EFTA00179621 Case 9:08-cv-80736-KAM Document 224-1 Entered on FLSD Docket 08/16/2013 Page 1 of 70 ## EXHIBIT A PRIVILEGE LOG – WITH VICTIMS’ OBJECTIONS EFTA00179622 Case 9:08-cv-80736-KAM Document 224-1 Entered on FLSD Docket 08/16/2013 Page 2 of 70 ## PRIVILEGE LOG – WITH VICTIMS’ OBJECTIONS Key to Objections (linking to Victims’ Motion to Compel Production of Documents that Are Not Privileged) Objection General Objections -- ##
Abbreviation
Inadequate Privilege Log Failure to Prove Factual Underpinnings of Privilege Claim Inadequate Log No Factual Underpinnings Waiver of Confidentiality Government’s Fiduciary Duty to Crime Victims Bars Privilege Fiduciary Duty Waiver Communications Facilitating Crime-Fraud-Misconduct Not Covered Crime-Fraud-Misconduct Factual Materials Not in Anticipation of Litigation Documents Not Prepared in Anticipation of CVRA Litigation Ordinary Government Communication No Attorney-Client Relationship Attorney-Client Systems Ordinary Governmental Communications Not Covered Attorney-Client Relationship Not Established Improper Invocation Overriding Need Final Decision Exempted from Privilege Qualified Privilege Overridden By the Victims’ Need for the Documents Privilege Not Properly Invoked Final Decision Exempted from Privilege Investigative Privilege - Improper Invocation Overriding Need Privilege Not Properly Invoked Qualified Privilege Overridden By the Victims’ Need for the Documents Claims Against Public Prosecutor Overriding Need No Work Product Doctrine in the Context of a Claim Against Public Prosecutors Qualified Privilege Overridden By the Victims’ Need for the Documents Work Production Privilege Does No Apply When the Attorney’s Conduct is at Issu Attorney Conduct at Issue Rule 6(e) Court-Authorized Disclosure Not Covered Under Rule 6(e)(3)(E) The Court Has Inherent Power to Release Grand Jury Materials Victims Have Properly Petitioned for the Release of Grand Jury The CVRA Gives the Court Authority to Release Grand Jury Material Court Authorized Under 6(e)(3)(E) Court Inherent Power to Release Victim's Petition CVRA-authorized release Page 1 of 69 EFTA00179623 Case 9:08-cv-80736-KAM Document 224-1 Entered on FLSD Docket 08/16/2013 Page 3 of 70 Grand Jury Materials Can Be Severed from Other Materials Material Severable No Assertion by Victims Court-Compelled Disclosure
Bates RangeDescriptionPrivilege(s) AssertedVictims' Objections
Box #1P-000001thruP-000039File folder entitled“CORR RE GJSUBPOENAS”containing correspondence related to various grand jury subpoenas and attorney(Villafaña)handwritten notes6(e)Work ProductInadequate Log:No Factual Underpinnings;Fiduciary Duty:Not in Anticipation of Litigation;Claims Against Public Prosecutor;Overriding Need;Attorney Conduct at Issue;Factual Materials;Court Authorized Under6(e)(3)(E);Court Inherent Power to Release;Proper Victim's Petition;CVRA-authorized release;Material Severable;Overriding Need
Box #1P-000040thruP-000549Operation Leap Year Grand Jury Log containing subpoenas OLY-01 through OLY-81, correspondence and research related to enforcement of same, documents produced in response to some subpoenas;and attorney(Villafaña)handwritten notes6(e)Work ProductContains documents subject to investigative privilegeAlso contains documents subject to privacy rights of victims who are not parties to this litigationInadequate Log:No Factual Underpinnings;Fiduciary Duty:Factual Materials;Not in Anticipation of Litigation;Improper Invocation;Overriding Need;Claims Against Public Prosecutor;Attorney Conduct at Issue;Factual Materials;Court Authorized Under6(e)(3)(E);Court Inherent Power to Release;Proper Victim's Petition;CVRA-authorized release;Material Severable;Redaction;No Assertion by Victims;Overriding Need
Page 2 of 69 EFTA00179624
case 9:08-cv-80736-KAMDocument 224-1Entered on FLSD Docket 08/16/2013Page 4 of 70
Bates RangeDescriptionPrivilege(s) AssertedVictims' Objections
Box #1 P-000550 thru P-000621File folder entitled “Ritz Compact Flash SW” containing copies of a sealed search warrant application, warrant, and supporting documents6(e)
Contains information subject to investigative privilege
Also contains information subject to privacy rights of victims who are not parties to this litigation
Inadequate Log: No Factual Underpinnings; Fiduciary Duty; Factual Materials; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim's Petition; CVRA-authorized release; Material Severable; Redaction; No Assertion by Victims
