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efta-efta00015345DOJ Data Set 8Correspondence

EFTA00015345

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DOJ Data Set 8
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EFTA Disclosure
Text extracted via OCR from the original document. May contain errors from the scanning process.
From: "Robert Y. Lewis" To: Cc: James It. Marsh" <jamesmars*marsh.law> Subject: [EXTERNAL] USA v. Maxwell -- 20-CR-330 (AIN) Date: Wed, 27 Oct 2021 18:52:02 +0000 Inline-Images: Outlook-jinknu5v.png; Outlook-NCVBA.png Dear Ms. and Mr. Pecorino: I represent a victim of the sex trafficking crimes alleged to have been perpetrated by Jeffrey Epstein and his alleged lieutenant Ghislaine Maxwell. Ms. was one of the Epstein victims who spoke to deliver a victim impact statement in front of Judge Berman on August 29, 2019, when Judge Berman dismissed the Epstein indictment due to Epstein's apparent suicide. As you know, the criminal trial of Ms. Maxwell is scheduled to commence on November 29, 2021 before Judge Nathan. Ms. would like to attend the trial. Could you please advise me as to what protocols will be followed for obtaining admission to the trial either in the courtroom or the overflow rooms. Ms. is travelling from so it is important that there be some reasonable likelihood that she will be able to attend the trial once here. Best regards, Robert Y. Lewis The Marsh Law Firm PLLC MartonctiloHubbet CP PREEMINENT E:Ing CRIME VIM IM B 1R \SSOCRTION CONFIDENTIALITY NOTICE: The information contained in this message and any attachment is confidential and may be subject to the attorney-client privilege, or otherwise protected from disclosure by applicable law. Any disclosure, distribution, copying, or use of the information contained in this message or any attachment by anyone other than the intended recipient, regardless of address or routing, is strictly prohibited. If you are not the intended recipient, please telephone or email the sender and delete this message and any attachment from your system. CONFIDENTIALITY NOTICE: The information contained in this message and any attachment is confidential and may be subject to the attorney-client privilege, or otherwise protected from disclosure by applicable law. Any disclosure, distribution, copying, or use of the information contained in this message or any attachment by EFTA00015345 anyone other than the intended recipient, regardless of address or routing, is strictly prohibited. If you are not the intended recipient, please telephone or email the sender and delete this message and any attachment from your system. IF YOU ARE NOT A CLIENT: This material is general information of an educational nature and is not legal advice. This communication does not establish or constitute the retention of Marsh Law Firm PLLC for the provision of legal services, unless explicitly so stated herein. Any attached items, including the content of this e- mail, are offered "as is" with no guarantee as to their accuracy, timeliness, or completeness. EFTA00015346

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Robert Y. Lewis declares that he represents victims [REDACTED - Survivor] and [REDACTED - Survivor] and submitted their Victim Impact Statements to the probation office for inclusion in Ghislane Maxwell's Presentence Report before the June 3 deadline.

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