EFTA00185449
Case 9:08-cv-80736-KAM Document 338-1 Entered on FLSD Docket 08/03/2015 Page 1 of 7
THIRD SUPPLEMENTAL PRIVILEGE LOG - BOX #5
| Bates Range | Description | Privilege(s) Asserted |
| P-014924 | 5/27/2008 emails between and report of new state plea deal for J. Epstein | Work Product Deliberative Process |
| P-014925 thru P-014927 | 5/27/2008 emails between and regarding potential renewed plea negotiations for J. Epstein and plans to review and revise updated indictment package | Work Product Deliberative Process Investigative Privilege 6(e) |
| P-014928 | 5/23/2008-5/27/2008 emails between and regarding plans to meet to prepare for indictment presentation, service of grand jury subpoenas, interviews of additional witnesses, and plea negotiation issue | Attorney-Client Privilege Investigative Privilege 6(e) Privacy Act/TVPA/CVRA |
| P-014929 thru P-014933 | 5/27/2008-5/28/2008 emails between and regarding request for legal analysis of statute of limitations issues under state and federal law | Attorney-Client Privilege Investigative Privilege 6(e) Privacy Act/TVPA/CVRA |
| P-014934 thru P-014935 | 5/27/2008-5/28/2008 emails between and regarding report of new state plea deal for J. Epstein | Work Product Deliberative Process |
| P-014936 thru P-014940 | 5/29/2008-5/30/2008 emails between and planned grand jury presentation, status of investigation, possible grant of immunity to victim/witness for grand jury testimony | Work Product Attorney-Client Privilege 6(e) Investigative Privilege Deliberative Process Privacy Act/TVPA/CVRA |
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EFTA00185450
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| Bates Range | Description | Privilege(s) Asserted |
| P-014941 thru P-014954 | 6/2/2008 draft letter to Deputy Attorney General regarding reasons to approve continued prosecution of J. Epstein(NB: The Court has already determined that final version of this letter is protected by Work Product/Deliberative Process/Attorney-Client Privileges) | Work product6(e)Deliberative ProcessInvestigative Privilege |
| P-014955 thru P-014971 | 6/3/2008 draft letter to Deputy Attorney General regarding reasons to approve continued prosecution of J. Epstein(NB: The Court has already determined that final version of this letter is protected by Work Product/Deliberative Process/Attorney-Client Privileges) | Work product6(e)Deliberative ProcessInvestigative Privilege |
| P-014972 thru P-014975 | 6/6/2008 emails between regarding victim/witness subpoenaed to the grand jury and need for additional grand jury subpoenas | Attorney-Client PrivilegeInvestigative Privilege6(e)Privacy Act/TVPACVRA |
| P-014976 | 6/18/2008 emails betweenA. Acosta,and regarding telephone conference with R. Black about allowing J. Epstein to accept state plea to 60 days' imprisonment. | Work ProductDeliberative Process |
| P-014977 thru P-014978 | 6/19/2008 email forwarding 6/19/2008 email from to E.NB: Asserting privilege only foremail.Atorney Edwards presumably has copy of his email to) | Attorney-Client PrivilegeInvestigative Privilege |
| P-014979 thru P-014980 | 6/23/2008 emails between(USAO staff) regarding scheduling of grand jury time for indictment presentation and witness testimony(Information regarding unrelated grand jury case reducted) | Work ProductInvestigative Privilege6(e) |
| P-014981 | 6/23/2008 emails betweenE.E.,and regarding grand jury subpoena to victim/witness, revisions to indictment, planned grand jury presentation,and plans to supersede indictment | Attorney-Client PrivilegeWork Product6(e)Investigative PrivilegeDeliberative ProcessPrivacy Act/TVPACVRA |
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EFTA00185451
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| Bates Range | Description | Privilege(s) Asserted |
| P-014982 thru P-014990 | 6/25/2008 emails between and A. Acosta regarding draft of notification of victim list for J. Epstein counsel with attached drafts(NB: Final list, with victim names reducted, has been produced to counsel for Petitioners) | Work ProductDeliberative Process |
| P-014991 thru P-015004 | 6/23/2008-6/26/2008 emails between and counsel for grand jury witness/victim regarding immunity and travel for grand jury appearance | 6(e)Investigative privilegePrivacy Act/TVPA/CVRA |
