EFTA00190961 ATTERBURY GOLDBERGER WEISS, February 5, 2008 * JOSEPH R. ATTERBURY * † JACK A. GOLDBERGER JASON S. WEISS * Board Certified Criminal Trial Attorney * Member of New Jersey & Florida Bars VIA FACSIMILE & U.S. MAIL (561)697-2383 Theodore J. Leopold, Esquire Ricci~Leopold 2925 PGA Boulevard, Suite 200 Palm Beach Gardens, Florida 33410 Re: State of Florida vs. Jeffrey Epstein Case No.: 2006CF009454AXX Dear Ted, Based on your availability on February 20, 2008, we have scheduled the deposition of on that date beginning at 9:30 a.m. Assistant State Attorney, Lanna Belohlavek, has also committed to that date. You have indicated to me that you will accept service on behalf of for that date. Accordingly, I am enclosing the notice of deposition and a subpoena for deposition for for February 20, 2008 beginning at 9:30 a.m. If you are unwilling or unable to produce Ms. for deposition, please advise me immediately, so I may have her served with a subpoena. Jack A. Goldberger JAG/na Enclosure I hereby certify that the foregoing is a true copy THIS ___ DAY OF July ___ 20 ___ SHARON R. BOCK BY DEPUTY CLERK One Clearlake Centre, Suite 1400 250 Australian Avenue South West Palm Beach, FL 33401 Case No. 08-80736-CV-MARRA P-009028