EFTA00128731
305-9312,200
Herman & Mermelstein P
| Time | Amount |
| :--- | :--- |
| 3:11:28 p.m. | 17-03-2010 |
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# MERMELSTEIN & HOROWITZ PA
ATTORNEYS AT LAW
Miami, Florida 33160
www.sexabuseattorney.com
FAX TRANSMITTAL
| FROM | DATE | NO.OF PAGES |
| Lisa Rivera, legal assistant to Adam D. Horowitz, Esq. | February 17,2010 | 10 |
| TO | COMPANY | FAX NUMBER |
| Esq., Federal Bureau of Investigations | | |
| MESSAGE
RE: Jane Doe 2-7 v. Jeffrey Epstein
Please see attached Motion to Compel Production of Jane Does Nos. 2-7's Sworn Statements to FBI Investigators and Incorporated Memorandum of Law. |
THIS MESSAGE IS INTENDED ONLY FOR THE USE OF THE INDIVIDUAL OR ENTITY TO WHICH IT IS ADDRESSED AND MAY CONTAIN_INFORMATION THAT IS PRIVILEGED, CONFIDENTIAL AND EXEMPT FROM DISCLOSURE UNDER APPLICABLE LAW. IF THE READER OF THIS MESSAGE IS NOT THE INTENDED RECIPIENT OR THE EMPLOYEE OR AGENT RESPONSIBLE FOR DELIVERING THE MESSAGE TO THE INTENDED RECIPIENT, YOU ARE HEREBY NOTIFIED THAT ANY DISSEMINATION, DISTRIBUTION OR COPYING OF THIS COMMUNICATION IS STRICTLY PROHIBITED. IF YOU HAVE RECEIVED THIS COMMUNICATION IN ERROR, PLEASE NOTIFY US IMMEDIATELY BY TELEPHONE, AND RETURN THE ORIGINAL MESSAGE TO US AT THE ABOVE ADDRESS VIA THE U.S. POSTAL SERVICE. THANK YOU.
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Case 9:08-cv-80119-KAM Document 489 Entered on FLSD Docket 03/17/2010
Page 1 of 4
# UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA
CASE NO.: 08-CV-80119-MARRA/JOHNSON
JANE DOE NO. 2,
Plaintiff,
vs.
JEFFREY EPSTEIN,
Defendant.
Related Cases:
08-80232, 08-80380, 08-80381, 08-80994,
08-80993, 08-80811, 08-80893, 09-80469,
09-80591, 09-80656, 09-80802, 09-81092,
## PLAINTIFF JANE DOE NOS. 2-7'S MOTION TO COMPEL PRODUCTION OF JANE DOE NOS. 2-7'S SWORN STATEMENTS TO FBI INVESTIGATORS AND INCORPORATED MEMORANDUM OF LAW
Plaintiffs, Jane Does Nos. 2-7, by and through undersigned counsel, hereby file this Motion to Compel Production of Jane Doe Nos. 2-7's Sworn Statements to FBI Investigators and Incorporated Memorandum of Law, and state as follows:
1. These lawsuits arise from the alleged childhood sexual battery of Jane Doe Nos. 2-7 by Jeffrey Epstein ("Epstein").
2. Prior to the filing of the Plaintiffs’ lawsuits, Epstein was investigated by the Federal Bureau of Investigation (FBI). During the course of the FBI’s investigation, some or all of Jane Doe Nos. 2-7 were interviewed by FBI agents and asked to provide sworn statements about their sexual abuse by Jeffrey Epstein, the same abuse underlying
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| 31:48 p.m. | 17-03-2010 |
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Case 9:08-cv-80119-KAM Document 489 Entered on FLSD Docket 03/17/2010
Page 2 of 4
the factual allegations in the lawsuits now in front of this Court.
3. Pursuant to FBI protocol and the Federal Privacy Act, 5 U.S.C. § 552a(b), Plaintiff's undersigned counsel has served a subpoena on the Records Custodian of the FBI's Miami office requesting the sworn statements of Jane Doe Nos. 2-7 given to FBI agents during their criminal investigation of Jeffrey Epstein. See Exhibit “A.”
4. The FBI informed Plaintiffs' counsel that it requires further authorization in order to release the Plaintiffs' own sworn statements pursuant to the Federal Privacy Act. Counsel for the FBI has advised that an Order from this Court authorizing the FBI to release the requested statements would be sufficient. See 5 U.S.C. § 552a (b)(11). A proposed Order authorizing the FBI to release the subpoenaed statements is attached as Exhibit "B."
5. The requested statements are directly relevant and germane to the factual allegations underlying the Plaintiffs’ lawsuits and seemingly cannot be obtained by the Plaintiffs in any other way. Upon information and belief, the Defendant is already in possession of these documents.
6. Plaintiffs' counsel has conferred with counsel for the Defendant who advised that Defendant opposes the relief requested.
WHEREFORE, Plaintiffs, Jane Does Nos. 2-7, respectfully request an Order directing the Federal Bureau of Investigation to release any sworn statements of Jane Doe Nos. 2-7 given to the FBI during the criminal investigation of Jeffrey Epstein and any materials responsive to the subpoena served upon the FBI.
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Case 9:08-cv-80119-KAM Document 489 Entered on FLSD Docket 03/17/2010
## Certificate Pursuant to S.D.Fla.L.R. 7.1(A)(3)
Undersigned counsel has conferred with Defendant’s counsel in a good faith effort to resolve the issues raised in this Motion, and has been unable to do so.
Dated: March 17, 2010
Respectfully submitted,
By: s/ Adam D. Horowitz
Stuart S. Mermelstein (FL Bar No. 947245)
ssm@sexabuseattorney.com
Adam D. Horowitz (FL Bar No. 376980)
ahorowitz@sexabuseattorney.com
Jessica D. Arbour (FL Bar No. 67885)
jarbour@sexabuseattorney.com
MERMELSTEIN & HOROWITZ, P.A.
Attorneys for Plaintiffs
Miami, Florida 33160
Tel: [blank]
Fax: [blank]
## CERTIFICATE OF SERVICE
I hereby certify that on March 17, 2010, I electronically filed the foregoing document with the Clerk of the Court using CM/ECF. I also certify that the foregoing document is being served this day to all parties on the attached Service List in the manner specified, either via transmission of Notices of Electronic Filing generated by CM/ECF or in some other authorized manner for those parties who are not authorized to receive electronically Notices of Electronic Filing.
/s/ Adam D. Horowitz
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Case 9:08-cv-80119-KAM Document 489 Entered on FLSD Docket 03/17/2010 Page 4 of 4
# SERVICE LIST
DOE vs. JEFFREY EPSTEIN
United States District Court, Southern District of Florida
Jack Alan Goldberger, Esq.
jgoldberger@agwpa.com
Robert D. Critton, Esq.
rcritton@bclclaw.com
Bradley James Edwards
bedwards@rra-law.com
Isidro Manuel Garcia
isidrogarcia@bellsouth.net
Jack Patrick Hill
jph@searcylaw.com
Katherine Warthen Ezell
KEzell@podhurst.com
Michael James Pike
MPike@bclclaw.com
Paul G. Cassell
cassellp@law.utah.edu
Richard Horace Willits
lawyerwillits@aol.com
Robert C. Josefsberg
rjosefsberg@podhurst.com
By facsimile and U.S. Mail to:
Esq.
Chief Division Counsel
Federal Bureau of Investigations
16320 N.W. 2nd Avenue
North Miami Beach, FL 33169
4