Case File
efta-02729370DOJ Data Set 11OtherEFTA02729370
Date
Unknown
Source
DOJ Data Set 11
Reference
efta-02729370
Pages
8
Persons
0
Integrity
Extracted Text (OCR)
EFTA DisclosureText extracted via OCR from the original document. May contain errors from the scanning process.
IN THE DISTRICT COURT OF
APPEAL OF THE STATE OF
FLORIDA, FOURTH DISTRICT
JEFFREY EPSTEIN,
Petitioner,
v.
STATE OF FLORIDA,
Respondent.
CASE NO. 4D09-2554
PALM BEACH COUNTY
L.T. CASE NO. 2008 CF 009381A
RESPONSE TO MOTION TO SUPPLEMENT THE RECORD
Petitioner, JEFFREY EPSTEIN, files this response to the Motion to
Supplement the Record filed by Respondent, B.B. on August 5, 2009. Mr. Epstein
has no objection to the motion.
I HEREBY CERTIFY that a copy of the foregoing has been sent by mail
this 90k%ay of August, 2009, to:
JEFFREY H. SLOMAN
U.S. Attorney's Office-Southern District
500 South Australian Avenue, Suite 400
West Palm Beach, FL 33401
WILLIAM J. BERGER
ROTHSTEIN ROSENFELDT ADLER
401 East Las Olas Boulevard, Suite 1650
Fort Lauderdale, FL 33301
Counsel for E.W.
09/12/2019
JUDITH STEVENSON ARCO
State Attorney's Office-West Palm Beach
401 North Dixie Highway
West Palm Beach, FL 33401
DEANNA K. SHULLMAN
400 North Ashley Drive, Suite 1100
P. O. Box 2602 (33601)
Tampa, FL 33602
Counsel for The Palm Beach Post
1
CONFIDENTIAL
age
3
Agency to Agency Requev 19-4 I1
SDNYGM_00331659
EFTA_00204385
EFTA02729370
SPENCER T. KUVIN
DIANA L MARTIN
LEOPOLD-KUVIN, P.A.
2925 PGA Boulevard, Suite 200
Palm Beach Gardens, FL 33410
Counsel for B.B.
09/12/2019
qitit(N1146(c;-L.
HONORABLE JEFFREY COLBATH
15th Judicial Circuit
Palm Beach County Courthouse
205 North Dixie Highway
Room 11F
West Palm Beach, FL 33401
ROBERT D. CRITTON of
BURMAN, CRITTON, LUTHER & COLEMAN
515 North Flagler Drive, Suite 400
West Palm Beach FL 33401
and
JACK A. GOLDBERGER of
ATTERBURY, GOLDBERGER & WEISS, P.A.
250 Australian Avenue South, Suite 1400
33401
and
JANE KREUSLER-WALSH and
REBECCA MERCIER VARGAS of
KREUSLER-WALSH, COMPIANI & VARGAS, P.A.
501 South Flagler Drive, Suite 503
West Palm Beach, FL 33401-5913
Counsel for Petitioner
By:
JANE KREUSLER-W.
Florida Bar No. 272371
2
CONFIDENTIAL
ogo
3
co)s--f ex.( t3c).
oi5co3 -
Agency to Agency Rennet: 19-411
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IN THE FOURTH DISTRICT COURT OF APPEAL
FOR TILE STATE OF FLORIDA
JEFFREY EPSTEIN,
CASE NO: 4D09-2554
Petitioner,
vs.
STATE OF FLORIDA,
Respondent.
L.T. No. 20098CF009381A (Palm
Beach)
RESPONDENT B.B.'S MOTION TO SUPPLEMENT THE RECORD
Respondent B.B. moves to supplement the record before the Court on
Petitioner Jeffrey Epstein's petition for writ of certiorari and states as follows:
1. Petitioner Epstein filed an emergency petition for writ of certiorari requesting
that this Court quash the order of Fifteenth Judicial Circuit Judge Jeffrey
Colbath unsealing a nonprosecution agreement between Petitioner Epstein and
the United States Attorney's Office.
2. One of Petitioner Epstein's arguments for quashing the lower court order is that
Respondent B.B. is able to obtain the sealed nonprosecution agreement from
the United States Attorney's Office pursuant to the terms of a federal order
issued by Judge Marra of the Southern District of Florida:
09/12/2019
As Mr. Epstein's counsel stated at the June 25, 2009 hearing in
front of Judge Colbath, B.B., as an alleged victim, is entitled to
production of the document subject to the conditions in Judge
Marra's orders (A-18:41).
Pa
CONFIDENTIAL
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Reply Brief, p. 21, 3.
