EFTA00179655 Case 9:08-cv-80736-KAM Document 224-1 Entered on FLSD Docket 08/16/2013 Page 35 of 70
Bates RangeDescriptionPrivilege(s) AssertedVictims’ Objections
Box #2
P-010526
Thru
P-010641
File folder entitled “Rsrch re Crime Victims Rights” containing attorney research, handwritten notes, draft victim notification letter, and draft correspondence to Jay Lefkowitz (Also contains a November 28, 2007 letter from Kenneth Starr to Alice S. Fisher, and a November 29, 2007 letter from Jay Lefkowitz to R. Alexander Acosta (P-010528 thru P-010530 and P-010556 thru P-010559). Pursuant to the Court’s Order, these will be produced to opposing counsel upon lift of stay by 11th Circuit)Work Product Deliberative ProcessInadequate Log: No Factual Underpinnings; Fiduciary Duty: Crime-Fraud-Misconduct; Crime-Fraud-Misconduct; Factual Materials; Not in Anticipation of Litigation; Improper Invocation; Overriding Need; Claims Against Public Prosecutor; Attorney Conduct at Issue
Box #2
P-010642
Thru
P-01650
File folder entitled “Immunity” containing attorney research on granting immunity to witnessesWork ProductInadequate Log: No Factual Underpinnings; Fiduciary Duty: Not in Anticipation of Litigation; Claims Against Public Prosecutor; Overriding Need; Attorney Conduct at Issue
Box #2
P-010651
Thru
P-010659
File folder entitled “Research re G.J. Transcript” containing attorney research and draft pleadings re compelling production of grand jury transcript with subpoenaWork Product 6(e)
Deliberative process
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
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