📄 Extracted Text (2,302 words)
NAP F.dl
FD-448 FEDERAL BUREAU OF INVESTIGATION
Reviled
10.27.2004 FACSIMILE COVER SHEET
PRECEDENCE
r Immediate r PrturIty r Routine
CLASSIFICATION
r Top Secret r Secret r Confieent itir a Sensitive r Un class fled
TO
Name of Office: Facsimile Number, Date:
U.S. Attorney's Office - Miami (305) 536-4101 03/16/2010
Attn: Room: Telephone Number:
Maritsa Arbasu (305) 961-9339
FROM
Name of Office: Number of Pages: (including cover)
P8I Miami, Chief Division Counsel
Originator's Herne: Originator's Telephone Number: Originators FaCSirrillit Number:
PLS Deyanks Aponte (305) 787-6727 (305)787-6124
Approved'
PM
DETAILS
Subject:
Jane Does 2-7'. Jeffrey Epstein
Special Handling InstrucbOrtg:
Please let me know which AUSA will be assigned this matter. Thank you.
Brief Description of Communication Fazed:
WARNING
Information attached to the cover sheet is U.S. Government Property. If you are not the intended recipient of this Information disdosure,
reproduction. distribubon, or use of this information S prohibited (10.USC, g 641). Please notify the originator or local FBI Office
immediately to arrange for proper disposition.
FO -44,3 (Revised 10.27-2004) Facie I or I FEDERAL BUREAU OF INVESTIGATION
EFTA00207713
ripP-1G-241114 11:11
U.S. Department of indict
Ftdcral Bureau of Investigation
In Rep!). Pitasc Rev Co
File No.
& U.S. Mail
Jessica D. Arbour, Esq.
Mame!stein & Horowitz, PA
18205 Biscayne Blvd., Suite 2218
Miami, Florida 33160
Re: Jane Doe 2-7'. Jeffrey Epstein
Dear Ms. Arbour:
We are in receipt of your subpoena and letter dated March 12, 2010. Please be
advised that the FBI response to this request is governed by the provisions of Title 28, Code of
Federal Regulations (CFR), Section 16.21 et seq, and the Privacy Act (Title 5, United States
Code, Section 552a). These regulations specify that no employee of the Department of Justice,
past or present, shall in response to a demand, produce or disclose information unless there is
compliance with the applicable provisions. The procedure is mandatory and governs state and
federaltroceedings and has been upheld in the United States Supreme Court. Sec U.S. cx rel,
to uhy Ragan, 340 U.S. 462 (1951).
In addition, the Privacy Act (Title 5, U.S.C., Section 552a(b), prohibits the release
of agency records pertaining to an individual, or information from those records, for a non law
enforcement purpose. The FBI may not disclose this information without the notarized written
consent of each record subject, or an order from a court of competent jurisdiction authorizing its
disclosure by the FBI. In the absence of either the notarized consent of the record subject, or an
appropnate court order authorizing disclosure, we are statutorily prohibited from releasing any
information to you.
As you noted in your letter you will seek a court order allowing for the release of
the records requested. Once the Privacy Act Order is issued, please provide a copy of the order
along with a letter complying with the Code of Federal Regulations directed to Chief Division
Counsel Frank Navas at the above address. In accordance with the above cited law and
regulations, we must receive the notarized consent or Privacy Act Order before any documents
may be released to you.
EFTA00207714
MAR-16-2010 11: 11 P.03
Should you require further assistance, please contact Paralegal Specialist Deyanira
Aponte at (305) 787-6727.
Very Truly Yours,
JOHN . DILLIES
Sped tin Charge
B9. FRANK NAVAS
Chief Division Counsel
2
EFTA00207715
We-16-2010 11:12 P.04
Mermelstein & Horowitz PA
attorneys at law Jessica D. Arbour
Tel 305.931 2200
Fax 305.931 0877
jarbouresexabuseattorney.com
18205 Biscayne Blvd.
Suite 2218
Miami, Florida 33160
vapor.sexabuseattomey.com
March 12, 2010
VIA PROCESS SERVER
Federal Bureau of Investigation
16320 Northwest Second Avenue
North Miami Beach, FL 33169
Re: Jane Does 2-7'. Jeffrey Epstein
To Whom It May Concern:
Enclosed please find federal subpoenas for the sworn statements of several witnesses taken
during the investigation of Jeffrey Edward Epstein between approximately 2006 and 2007. The
statements we seek are those given to the FBI by our clients, each of whom has brought suit as a Jane
Doe in the Southern District of Florida. The statements given to the FBI investigators are directly
relevant because the FBI investigation concerned the factual allegations underlying our clients'
claims in their lawsuits.
