📄 Extracted Text (750 words)
Case 1:15-cv-07433-RWS Document 223-6 Filed 06/16/16 Page 1 of 4
EXHIBIT 6
Case 1:15-cv-07433-RWS Document 223-6 Filed 06/16/16 Page 2 of 4
· From: Martin G. Weinberg
Sent: Thursday, May 26, 2016 6: 13 PM
To: Sigrid McCawley
Cc: [email protected] ; [email protected] ; br,[email protected] ;
cassello©law.ytah.edu ; Meredith Schultz ; [email protected]
Subject: Re: SERVICE - Epstein Deposition
Hi Sigrid. Mr. Epstein is in agreement to proceed with a VI deposition and to accept service
for that deposition. I understand the issue expressed below and will prgmptly communicate
with Ms Maxwell's counsel in order to determine her position.
Thanks, Marty
From: Sigrid McCawley
Sent: Thursday, May 26, 2016 5:45 PM
To: Martin Weinberg
Cc: [email protected] ; mailto:[email protected] ; [email protected] ;
mailto:[email protected] ; Meredith Schultz
Subject: RE: SERVICE - Epstein Deposition
Hello Marty,
Thank you for your response regarding our subpoena to Jeffrey Epstein. You have
represented that Mr. Epstein will agree to accept service of the subpoena, "reserving his
rights to contest the breadth of the subpoena and whether a deposition should be required
at all given his articulated and principled intention to assert the Fifth Amendmentin
response to questions addressing the subject matter of the Giuffre v. Maxwell lawsuit" if
we can accommodate his request to have the deposition take place near Mr. Epstein's
Virgin Island residence.
of
We can agree on behalf Ms. Guiffre to accommodate Mr. Epstein's location request,
however, in an abundance of caution so that there is no misunderstanding, I have copied
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Case 1:15-cv-07433-RWS Document 223-6 Filed 06/16/16 Page 3 of 4
counsel for Ms. Maxwell for whom Mr. Epstein is in a joint defense agreement with, to
confirm their agreement. If Ms. Maxwell's counsel does not agree to Mr. Epstein's
deposition location request, then I will have to proceed with the Alternative Service Motion
relating to Mr. Epstein that we have filed to have the Court confirm alternative service of
Mr. Epstein in NY and the deposition in NY.
If you have not already done so, I ask that you please confer with your joint defense
counsel and confirm with us that both Ms. Maxwell and Mr. Epstein are in agreement to
proceed as you proposed with the deposition location in the Virgin Islands.
Thank you,
Sigrid
Sigrid S. McCawley
Partner
BOIES, SCHILLER & FLEXNER LLP
401 East Las Olas Blvd., Suite 1200
Fort Lauderdale, FL 33301
Phone: 954-356-0011 ext. 4223
Fax: 954-356-0022
http://www.bsfllp.com
From: Martin Weinberg [mailto:[email protected]
Sent: Thursday, May 26, 2016 12:11 PM
To: Sigrid McCawley; Martin Weinberg
Subject: SERVICE - Epstein Deposition
Sigrid, I am authorized to accept service conditioned on the deposition being
located near Mr. Epstein's Virgin Island residence which you indicated in
your email of May 25 was acceptable to you, on a date and location (close to
but not at the residence) that would. be agreeable to all parties, and on Mr.
Epstein's reservation of all rights to contest the breadth of the subpoena and
whether a deposition should be required at all given his articulated and
principled intention to assert the Fifth Amendment in response to questions
addressing the subject matter of the Giuffre v Maxwell lawsuit. Let me know
if this resolves the service issue and if so a good time to discuss or
exchange emails on dates and other specifics.
Marty
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Case 1:15-cv-07433-RWS Document 223-6 Filed 06/16/16 Page 4 of 4
Martin G. Weinberg, Esq.
20 Park Plaza '
Suite 1000
Boston, MA 02116
(617) 227-3700 - Office
(617) 901-3472 - Cell
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ℹ️ Document Details
SHA-256
d783af3f59fb81e9f7017b95432ba991fdc978193bee33ba6ff092e4c6137f51
Bates Number
gov.uscourts.nysd.447706.223.6
Dataset
giuffre-maxwell
Document Type
document
Pages
4
Comments 0