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Case 1:16-cv-03989-RJS Document 20 Filed 06/29/16 Page 1 of 3
THE MINTZ FRAADE LAW FIRM, P.C.
COUNSELORS AT LAW
271 MADISON AVENUE, I2'h FLOOR
NEW YORK, NEW YORK 10016
TELEPHONE OF COUNSEL
(212)486-2500 EDWARD C. KRAMER
JON M. PROBSTEIN
SEYMOUR REITKNECHr
'FELECOPIER JOSEF' 1 J. TOMASEK
(212)486-0701
June 29, 2016
Via E-mail
Hon. Richard J. Sullivan, D.J.
United States District Court
Southern District ofNew York
Thurgood Marshall United States Courthouse
40 Foley Square, Room 2104
New York, New York 10007
([email protected])
Re: Steven Jude Hoffenberg v. Jeffrey E.
Epstein, et al. (Index No. 1:16-cv-03989)
Dear Judge Sullivan:
Reference is made to the Defendants' letter to the Court (the "Defendants' Letter") which
was filed yesterday, June 28, 2016, via the Electronic Case Filing system for the Southern
District of New York. We totally disagree with the facts and conclusions which were raised in
the Defendants' Letter.
To properly resolve the issues raised in the Defendants' Letter, we believe that it is
necessary to evaluate the long history between Mr. Jeffrey E. Epstein and Mr. Steven J.
Hoffenberg and their involvement in Towers Financial Corporations' ("TFC") Ponzi fraud,
which includes many fraudulent securities offerings of promissory notes and bonds by TFC, (the
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Case 1:16-cv-03989-RJS Document 20 Filed 06/29/16 Page 2 of 3
"TFC Ponzi Fraud"). It is Mr. Hoffenberg's position that Mr. Epstein's fraudulent actions and
engagement in the TFC Ponzi Fraud with Mr. Hoffenberg and TFC resulted in over 200,000
victims and damages of over one billion ($1,000,000,000) dollars directly or indirectly from the
purchase of fraudulent securities consisting of promissory notes and bonds from TFC, (the "TFC
Victims") and from Mr. Epstein's original and subsequent actions.
Moreover, the Defendants' Letter raises several issues which demand joining the TFC
Victims in this litigation as co-plaintiffs with Mr. Hoffenberg.
Councilman George Cushingberry, Jr., Esq., for the City of Detroit, who was the
Chairman of the Appropriations Committee for the City of Detroit until 2010, originally
introduced Mr. Hoffenberg to the Retirement System City of Detroit, which is now one of the
TFC Victims. Mr. Hoffenberg has been in constant communications with Councilman
Cushingberry, Jr., Esq.'s Legislative Aide, and friend of Mr. Hoffenberg, Mr David Cavanagh,
who recently advised Mr. Hoffenberg that the Retirement System City of Detroit may join this
pending lawsuit before this Court to recover over one hundred twenty-five million
($125,000,000) dollars in damages from Mr. Epstein for his fraudulent actions pursuant to the
TFC Ponzi Fraud set forth in the Complaint.
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Case 1:16-cv-03989-RJS Document 20 Filed 06/29/16 Page 3 of 3
In view of the upcoming Fourth of July holiday weekend, we respectfully request
additional time until July 12, 2016, to respond to the Defendants' Letter in further detail with
respect to this matter in order to ensure that the interests of the TFC Victims are protected.
Respectfully submitted,
The Mintz Fraade Law Firm, PC
13
Alan P. Fraade
APF/Ilk
Cc: Gary H. Baise, Esq.
Mr. Steven Hoffenberg
Bennet J. Moskowitz, Esq.
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ℹ️ Document Details
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Bates Number
EFTA00594948
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3
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