It is my understanding that you will also require either a signed waiver from each of the
women or a court order to release the information. I will move the court for an Order allowing you
to release this information to me.
If you need any farther information, please do not hesitate to contact me. Thank you.
Very truly yours,
ica D. Arbour
JDA/
EFTA00207716
11V-16-2010 11 12 P. 05
AO US (Row 06/09) Sobpotorr to Produce Donna kJonl000s. or Ogees or to Piaui Inipiimoo of Press Si nom
UNITED STATES DISTRICT COURT
for the
Southern District of Florida
Plaintiff
v. Civil Action No. 08-CY-80119- Mane
(If the sodas is onnans la moths diseict, Isms when.
Defendant
SUBPOENA TO PRODUCE DOCUMENTS, INFORMATION, OR OBJECTS
OR TO PERMIT INSPECTION OF PREMISES IN A CIVIL ACTION
To: Federal Bureau of Investigation, 16320 Northwest Second Avenue, North Miami Beach, Florida, 33169
dProduction: YOU ARE COMMANDED to produce at the time, date, and place set forth below the following
documents, electronically stored information, or objects, and permit their inspection, copying, testing, or sampling of the
material:
See Schedule A es attached.
Place: Merrnelstein & Horowitz, P A. `Date and Time
04102/201010:00 am
3 Inspection of Premises: YOU ARE COMMANDED to permit entry onto the designated premises, land, or
other property possessed or controlled by you at the time, date, and location set forth below, so that the requesting party
may inspect, measure, survey, photograph, test, or sample the property or any designated object or operation on it.
Place: Date and Time:
The provisions of Fed. R. Civ. P. 45(c), relating to your protection as a person subject to a subpoena, and Rule
45 (d) and (e), relating to your duty to respond to this subpoena and the potential consequences of not doing so, are
attached.
D
CLERK OF COURT
OR
Signature of Clerk or Deputy Oa Attarney's signature
The name, address. e-mail, and telephone number of the attorney representing rt./parry) PLAINTIFF
, who issues or requests this subpoena. are:
Stuart Mermelstein, Adam Horowitz, Jessica Arbour, Mermelstein & HolowgZ, P.A., 18205 Biscayne Blvd., Suite 2218,
Miami, FL 33160, (305) 931-2200, jarbourgsexabuseattomey.com,
EFTA00207717
MAR-16-2010 11:12 P. e€,
AO US (Rev 0&09) Subpoena sa Please Documents. Inceemarron. or OSreca Petri :!IPAICLO• 01 Pt41111•1111• Civil AC0011 (Pia 2)
Civil Action No. 08-CV-80119- Marra
PROOF OF SERVICE
Mar section should not be filed with the court unless required by Fed. R. Civ, P. 45.)
This subpoena for (name of individual and lido, LI any/
was received by me on (date)
3 I send the subpoena by delivering a copy to the named person as follows:
on (date) ; or
O I returned the subpoena unexecuted because:
Unless the subpoena was issued on behalf of the United States, or one of its officers or agents, I have also
tendered to the witness fees for one days attendance, and the mileage allowed by law, in the amount of
S
My fees are S for travel and S for services, for a total of S 0.00
I declare under penalty of perjury that this information is true.
Daft.
Servee'r tri:Mae
Printed name and title
Server's address
Additional information regarding attempted service, etc:
EFTA00207718
P.
MR-16-2010 11 12
AO 588 (Rev efil09)Suhreenit to Produce Documenu, Infennahoh or Objects or v Permit Inspection of Premise.. in • Crel Actow(Priv
Federal Rule of Civil Procedure 45 (c), (d), and (e) (Effective 12/1/07)
(c) Protecting a Person Subject to a Subpoena. (d) Duties in Responding tea Subpoena.
(1) Avoiding Undue Burden or Expense; Sanctions, A party or (I ) Producing Documents or Electronics* StoredInformation.
attorney responsible for issuing and saving a subpoena must take These procedures apply to producing documents or electronically
reasonable steps to avoid imposing undue burden or expense on a stored information.
person subject to the subpoena. The issuing coup must enforce this (A) Document. A person responding to a subpoena to produce
duty and impose an appropriate sanction — which may include lost documents must produce them as they arc kept in the ordinary
earnings and reasonable attorney's fees— on a party or attorney course of business or must organize and label them to correspond to
who fails to comply. the categories in the demand
(2) Command to Product Materials or Pane Inspection. (B) Form for Producing Electronically Stored Warmation Nor
(A) Appearance Not Required A person commanded to produce Specified If • subpoena does not specify a form for producing
documents, electronically stored information, or tangible things, or electronically stored information, the person responding must
to permit the inspection of premises, need not appear m person at the produce it in a for or forms in which it is ordinarily maintained or
place of production or inspealon unless also commanded to appear in • reasonably usable form or forms.