| P-015005 thru P-015006 | 6/28/2008 emails between and regarding correspondence with J. Goldberger and proposed change to state plea agreement | Work ProductDeliberative ProcessAttorney-Client Privilege |
| P-015007 | 7/3/2008 emails between and A. Acosta regarding telephone conf. with and regarding meeting with Sheriff's Office about work release program | Work ProductDeliberative Process |
| P-015008 thru P-015024 | 7/8/2008 emails between(Attorney Advisory, Victim Witness Staff, EOUSA), and regarding filing of Petitioners' suit, with attached Draft of Petition(DE1)(NB: Privilege is not being asserted for second attachment(DE1), Attachment was prepared by petitioners and is not being produced because it is within their custody and control.) | Work ProductDeliberative Process |
| P-015025 thru P-015028 | 7/8/2008 email from to A. Acosta, and regarding victim notification letter provided to counsel for J. Epstein on 11/28/2007 with attachment(NB: The 11/28/2007 email to J. Lekkowitz with attachment will be produced to petitioners' counsel contemporaneously with the filing of this log) | Work ProductDeliberative Process |
| P-015029 thru P-015034 | 7/7/2008-7/8/2008 emails betweenand regarding background of J. Epstein investigation, negotiations, and victim notifications, and forwarding earlier emails related to Lee questions | Work ProductDeliberative ProcessAttorney-Client Privilege |
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EFTA00185452
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| Bates Range | Description | Privilege(s) Asserted |
| P-015035 thru P-015062 | 7/8/2008-7/9/2008 emails between A. Acosta, and regarding response to Jane Doe suit, procedure for filing, and internal office policies | Work Product Deliberative Process |
| P-015063 thru P-015069 | 7/11/2008-7/14/2008 emails between A. Acosta, and re outcome of hearing in Jane Doe, U.S. suit and contact from counsel for J. Epstein | Attorney-Client Privilege Work Product Deliberative Process |
| P-015070 thru P-015071 | 7/14/2008-7/15/2008 emails between A. Acosta, and T. Smith regarding FBI victim notifications and guidance regarding language to use and information to provide | Attorney-Client Privilege |
| P-015072 thru P-015074 | 7/17/2008 email from A. Acosta, with attached draft of letter to M. Tein regarding misrepresentations in filings on behalf of J. Epstein in civil suits | Work Product Deliberative Process |
| P-015075 thru P-015081 | 7/18/2008-7/21/2008 emails between E. regarding preparation of victim notification letters, victim contact list, filing of victim notification letter in a civil proceeding, and contact by with one victim opining that sentence imposed was insufficient | Attorney-Client Privilege Work Product Investigative Privilege |
| P-015082 thru P-015084 | 7/21/2008 emails between E. regarding ongoing victim notification process and Epstein filings in state court litigation related to federal grand jury investigation | Work Product Attorney-Client Privilege Deliberative Process 6(e) |
| P-015085 thru P-015090 | 7/22/2008 emails between A. Acosta, E. regarding 7/21/2008 letter from M. Tein announcing plan to stay the civil suits against J. Epstein and notification that B. Reinhart is counsel of record for S. in civil suits (NB: Tein letter is being produced to petitioners' counsel concurrently with production of this privilege log) | Work Product Attorney-Client Privilege Deliberative Process |
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EFTA00185453
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| Bates Range | Description | Privilege(s) Asserted |
| P-015091 thru P-015092 | 7/22/2008 emails between regarding ongoing victim notification process | Attorney-Client Privilege 6(e)
Investigative Privilege Privacy Act/TVPA/CVRA |
| P-015093 thru P-015097 | 7/22/2008 emails between from J. Epstein counsel with attached draft response(NB: A final version of the letter has been produced.) | Attorney-Client Privilege Work Product 6(e)
Deliberative Process |
| P-015098 | 7/23/2008 emails between correspondence with counsel for J. Epstein and notice of breach | Work Product Deliberative Process 6(e) |
| P-015099 | 7/25/2008 emails between extension of grand jury to allow for continued presentation of J. Epstein case | 6(e)
Work Product Deliberative Process |