Box #1 P-000622 thru P-000693File folder entitled “PNY Technologies Compact Flash SW” containing copies of a sealed search warrant application, warrant, and supporting documents6(e)
Contains information subject to investigative privilege
Also contains information subject to privacy rights of victims who are not parties to this litigation
Inadequate Log: No Factual Underpinnings; Fiduciary Duty; Factual Materials; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim's Petition; CVRA-authorized release; Material Severable; Redaction; No Assertion by Victims
Box #1 P-000694 thru P-000781File folder entitled “JE Corporations” containing attorney research on Epstein-owned corporations and prior litigationWork Product
Contains information subject to investigative privilege
Inadequate Log: No Factual Underpinnings; Fiduciary Duty; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue; Overriding Need
Box #1 P-000782 thru P-000803File folder entitled “Capital One” containing subpoena and correspondence6(e)Inadequate Log: No Factual Underpinnings; Fiduciary Duty; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim's Petition; CVRA-authorized release; Material Severable
Page 3 of 69 EFTA00179625 Case 9:08-cv-80736-KAM Document 224-1 Entered on FLSD Docket 08/16/2013 Page 5 of 70
Bates RangeDescriptionPrivilege(s) AssertedVictims’ Objections
Box #1 P-000804 thru P-000854File folder entitled “DTG Operations/Dollar Rent-a-Car” containing subpoena and responsive documents6(e)Contains documents and information subject to investigative privilegeAlso contains documents and information subject to privacy rights of victims who are not parties to this litigationInadequate Log: No Factual Underpinnings; fiduciary Duty; Factual Materials; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable; Redaction; No Assertion by Victims
Box #1 P-000855 thru P-000937File folder entitled “IP Morgan Chase” containing subpoena, correspondence, and responsive documents6(e)Contains documents and information subject to investigative privilegeInadequate Log: No Factual Underpinnings; fiduciary Duty; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable
Box #1 P-000938 thru P-000947File folder entitled “Washington Mutual” containing subpoena, correspondence, and responsive documents6(e)Contains documents and information subject to investigative privilegeInadequate Log: No Factual Underpinnings; fiduciary Duty; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable
Box #1 P-000948 thru P-000982File folder entitled “Computer Search &” containing legal research on computer search and handwritten notes on indictment preparationWork Product Attorney-clientContains information subject to investigative privilege.Also contains information subject to privacy rights of victims who are not parties to this litigationInadequate Log: No Factual Underpinnings; fiduciary Duty; Factual Materials; Not in Anticipation of Litigation; Ordinary Government Communication; No Attorney-Client Relationship; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue; Redaction; No Assertion by Victims
Page 4 of 69 EFTA00179626 Case 9:08-cv-80736-KAM Document 224-1 Entered on FLSD Docket 08/16/2013 Page 6 of 70
Bates RangeDescriptionPrivilege(s) AssertedVictims’ Objections
Box #1 P-000983 thru P-001007File folder entitled “Attorney Notes from Document Review” containing typed and handwritten attorney (Villafafa) notes, target letters, correspondence re grand jury subpoena6(e)
Contains information subject to investigative privilege. Also contains information subject to privacy rights of victims who are not parties to this litigation
Inadequate Log: No Factual Underpinnings; Fiduciary Duty; Factual Materials; Not in Anticipation Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable; Redaction; No Assertion by Victims
Box #1 P-001008 thru P-001056File folder entitled “Notes from Fed Ex Records” containing handwritten and typed attorney (Villafafa) notes and screen shots of FedEx subpoena response electronic fileWork Product
6(e)
Contains information subject to investigative privilege. Also contains information subject to privacy rights of victims who are not parties to this litigation
Inadequate Log: No Factual Underpinnings; Fiduciary Duty; Factual Materials; Not in Anticipation Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable; Redaction; No Assertion by Victims
