EFTA02633191
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EFTA DisclosureRelated Documents (6)
EFTA02633198
Academic discussion of victim‑rights statutes cites the Jeffrey Epstein pre‑charging case
The passage references the Jeffrey Epstein case only to illustrate a legal question about when victim‑rights under the CVRA attach. It does not provide new factual allegations, financial flows, or dir The Crime Victims’ Rights Act (CVRA) was intended to give victims independent standing in criminal p Debate exists over whether CVRA rights arise only after formal charges are filed or earlier in the
EFTA02633219
Scholarly Article Argues Crime Victims' Rights Act Applies Pre‑Charging, Citing Jeffrey Epstein Case
The passage outlines a legal argument that the federal Crime Victims' Rights Act (CVRA) should apply before criminal charges are filed, using the high‑profile Jeffrey Epstein case as an illustration. The DOJ’s Office of Legal Counsel (OLC) issued a 2011 memo limiting CVRA rights to post‑charging sta Sen. Jon Kyl publicly objected to the OLC memo, asserting CVRA rights attach during investigations
Subjec
Fr • < > Subjec :Deliberative t Process ec aratton rom am Justice - equest or wo ee xtension Date: Fri, 20 Sep 2013 17:59:47 +0000 Importance: Normal We have no objection, provided we get the following accommodation, which you already anticipated. We would request that your motion for extension of time give us an extension on our reply document, such that our reply would be due 10 days after the main Justice Department declaration that will be coming in two weeks. If you would include such language as well in any proposed order, saving us (and the court) drafting time, that would be very much appreciated. Paul Cassell and Brad Edwards for Jane Doe #1 and Jane Doe #2 Paul G Cassell CONFIDENTIAL: This electronic message along with any/all attachments is confidential. This message is intended only for the use of the addressee. If you are not the intended recipient, you may not use, disseminate, distribute or copy this communication. If you have received this message
UNITED STATES DISTRICT COURT
UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA Case No. 08-80736-Civ-Marra/Johnson JANE DOES #1 and #2 I UNITED STATES DECLARATION OF BRADLEY J. EDWARDS, ESQ. I. I, Bradley J. Edwards, Esq., do hereby declare that I am a member in good standing of the Bar of the State of Florida. Along with co-counsel, I have represented Jane Doe #1 and Jane Doe #2 in civil suits against Jeffrey Epstein for sexually abusing them. I have also represented other girls who were sexually abused by Epstein. As a result of that representation, I have become familiar with many aspects of the criminal investigation against Epstein and have reviewed discovery and correspondence connected with the criminal investigation. I have also spoken to Jane Doe #1 and Jane Doe #2 at length about the criminal investigation and their involvement in it, as well enforcement (or lack their of) of their rights as crime victims in the investigation. I also represent Jane Doe #1 and Jane Doe #2 in the pen
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