EFTA00192660 BURMAN, CRITTON LUTTIER & COLEMAN, LLP YOUR TRUSTED ADVOCATES # A LIMITED LIABILITY PARTNERSHIP J. MICHAEL BURMAN, P.A.¹,² GREGORY W. COLEMAN, P.A. ROBERT D. CRITTON, JR., P.A.¹ BERNARD A. LEBEDEKER MARK T. LUTTIER, P.A. MICHAEL J. PIKE MICHAEL L. SCHEVE DEAN T. XENICK DAVID A. YAREMA 1 FLORIDA BOARD CERTIFIED CIVIL TRIAL LAWYER 2 ADMITTED TO PRACTICE IN FLORIDA AND COLORADO ADELQUI J. BENAVENTE PARALEGAL/INVESTIGATOR JESSICA CADWELL BOBBIE M. MCKENNA ASHLIE STOKEN-BARING BETTY STOKES PARALEGALS RITA H. BUDNYK OF COUNSEL EDWARD M. RICCI OF COUNSEL May 25, 2010 Honorable Edward B. Akerman Senterfitt One SE Third Avenue Floor 28 Miami, FL 33131-1715 Sent by email and by U.S. Mail to Judge only Re: Jeffrey Epstein Dear Judge We are in receipt of Mr. Josefsberg's letter to you dated May 21, 2010. We confirm that Mr. Epstein settled each and every case brought by the attorney-representative selected by you. We write this response only to advise you that Mr. Epstein has never refused to pay reasonable settlement-related fees that are within the scope of the NPA. He has already paid the attorney-representative $526,000. The attorney-representative has not yet presented him with a final invoice for settlement-related work. The incomplete invoices that have been presented seek $2,000,000 in additional fees. Mr. Epstein has been advised by his attorneys that the requested fees include duplicative work, charges that relate to preparation for litigation not settlement (thus outside his NPA-fee obligations) and charges that are unreasonable and that should be reviewed by a Court rather than simply paid without meaningful review. A significant amount of the total fees (over $1,000,000) is for legal work that the invoices document were done by two outside attorneys who are not even attorneys with the Podhurst Orseck, P.A. law firm. Mr. Epstein's disputes the necessity for and redundancy of these charges. We respect Your Honor's selection and regret that the issue of disputed fees has resulted in litigation. Mr. Epstein is committed to paying whatever fees and costs are determined by the 303 BANYAN BOULEVARD · SUITE 400 · WEST PALM BEACH, FL 33401 · PHONE: 561-842-2820 · FAX: 561-844-6929 · MAIL@BCLCLAW.COM WWW.BCLCLAW.COM EFTA00192661 May 25, 2010 Page 2 Court to be his obligation, if any, but he is not required to simply write a blank check. I have filed a motion in the case pursuant to F.R.Civ.P. 67, to allow him to deposit $2,000,000 in Trust with the Court pending the outcome of the Complaint which confirms his commitment. Cordially yours, Robert D. Critton, Jr. ## RDC/JPL:ab Cc Jeffrey H. Sloman, AUSA - jeff.sloman@usdj.gov Ann Marie C. Villafana, AUSA – ann.marie.c.villafana@usdj.gov Robert Senior, AUSA – robert.senior@usdj.gov Jack Goldberger, Esq. @jgoldberger@agwpa.com Robert Josefsberg, Esq. @rjosefsberg@podhurst.com