| P-015100 thru P-015116 | 8/2/2008 email from to A. Acosta, and summarizing status of Jane Doe United States litigation and requesting views on making certain disclosures to counsel for petitioners with attached pleading filed by petitioners (DE19)(NB: Privilege is not being asserted for attachment. Attachment was prepared by petitioners and is not being produced because it is within their custody and control.) | Work Product 6(e)
Deliberative Process |
| P-015117 thru P-015135 | 8/5/2008 email from to A. Acosta, and regarding analysis of Jeffrey Epstein agreement, with attached 6/24/2008 email from to R. Black and J. Goldberger and attached Epstein agreement。(NB: Privilege is not being asserted for the two attachments.The 6/24/2008 email will be produced to petitioners' counsel contemporaneously with the filing of this log, and the Agreement has previously been produced to petitioners pursuant to an earlier Court order.) | Work Product Deliberative Process |
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EFTA00185454
Case 9:08-cv-80736-KAM Document 338-1 Entered on FLSD Docket 08/03/2015 Page 6 of 7
| Bates Range | Description | Privilege(s) Asserted |
| P-015136 thru P-015172 | 8/13/2008-8/15/2008 emails between A. Acosta, and regarding scope of Epstein agreement and correspondence and telephone conference with J. Lefkowitz(NB: Emails to and from J. Lefkowitz and R. Black have been produced to Petitioners' counsel) | Work ProductDeliberative ProcessAttorney-Client Privilege |
| P-015173 thru P-015186 | 8/25/2008 emails betweenA. Acosta,and regarding letter received from J.Lefkowitz(NB: Lefkowitz letter has been produced to Petitioners' counsel) | Work ProductDeliberative ProcessAttorney-Client Privilege |
| P-015187 thru P-015194 | 8/20/2008-8/26/2008 emails betweenA. Acosta,and re draft response to J. Lefkowitzand draft amended victim notification letter(NB: Final version of letter to Lefkowitz and Black has been produced to Petitioners' counsel) | Work ProductDeliberative Process |
| P-015195 thru P-015198 | 9/2/2008 emails betweenand regarding revised victim notification | Work ProductDeliberative ProcessAttorney-Client Privilege |
| P-015199 thru P-015206 | 9/17/2008 emails betweenA. Acosta,and regarding efforts by PalmBeach Daily News to unseal NonProsecution Agreement that had been filed in state court(NB: Emails from Counsel for Daily News and from State Attorney's Office have been produced to Petitioners' counsel) | Work ProductDeliberative ProcessAttorney-Client Privilege |
| P-015207 thru P-015213 | 9/17/2008 email fromA. Acosta,and regarding attached letters from J.Herman alleging that victim notifications violated Bar ethics rules(NB: Redacted versions of the letters have been produced to Petitioners' counsel) | Work ProductDeliberative ProcessPrivacy Act/TVPA/CVRA |
| P-015214 thru P-015226 | 9/29/2008 correspondence to Florida Bar Ethics Council regarding victim notification letters and allegation of ethics violation for distribution of letters with attached proposed victim notification letters | Work ProductRelevanceFlorida Bar Privacy Rules |
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EFTA00185455
Case 9:08-cv-80736-KAM Document 338-1 Entered on FLSD Docket 08/03/2015 Page 7 of 7
| Bates Range | Description | Privilege(s) Asserted |
| P-015227 thru P-015233 | 10/18/2008-10/20/2008 emails between A. Acosta and regarding correspondence with discussing changes to understanding of portions of Non-Prosecution agreement and victim notifications | Work Product Deliberative Process |
| P-015234 thru P-015238 | 11/4/2008 correspondence from Florida Bar Ethics Counsel regarding Florida Ethics Rules involved in distributing victim notification letters. | Work Product Relevance Florida Bar Privacy Rules |
| P-015239 thru P-015263 | 11/26/2008 emails between E. and regarding email from R. Black about work release(NB: Email from R. Black has been produced to Petitioners' counsel) | Work Product Deliberative Process |
| P-015264 thru P-015267 | 12/4/2008 emails between E. and regarding attempts to send victim notification letters overseas via Legal Attaches and unrelated Epstein financial issue | Attorney-Client Privilege Work Product Investigative Privilege Privacy Act/TVPA/CVRA |
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EFTA00185456