Box #1 P-001057 thru P-001959File folder entitled “Colonial Bank Records” containing records received in response to grand jury subpoena6(e)
Contains information subject to investigative privilege
Inadequate Log: No Factual Underpinnings; Fiduciary Duty; Not in Anticipation Invocation; Overriding Need; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable
Page 5 of 69 EFTA00179627 Document 224-1 Entered on FLSD Docket 08/16/2013 Page 7 of 70
Bates RangeDescriptionPrivilege(s) AssertedVictims’ Objections
Box #1 P-002190 Thru P-002089File folder entitled “OLY Grand Jury Log Vol 2: OLY-51 THROUGH” containing subpoenas numbered OLY-51 through OLY-81 with related correspondence6(e) Contains information subject to investigative privilege. Also contains information subject to privacy rights of victims who are not parties to this litigationInadequate Log: No Factual Underpinnings; Fiduciary Duty; Factual Materials; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable; Redaction; No Assertion by Victims
Box #1 P-002090 Thru P-002169File folder entitled “Epstein Corporate Records: OLY-51, OLY-52, OLY-53, OLY-54” containing subpoenas, records received in response to subpoenas, and related correspondence6(e) Contains information and documents subject to investigative privilegeInadequate Log: No Factual Underpinnings; Fiduciary Duty; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable
Box #1 P-002170 Thru P-002246File folder entitled “Colonial Bank” containing subpoenas, correspondence related to subpoenaes, records received in response to subpoenas6(e) Contains information and documents subject to investigative privilegeInadequate Log: No Factual Underpinnings; Fiduciary Duty; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable
Box #1 P-002247 Thru P-002265File folder entitled “JEGE & Hyperion from Goldberger OLY-46 & OLY-47” containing documents received in response to subpoenas6(e) Contains information and documents subject to investigative privilegeInadequate Log: No Factual Underpinnings; Fiduciary Duty; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable
Page 6 of 69 EFTA00179628 Case 9:08-cv-80736-KAM Document 224-1 Entered on FLSD Docket 08/16/2013 Page 8 of 70
Bates RangeDescriptionPrivilege(s) AssertedVictims' Objections
Box #1P-002266ThruP-002386Indictment preparation binder containing:Grand jury subpoena log, evidence/activity summary chart, witness/victim names and contact list, attorney(Villafaña) handwritten notes, 302s, portions of state investigative file, attorney(Villafaña) typed notes, of individuals listed as“Additional victims”Work product6(e)Contains information and documents subject to investigative privilege.Also contains information and documents subject to privacy rights of victims who are not parties to this litigationInadequate Log: No Factual Underpinnings;Fiduciary Duty; Factual Materials; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue; Factual Materials; Court Authorized Under6(e)(3)(E); Court Inherent Power to Release; Proper Victim's Petition; CVRA-authorized release; Material Severable
Box #1P-002387ThruP-002769Indictment preparation binder containing:Grand jury subpoena log, evidence/activity summary chart, witness/victim names and contact list, attorney(Villafaña) handwritten notes, 302s, portions of state investigative file, attorney(Villafaña) typed notes, relevant pieces of grand jury materials, telephone records/flight records analysis charts,victim/witness photographs, DAVID records, NCICs,and related materials for persons identified asJane Does #15, 16, 17, 18, 19,Past Employees,Misc.WitnessesWork product6(e)Contains information and documents subject to investigative privilege.Also contains information and documents subject to privacy rights of victims who are not parties to this litigationInadequate Log: No Factual Underpinnings;Fiduciary Duty; Factual Materials; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue; Factual Materials; Court Authorized Under6(e)(3)(E); Court Inherent Power to Release; Proper Victim's Petition; CVRA-authorized release; Material Severable; Redaction; No Assertion by Victims
EFTA00179629 Case 9.08-cv-80/3b-KAM Document 224-1 Entered on FLSD Docket 08/16/2013 Page 9 of 70
Bates RangeDescriptionPrivilege(s) AssertedVictims' Objections
