERTIFICATE OF SERVICE
I hereby certify that, on August 28, 2018, I served the foregoing document via e-mail on
the counsel of record for all parties appearing in this matter.
/s/ Justin Y.K. Chu
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ℹ️ Document Details
SHA-256
ce18623103153149f3d3e6107757a2401845d42d78f5ca0bd56d58824a273351
Bates Number
EFTA00310344
Dataset
DataSet-9
Document Type
document
Pages
4
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