📄 Extracted Text (664 words)
DRAFT 1
Tina Brown
Editor
Daily Beast
New York, NY
Re Jeffrey Epstein
Dear Ms. Brown
This letter is written for the purpose of requesting that you review both the
accuracy of a series of past articles originating with the Dail Beast, each
authored by one of the Daily Beast's contributing writers,
and the appropriateness of the Daily Beast disseminating any further articles
about Mr. Epstein — a very real likelihood, given an email sent to our client
by the writer, absent your intervention. We ask you to conduct this review
for the purpose of determining (a) whether the facts as stated in the prior
(and the prospective future) articles are accurate and (b) whether the
intensity of multiple repetitive articles is appropriate.
Mr. Epstein, as you may know, has completed his state sentence for events
that occurred over five years ago. There have been no allegations of any
improper conduct since the fall of 2005. Mr Epstein, instead, has returned to
his life as a philanthropist and financial advisor. The series of three articles
published on July 21, July 22, and July 29, 2010 have already done
significant damage to Mr. Epstein. Given that they contain provably
untruthful inaccuracies and omissions of material fact, we are asking you to
defer any future articles authored by Ms. until such a time as you
can review the articles, and, if possible, meet with us to discuss the subject
matter.
EFTA00625096
Without in anyway providing each inaccuracy, just several examples
should illustrate the seriousness with which we view the issue, and our
request for your intervention:
1. One of the two principal sources for Ms articles is a
see e: 7-22-10 article,
bulletpoint 5. Her name is
She is an untrustworthy biased source of information. The information
regarding her criminal charge and conviction and its direct relationship to
her motive to give false testimony was available confirmed to be known to
your reporter but omitted from her articles;
I. Mr. Epstein did not, as your articles claim, see eg 7-22-10 bullet point 4,
give Mr Brunel $1,000,000 to start his modeling agency;
molesting three 12 year olds as alleged by Ms. in her articles, sec cg
g-2-1-1-0-ner-bas-this-al•legatien-been-maile4n-pFier-ei.41-eases-as-allegeel-by
Ms.
Ne-eivil-plaintiff-has-ever-been-en-MrrEpstekils-planes-ar-naineil-in-his
allegations on 7 22 10;
-was-net-14-wheshe-eame-te4he-United-States-and4s
not 24 at the time of Ms. 7 21 10 article;
36. Ms. who is quoted by Ms. in her 7-21-10 article as
saying that Mr. Epstein told her the "younger the better" also told the
police in the very same tape recorded interview that Mr.thisaid
"he likes the girls that are between the ages of like 18 and 20"
Taped Interview, pg. 12);
84. Mr. Epstein never "committed" nor even considered (much less agreed)
to a 10 year federal sentence compare to Ms 7-21-10 contention)
a claim attributed to Ms second source plaintiff's attorney Brad
Edwards;
95. Ms. Ma deliberately omitted the important fact that attorney
Edwards is being sued by Mr. Epstein for wrongdoing related to his
partnership with Scott Rothstein, a perpertrator of the largest fraud in south
EFTA00625097
floridas history just as she omitted any context for the allegations attributed
to the prior bookkeeper see par 1 supra;
06.7 plaintiffs did not each receive $1,000,000 during the week of July 14,
2010 as claimed by Ms see 7-22-10;
-147. Mr. Epstein has not been accused of "sex trafficking", nor has he
committed "sex trafficking" nor is he, to the knowledge of any of his
attorneys, being investigated for "sex trafficking" despite Ms.
repeated allegations to the contrary, see articles of 7-21-10 bullet point 4 and
7-29-10. Given Ms concession in her 7-29-10 article that federal
sources declined to comment on such an incendiary allegation we would
question whether there exists a trustworthy source for this claim;
feemardinteumber-as-elaimed-by-Mse in her July 29, 2010 article
We request that you conduct an independent review of the integrity of the
three prior articles and delay disseminating a fourth until after the review.
We remain available to meet with you
YT
EFTA00625098
ℹ️ Document Details
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Bates Number
EFTA00625096
Dataset
DataSet-9
Document Type
document
Pages
3