Box #1P-002770ThruP-003211Indictment preparation binder containing: witness/victim list with identifying information, sexual activity summary, telephone call summary chart, attorney(Villafaña) handwritten notes, 302s, portions of state investigative file, attorney(Villafaña) typed notes, relevant pieces of grand jury materials, telephone records/flight records analysis charts,victim/witness photographs,DAVID records,NCICs,and related materials for persons identified as Jane Does #1,2,3,4,5,6,7,8Work product6(e)Contains information and documents subject to investigative privilege.Also contains information and documents subject to privacy rights of victims who are not parties to this litigationInadequate Log:No Factual Underpinnings;Fiduciary Duty;Factual Materials;Not in Anticipation of Litigation;Improper Invocation;Overriding Need;Claims Against Public Prosecutor;Attorney Conduct at Issue;Redaction;No Assertion by Victims
Box #1P-003212ThruP-003545Indictment preparation binder containing meta-analysis charts of telephone/flight/grand jury information for a number of victim/witnesses,Nadia Marcinkova,and Adriana MucinskaWork product6(e)Contains information and documents subject to investigative privilege.Also contains information and documents subject to privacy rights of victims who are not parties to this litigationInadequate Log:No Factual Underpinnings;Fiduciary Duty;Factual Materials;Not in Anticipation of Litigation;Improper Invocation;Overriding Need;Claims Against Public Prosecutor;Attorney Conduct at Issue;Factual Materials;Court Authorized Under6(e)3(E);Court Inherent Power to Release;Proper Victim's Petition;CVRA-authorized release;Material Severable;Redaction;No Assertion by Victims
Page 8 of 69 EFTA00179630 Case 9:08-cv-80736-KAM Document 224-1 Entered on FLSD Docket 08/16/2013 Page 10 of 70
Bates RangeDescriptionPrivilege(s) AssertedVictims’ Objections
Box #1 P-003546 Thru P-003552FBI Reports of March 2008 interviews of additional witness/victim located in New YorkWork product 6(e)
Contains information and documents subject to investigative privilege.
Also contains information and documents subject to privacy rights of victims who are not parties to this litigation
Inadequate Log: No Factual Underpinnings; Fiduciary Duty; Factual Materials; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable; Redaction; No Assertion by Victims
Box #1 P-003553 Thru P-003555BPrintout of filenames from Federal Express subpoena response with Attorney notationsWork product 6(e)Inadequate Log: No Factual Underpinnings; Fiduciary Duty; Not in Anticipation of Litigation; Claims Against Public Prosecutor; Overriding Need; Attorney Conduct at Issue; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable
Box #1 P-003556 Thru P-003562Document entitled “Identified Numbers” with accompanying handwritten attorney list compiled from grand jury materials and attorney analysis of recordsWork product 6(e)
Contains information subject to investigative privilege
Inadequate Log: No Factual Underpinnings; Fiduciary Duty; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable
Page 9 of 69 EFTA00179631 Case 9:08-cv-80736-KAM Document 224-1 Entered on FLSD Docket 08/16/2013 Page 11 of 70
Bates RangeDescriptionPrivilege(s) AssertedVictims’ Objections
Box #1 P-003563 Thru P-003629Folder entitled “Flight Manifests” containing manifests received pursuant to grand jury subpoena6(e) Contains information and documents subject to investigative privilegeInadequate Log: No Factual Underpinnings; Fiduciary Duty: Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Factual Materials; Court Authorized Under 6(e)(3(E)); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable
Box #1 P-003630 Thru P-003633File folder entitled “Recent Attorney Notes” containing handwritten attorney (Villafafa) notes regarding document review and case strategyWork product 6(e) Investigative privilege Deliberative processInadequate Log: No Factual Underpinnings; Fiduciary Duty: Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue; Factual Materials; Court Authorized Under 6(e)(3(E)); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable
