# IN THE CIRCUIT COURT OF THE FIFTEENTH JUDICIAL CIRCUIT, IN AND FOR PALM BEACH COUNTY, FLORIDA CASE NO. 2008CF009381A STATE OF FLORIDA VS. {sup}`72` •••0 5.23tvot, rim Fri -n - -rno --rn• Defendant. °trig -1 rn n? r- -Sr% c JEFFREY EPSTEIN, n (--) # MOTION FOR AUTHORIZATION TO TRAVEL cp COMES NOW the Defendant, JEFFREY EPSTEIN, by a undersigned attorney his and moves this Honorable Court to enter an O uthorizing the Defendant's travel for business purposes related to ongoing litig pport thereof the Defendant would state as follows: - 1. The Defendant has been on c it control since July 22, 2009. - 2. The Defendant has beepin complete compliance with his conditions of community control since being g' aped on supervision. \-\-? 3. The Defendant wagiven permission to travel to New York on December 3, 2009 for the purposes of m c e74• ,with his attorney, Harry Susman. - 4. After b i . g ipgra led permission, the Defendant arranged his travel plans with his community ol fficer, Carmen Sloane, and traveled to New York in complete complianc he rules set forth by his community control officer. '6\\The Defendant needs to travel out of state for additional meetings with his attorneys to continue to review documents. See letter from Harry Susman attached hereto as Exhibit "A". - 6. Given the Defendant's complete compliance with the terms of supervision since being placed on community control on July 22, 2009, the Defendant's community control officer, Carmen Sloane, has no objection to the Defendant being given permission to travel for purposes related to his ongoing litigation as long as the dates and times of travel are cleared in advance and approved by his community control officer. WHEREFORE, the Defendant moves this Honorable Court to enter an Order authorizing the Defendant to travel for business purposes related to ongoing litigation as long as it is approved in advance by his community control officer. I HEREBY CERTIFY that a copy of the foregoing has been fur fax and mail to Barbara , Esquire, State Attorney's Office, 401 Nort ighway, West Palm Beach, Florida 33401 and to Carmen Sloane, Department f Car ections, 3444 South Congress Avenue, Lake Worth, Flor la 33461, this 160 December, 2009. > A,KWGOLDBERGER, ESQ. At/ rbiMkyy, Goldberger & Weiss, P.A. 2r Australian Avenue South to 1400 / West Palm Beach, Florida 33401 4\,(861Y659-08300 C ) Notida Bar No. 262013 SUSMAN GODFREY L.L.P. A REGISTERED LIMITED LIABILITY PARTNERSHIP SUITE 5100 1000 LOUISIANA STREET HOUSTON, TEXAS 77002-5096 (713) 651-9366 FAX (713) 654-6666 WWW.SUSMANGODFREY.COM SUITE 5100 901 MAIN STREET DALLAS, TEXAS 75202-3775 (214) 754-1900 SUITE 950 1901 AVENUE OF THE STARS LOS ANGELES, CALIFORNIA 90067-6029 (310) 789-3100 SUITE 3800 1201 THIRD AVENUE SEATTLE, WASHINGTON 98101-3000 (206) 516-3880 5TH FLOOR 654 MADISON AVENUE NEW YORK, NEW YORK 10005-8404 (212) 336-8330 HARRY P. SUSMAN DIRECT DIAL (713) 653-7875 DIRECT DIAL FAX (713) 654-6666 E-MAIL HSUSMAN@SUSMANGODFREY.COM December 7, 2009 *Via E-mail & First Class Mail* Jack Goldberger, Esq. Atterbury Goldberger & Weiss, P.A. 250 Australian Avenue South, Suite 1400 West Palm Beach, FL 33401-5012 Re: Jeffrey Epstein Dear Jack: On December 3, 2009, Jeffrey Epstein and I met with opposing counsel in New York City, New York on a matter to review certain confidential documents, which counsel only would provide for our review in his offices. The meeting was very helpful, but necessary time with Mr. Epstein was cut short due to his obvious time constraints. It is clear that the case requires considerable time, and is at the stage that we must review considerable additional documents and attempt to interview potential witnesses. It is impractical to bring the lawyers for the other side with their documents to Florida and Mr. Epstein's presence is required to prepare for and interview potential witnesses, who live in the New York area. We will need three more days of meetings with Mr. Epstein to determine our next course of action. Jack Goldberger, Esq. December 7, 2009 Page 2 As a result, I would request that you provide me with a period of three days when Mr. Epstein can be available in New York to continue to work with us on this matter. Thank you. Sincerely Many P o cc: Jeffrey Epstein