for a deposition, hearing, or trial. (C) Lieaxonicolfr Stored Wornscrtion Produced in Only Ore
(B) Objections. A person commanded to produce documents or Form. The person responding need not produce the same
tangible things or to permit inspection may serve on the party or electronically stored information in more than one form.
moray designated in the subpoena a written objection to (D) Inaccessible Electronically StavedInformation. The person
inspecting. copying, testing or sampling any or all of the materials or responding need not provide discovery of electronically stored
to inspecting the premises — or to producing electronically stored information from sources that the person identifies as not reasonably
infatuation in the form a forms requested. The objection must be accessible because of undue burden or cost. On motion to compel
saved before the earlier of the time specified for compliance or 14 discovery or for a protective order, the person responding must show
Jays after the subpoena is saved. If an objection is made, the that the information is not reasonably accessible because of undue
following rules apply. burden or cost ff that showing is made, the court may nonetheless
(a) At any time, on notice to the commanded person, the serving order discovery from such sources if the requesting party shows
party may move the issuing court for an order compelling production good cause, considering the limitations of Rule 26(bX2XC). The
or Inspection. court may specify conditions for the discovery
(ra) These acts may be required only as directed in the order, and (2) Claiming Privilege or Protection.
the order must protect a person who is neither a pony nor a party's (A) Information Withheld A person withholding subpoenaed
officer from significant expense resulting from compliance. information under a claim that it is privileged or subject to
(3) Pr asking or Mollifying a Smhpoena. protection as trial-preparation material must:
(A) When Required On timely motion, the issuing court must expressly make the claim; and
quash or modify a subpoena that. (ii) describe the nature of the withheld documents,
(a) fails to allow a reasonable time to comply. communications, or tangible things in a manner that, without
(ii) requires a person who is neither a party not a party's officer revealing information itself privileged or protected, will enable the
to travel more than 100 miles from where that person resides, is parties to assess the claim.
employed, or regularly transacts business in person — except that, (B) Information Produced If information produced in response to a
subject to Rule 45(oX3)(1))(iii), the person may he commanded to subpoena is subject to a claim of privilege or of protection as Mali
attend a trial by traveling from any such place within the state where preparation material, the person making the claim may notify any
the trial is held; party that received the information of the claim and the basis for it.
(iii) requires disclosure of privileged or other protected matter. if ARa being notified, a party must promptly return. sequester, or
no exception or waiver applies; or destroy the specified information and any copies it has; must not use
(1v) subjects a person to undue burden or disclose the information until the claim is resolved; must take
(B) When Permitted To protect a person subject to or affected by reasonable steps to retrieve the information if the party disclosed it
a subpoena, the issuing court may, on motion, quash or modify the before being notified: and may promptly presort the information to
subpoena if it requires; the court under seal for a determination of the claim The person
(i) disclosing • trade secret or other confidential research, who produced the information must preserve the information until
development, or commercial Information; the claim is resolved.
(il) disclosing an unretained expert's opinion or Information that
does not describe specific occurrences in dispute and results from (e) Contempt. The issuing court may hold in contempt a person
the expert's study that was not requested by a party; or who, having been saved, fads without adequate excuse to obey the
(ill) • person who is neither a party nor a pony's officer to tricot subpoena. A nonparty's failure to obey must be excused if the
substantial expense to travel more than 10O miles to attend trial. subpoena puma to require the nonparty to attend a produce at a
(C) Specifying Conditions at an Alternative In the circumstances place outside the limits of Rule 43(c)(3XAXii).
described in Rule 45(c)(1)(3). the court may, instead of quashing or
modifying a subpoena, order appearance or production under
specified conditions if the serving party:
(i) shows a substantial need for the testimony or material that
cannot be otherwise ma without undue huditiap, and
(ii) ensures that the subpoenaed person will be reasonably
comperaated.
EFTA00207719
MAR-16-2010 11:13 P.OB
Schedule A
Sworn statements taken during the investigation of Jeffrey Edward Epstein (358 El
Brillo Way, Palm Beach, FL, DOB: 01/20/1953) from the following:
TOTAL P.
EFTA00207720
ℹ️ Document Details
SHA-256
f3fc98f0de05cad0b1fa2c237787e1e52512eae4eadd10954d1555d9a12192b4
Bates Number
EFTA00207713
Dataset
DataSet-9
Document Type
document
Pages
8
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