Box #1 P-003634 Thru P-003646File folder bearing victim name containing FBI interview report from May 2008, telephone activity report with attorney (Villafafa) handwritten notes, related grand jury materialWork product Attorney-client privilege 6(e) Investigative privilege Also contains information and documents subject to privacy rights of victims who are not parties to this litigationInadequate Log: No Factual Underpinnings; Fiduciary Duty: Factual Materials; Not in Anticipation of Litigation; Ordinary Government Communication; No Attorney-Client Relationship; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue; Factual Materials; Court Authorized Under 6(e)(3(E)); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable; Redaction; No Assertion by Victims
Page 10 of 69 EFTA00179632 Case 9:08-cv-80736-KAM Document 224-1 Entered on FLSD Docket 08/16/2013 Page 12 of 70
Bates RangeDescriptionPrivilege(s) AssertedVictims’ Objections
Box #1 P-003647 Thru P-003651File folder entitled “Summary of Sexual Activity” containing chart bearing handwritten title “Sexual Activity – Summary” with meta-analysis of information, sorted by name of each victim/witness, including name and identifying information of each victim/witnessWork product 6(e)
Investigative privilege Deliberative process
Also contains information and documents subject to privacy rights of victims who are not parties to this litigation
Inadequate Log: No Factual Underpinnings; Fiduciary Duty; Factual Materials; Not in Anticipation of Litigation; Claims Against Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable; Redaction; No Assertion by Victims
Box #1 P-003652 Thru P-003663File folder entitled “Victim Civil Suits”Not privileged. Produced to counsel for PetitionersN/A
Box #1 P-003664 Thru P-003678File folder entitled “Research re JE Websites” containing attorney researchWork productInadequate Log: No Factual Underpinnings; Fiduciary Duty; Not in Anticipation of Litigation; Claims Against Public Prosecutor; Overriding Need; Attorney Conduct at Issue
Box #1 P-003679 Thru P-003680File folder entitled “Serene Cano (N.Y. AUSA)” containing attorney (Villafafa) handwritten notesWork productInadequate Log: No Factual Underpinnings; Fiduciary Duty; Not in Anticipation of Litigation; Claims Against Public Prosecutor; Overriding Need; Attorney Conduct at Issue
Box #1 P-003681 Thru P-003687File folder entitled “Dr. Anna Salter” containing attorney (Villafafa) memo to expert witness and handwritten attorney notesWork product Investigative privilegeInadequate Log: No Factual Underpinnings; Fiduciary Duty; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue
Page 11 of 69 EFTA00179633 Case 9.08-cv-60/30-KAM Document 224-1 Entered on FLSD Docket 08/16/2013 Page 13 of 70
Bates RangeDescriptionPrivilege(s) AssertedVictims' Objections
Box #1P-003688ThruP-003693File folder entitled“I[] G] Interview”containing attorney handwritten notes of interview, and attorney handwritten notes regarding potential chargesWork productInvestigative privilegeAlso contains information subject to privacy rights of victims who are not parties to this litigationInadequate Log: No Factual Underpinnings;Fiduciary Duty: Factual Materials: Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue;Redaction; No Assertion by Victims
Box #1P-003694ThruP-003711File folder entitled“Research re Travel for Prostitution”containing attorney(Villafia) handwritten notes regarding grand jury presentation, chart entitled“Brought to Epstein's House”with handwritten notes, Message Pad meta analysis chart, summary of evidence related to one victim/witness, and relevant grand jury informationWork product6(e)Investigative privilegeAlso contains information and documents subject to privacy rights of victimswho are not parties to this litigationInadequate Log: No Factual Underpinnings;Fiduciary Duty: Factual Materials: Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue;Factual Materials; Court Authorized Under 6(e)(3)E; Court Inherent Power to Release;Proper Victim's Petition;CVRA-authorized release;Material Severable; Redaction;No Assertion by Victims
Box #1P-003712Empty file folder bearing name of victim/witnessInvestigative privilegeAlso contains information subject to privacy rights of victim who is not a party to this litigationN/A
Box #1P-003713ThruP-003746File folder entitled“T[] M]” containing grand jury subpoenas, motion and order to compel testimony, and correspondence regarding same6(e)Documents under seal pursuant to court orderInadequate Log: No Factual Underpinnings;Fiduciary Duty: Factual Materials: Court Authorized Under 6(e)(3)E; Court Inherent Power to Release;Proper Victim's Petition;CVRA-authorized release;Material Severeable
Box #1P-003747ThruP-003751File folder entitled“Adriana Ross” containing subpoena and correspondence regarding same6(e)Inadequate Log: No Factual Underpinnings;Fiduciary Duty: Factual Materials: Court Authorized Under 6(e)(3)E; Court Inherent Power to Release;Proper Victim's Petition;CVRA-authorized release;Material Severeable
Page 12 of 69 EFTA00179634
ase 9:08-cv-80736-KAMDocument 224-1Entered on FLSD Docket 08/16/2013Page 14 of
70
Bates RangeDescriptionPrivilege(s) AssertedVictims’ Objections
Box #1 P-003752 Thru P-004295File folder entitled “PBPD Investigative File” obtained via subpoena6(e)
Investigative privilege
Also contains information and documents subject to privacy rights of victims who are not parties to this litigation
Inadequate Log: No Factual Underpinnings; Fiduciary Duty; Factual Materials; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable; Redaction; No Assertion by Victims
Box #1 P-004296 Thru P-004350File folder bearing name of victim/witness containing meta-analysis chart showing telephone calls, travel, and grand jury materials relevant to possible charges6(e)
Investigative privilege
Also contains information and documents subject to privacy rights of victims who are not parties to this litigation
Inadequate Log: No Factual Underpinnings; Fiduciary Duty; Factual Materials; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable; Redaction; No Assertion by Victims
Box #1 P-004351 Thru P-004381File folder entitled “Daniel Gonzalez Documents 53909-004” containing attorney research related to bias issueWork productInadequate Log: No Factual Underpinnings; Fiduciary Duty; Not in Anticipation of Litigation; Claims Against Public Prosecutor; Attorney Conduct at Issue
Box #1 P-004382 Thru P-004478FileFolder entitled “FEDEX” containing documents obtained via subpoena6(e)
Investigative privilege
Inadequate Log: No Factual Underpinnings; Fiduciary Duty; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable
Page 13 of 69 EFTA00179635 Case 9.08-cv-80/3b-KAM Document 224-1 Entered on FLSD Docket 08/16/2013 Page 15 of 70
Bates RangeDescriptionPrivilege(s) AssertedVictims' Objections
Box #1P-004479ThruP-004551File Folder entitled"State of Delaware Records" containing documents obtained in preparation for indictment6(e)Investigative privilegeWork productInadequate Log No Factual Underpinnings;Fiduciary Duty;Not in Anticipation of Litigation;Improper Invocation;Overriding Need;Claims Against Public Prosecutor;Attorney Conduct at Issue;Factual Materials;Court Authorized Under 6(e)(3)(E);Court Inherent Power to Release;Proper Victim's Petition;CVRA-authorized release;Material Severable
Box #1P-004552ThruP-004555File folder entitled"Jet Blue Records" containing documents obtained via subpoena6(e)Work productInvestigative privilegeAlso contains information and documents subject to privacy rights of victims who are not parties to this litigationInadequate Log:No Factual Underpinnings;Fiduciary Duty;Factual Materials;Not in Anticipation of Litigation;Improper Invocation;Overriding Need;Claims Against Public Prosecutor;Attorney Conduct at Issue;Factual Materials;Court Authorized Under 6(e)(3)(E);Court Inherent Power to Release;Proper Victim's Petition;CVRA-authorized release;Material Severable;Redaction;No Assertion by Victims
Box #1P-004556ThruP-004560File folder entitled"FL EMPLOYMENT RECORDS" containing FDLE records on targets and witnesses obtained at attorney requestInvestigative privilegeWork productInadequate Log:No Factual Underpinnings;Fiduciary Duty;Not in Anticipation of Litigation;Improper Invocation;Overriding Need;Claims Against Public Prosecutor;Attorney Conduct at Issue
Box #1P-004561ThruP-004565File folder entitled"JANUSZ BANASIAK" containing attorney(Villafafa) handwritten notes of interviewWork productInvestigative privilegeInadequate Log:No Factual Underpinnings;Fiduciary Duty;Not in Anticipation of Litigation;Improper Invocation;Overriding Need;Claims Against Public Prosecutor;Attorney Conduct at Issue
Page 14 of 69 EFTA00179636 Case 9:08-cv-80736-KAM Document 224-1 Entered on FLSD Docket 08/16/2013 Page 16 of
Bates RangeDescriptionPrivilege(s) AssertedVictims' Objections
Box #1P-004566ThruP-004716File folder entitled"JANUSZ BANASIAKRECORDS 23-0001 THROUGH 23" containing documents obtained via subpoena6(e)Work productInvestigative privilegeAlso contains information and documents subject to privacy rights of victims who are not parties to this litigationInadequate Log: No Factual Underpinnings;Fiduciary Duty: Factual Materials;Not in Anticipation of Litigation;Improper Invocation;Overriding Need;Claims Against Public Prosecutor;Attorney Conduct at Issue;Factual Materials;Court Authorized Under6(e)(3)(E); Court Inherent Power to Release;Proper Victim's Petition;CVRA-authorized release;Material Severable;Redaction;No Assertion by Victims
Box #1P-004717ThruP-004722File folder entitled"IGOR ZINOVIEV" containing attorney research regarding witnessWork productInvestigative privilegeInadequate Log: No Factual Underpinnings;Fiduciary Duty: Not in Anticipation of Litigation;Improper Invocation;Overriding Need;Claims Against Public Prosecutor;Attorney Conduct at Issue
Box #1P-004723ThruP-004725File folder entitled"BEAR STEARNS RESEARCH" containing attorney research regarding potential witness and subpoena recipientWork ProductInvestigative privilegeInadequate Log: No Factual Underpinnings;Fiduciary Duty: Not in Anticipation of Litigation;Improper Invocation;Overriding Need;Claims Against Public Prosecutor;Attorney Conduct at Issue
Box #1P-004726ThruP-004819File folder entitled"LAWSUITS INVOLVING EPSTEIN CORP'S" containing attorney research regarding Epstein's past personal and business litigative practicesWork ProductInvestigative privilegeInadequate Log: No Factual Underpinnings;Fiduciary Duty: Not in Anticipation of Litigation;Improper Invocation;Overriding Need;Claims Against Public Prosecutor;Attorney Conduct at Issue
Box #1P-004820ThruP-004959File folder entitled"SEC RECORDS" containing attorney research regarding Epstein financial relationshipsWork ProductInvestigative privilegeInadequate Log: No Factual Underpinnings;Fiduciary Duty: Not in Anticipation of Litigation;Improper Invocation;Overriding Need;Claims Against Public Prosecutor;Attorney Conduct at Issue
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Bates RangeDescriptionPrivilege(s) AssertedVictims’ Objections
Box #1 P-004960 Thru P-005059File folder entitled “Message Pads” containing selected items from evidence obtained via subpoenaWork Product 6(e)
Investigative privilege
Also contains information and documents subject to privacy rights of victims who are not parties to this litigation
Inadequate Log: No Factual Underpinnings; Fiduciary Duty; Factual Materials; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable; Redaction; No Assertion by Victims
Box #1 P-005060 Thru P-005081File folder bearing name of victim/witness containing correspondence with counsel for victim/witness, attorney witness outline with attorney handwritten notes, attorney handwritten notes regarding witness reports and case preparationWork Product 6(e)
Investigative privilege
Also contains information and documents subject to privacy rights of victims who are not parties to this litigation
Inadequate Log: No Factual Underpinnings; Fiduciary Duty; Factual Materials; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable; Redaction; No Assertion by Victims
Box #1 P-005082 Thru P-005083File folder entitled “New York Trip” containing attorney notes re witness interviewWork product Investigative privilegeInadequate Log: No Factual Underpinnings; Fiduciary Duty; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue
P-005084 thru P-005107 are non responsive documents and have been removedN/A
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Bates RangeDescriptionPrivilege(s) AssertedVictims’ Objections
Box #1 P-005108 Thru P-005193File folder entitled “ANNA SALTER” containing attorney research on select expert, use of experts at trials in child exploitation cases, and additional research materials on offenders and victimsWork product Investigative privilegeInadequate Log; Fiduciary Duty; Factual Materials; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue
Box #1 P-005194 Thru P-005300File folder entitled “Extra Copies” containing meta-analysis chart and 302's of victim/witnesses used in preparing indictment packageWork product 6(e) Investigative privilege Also contains information and documents subject to privacy rights of victims who are not parties to this litigationInadequate Log; No Factual Underpinnings; Fiduciary Duty; Factual Materials; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim's Petition; CVRA-authorized release; Material Severable; Redaction; No Assertion by Victims
Box #1 P-005301 Thru P-005331File folder entitled “JUAN ALESSI STATEMENT” containing transcript obtained via subpoena6(e) Investigative privilegeInadequate Log; No Factual Underpinnings; Fiduciary Duty; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim's Petition; CVRA-authorized release; Material Severable
Box #1 P-005332 Thru P-005341File folder entitled “KEN LANNING” containing attorney research on select expert, including attorney handwritten notesWork product Investigative privilegeInadequate Log; No Factual Underpinnings; Fiduciary Duty; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue
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Bates RangeDescriptionPrivilege(s) AssertedVictims’ Objections
Box #1
P-005342
Thru
P-005387
File folder entitled “Info re Planes” containing correspondence regarding subpoenas and documents received in response to subpoenaes6(e)
Investigative privilege
Inadequate Log: No Factual Underpinnings; Fiduciary Duty; Improper Invocation; Overriding Need; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable
Box #1
P-005388
Thru
P-005442
File folder entitled “Police Reports & PC Affidavit” containing portions of police reports with attorney notes, related phone records, a list entitled “Victims” with identifying information and attorney handwritten notes, photographs and DAVID information, and additional attorney research regarding Epstein sexual activityWork product
6(e)
Investigative privilege Also contains information and documents subject to privacy rights of victims who are not parties to this litigation
Inadequate Log: No Factual Underpinnings; Fiduciary Duty; Factual Materials; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney conduct at issue; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable; Redaction; No Assertion by Victims
Box #1
P-005443
Thru
P-005496
File folder entitled “[Victim name] Transcript of Interview & GJ Transcript”6(e)
Investigative privilege Also contains information and documents subject to privacy rights of victims who are not parties to this litigation
Inadequate Log: No Factual Underpinnings; Fiduciary Duty; Factual Materials; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable; Redaction; No Assertion by Victims
Box #1
P-005497
Thru
P-005556
File folder entitled “Bear Stearns Subpoena Resp.” containing material received in response to subpoena6(e)
Investigative privilege
Inadequate Log: No Factual Underpinnings; Fiduciary Duty; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable
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Bates RangeDescriptionPrivilege(s) AssertedVictims’ Objections
Box #1 P-005557 Thru P-005576U.S. Attorney’s Office Criminal Case File Jacket containing file opening documents, expert witness payment documentsWork product Deliberative processInadequate Log: No Factual Underpinnings; Fiduciary Duty: Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue
Box #1 P-005578 Thru P-005583U.S. Attorney’s Office Asset Forfeiture Case File Jacket containing file opening and file closing documentsWork product Deliberative processInadequate Log: No Factual Underpinnings; Fiduciary Duty: Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue
Box #1 P-005584 Thru P-005560File folder entitled “6001 Immunity Request” containing internal memoranda seeking witness immunity and correspondence with counsel for witness regarding same6(e) Work product and deliberative process (as to internal memoranda) Investigative privilege Also contains information and documents subject to privacy rights of victims who are not parties to this litigationInadequate Log: No Factual Underpinnings; Fiduciary Duty: Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable; Redaction; No Assertion by Victims
Box #2 P-005607 Thru P-005914File folder entitled “MASTER PHONE RECORDS” containing meta-analysis of all phone, travel, and grand jury data for all victim/witnesses for indictment preparationWork product 6(e) Investigative privilege Also contains information and documents subject to privacy rights of victims who are not parties to this litigationInadequate Log: No Factual Underpinnings; Fiduciary Duty: Factual Materials; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue; Factual Materials; Court Authorized Under 6(e)(3)(E); Court Inherent Power to Release; Proper Victim’s Petition; CVRA-authorized release; Material Severable; Redaction; No Assertion by Victims
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