3. Respondent B.B., in fact, is not able to obtain the nonprosecution agreement
from the United States Attorney's Office. Late yesterday afternoon, counsel
for B.B. received the attached letter from the United States Attorney advising
that the he cannot disclose the nonprosecution agreement to B.B. because she
was not identified by the USAO as one of Epstein's victims.
4. Although this letter was not before the trial court prior to the issuance of the
order unsealing the agreement, it directly bears on the proceedings before this
Court. It should also be noted that Petitioner Epstein submitted a supplemental
appendix with his reply brief that includes documents created after the order
under review here and were not, therefore, considered by Judge Colbath when
unsealing the nonprosecution agreement.
5. The undersigned counsel for Respondent B.B. has conferred with Jane
Kreusler-Walsh, counsel for Petitioner Epstein, regarding this motion to
supplement. Ms. Walsh advised that she is on vacation and would refer the
matter to trial counsel. Undersigned counsel has not yet heard from trial
counsel regarding Petitioner Epstein's position on this motion to supplement.
As briefing in this case has been completed and the Court might rule at any
time, Respondent B.B. is filing this motion without knowledge of whether
opposing counsel opposes the relief requested.
Respondent will file an
09/1212019
?age 3399
CONFIDENTIAL
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amended motion upon opposing counsel advising of the Petitioner's position
on this motion.
WHEREFORE, Respondent B.B. respectfully requests the Court supplement the
record before the Court on Petitioner Epstein's petition for writ of certiorari with the
attached letter to Respondent B.B. from the United States Attorney's Office.
Dated: August 5, 2009
By:
09/12/2019
Diana L. Martin
Florida Bar No. 624489
LEOPOLD-KUV1N, P.A.
2925 PGA Blvd., Suite 200
Palm Beach Gardens, FL 33410
Page
CONF
NT IAL
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CERTIFICATE OF SERVICE
1 hereby certify that a true and correct copy of the foregoing was served via
U.S. Mail on August 5, 2009, on the following:
Jack A. Goldberger, Esq.
Attorney For: Jeffrey Epstein
250 Australian Avenue
Suite 1400
West Palm Beach, FL 334101
Robert D. Critton, Jr., Michael J. Pike
Attorney For: Jeffrey Epstein
515 North Flagler Drive
Suite 400
West Palm Beach, FL 33401
Judith Stevenson Arco, Esq.
State Attorney's Office-West Palm
Beach
401 N. Dixie Highway
West Palm Beach, FL 33401
Deanna K. Shullman
Attorney For: Palm Beach Post
400 N. Ashley Dr., Suite 1100
P.O. Box 2602 (33601)
Tampa, FL 33602
09112/2019
Jane Kreusler-Walsh, Esq.
Barbara J. Compiani, Esq.
Attorneys For: Jeffrey Epstein
Kreusler-Walsh, Compiani & Vargas,
P.A.
501 S. Flagler Drive, Suite 503
West Palm Beach, FL 33401-5913
Phone: (561) 659-5455
Jeffrey H. Sloman, Esq.
U.S. Attorney's Office-Southern District
500 S. Australian Ave., Suite 400
West Palm Beach, FL 33401
William Berger, Esq.
Attorney For: E. W.
Rothstein Rosenfeldt Adler
401 E. Las Olas Blvd., Suite 1650
Ft. Lauderdale, FL 33394
_ritAAJIA_
Diana L. Martin
Florida Bar No. 624489
CONFIDENTIAL
Agency to Agency Requet: 19-411
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•
U.S. Department of Justice
United States Attorney
Southern District of Florida
500 South Australian Ave., Suite 400
West Palm Beach, FL 33401
August 4, 2009
VIA ELECTRONIC MAIL
Spencer T. Kuvin, Esq.
Leopold—Kuvin, P.A.
2925 PGA Boulevard
Suite 200
Palm Beach Gardens, FL 33410
Re:
Jeffrey Enstein/B.B. — Requested Disclosure of Non-Prosecution Agreement
Dear Mr. Kuvin:
Thank you for your letter regarding the disclosure of the Non-Prosecution Agreement
signed by Jeffrey Epstein. I understand that you are asking for a copy of that Agreement in
connection with your representation of "B.B." As you are aware, the Agreement contains a
confidentiality provision. Based upon a lawsuit filed by some of Mr. Epstein's victims, U.S.
District Judge Kenneth Maim has issued a Protective Order requiring the U.S. Attorney's Office
to provide copies of the Agreement to certain individuals under certain circumstances. The
Order states:
If any individuals who have been identified by the USAO [U.S. Attorney's
Office] as victims of Epstein and/or any attomey(s) for those individuals request
the opportunity to review the Agreement, then the USAO shall produce the
Agreement to those individuals, so long as those individuals also agree that they
shall not disclose the Agreement or its terms to any third party absent further
court order, following notice to and an opportunity for Epstein's counsel to be
heard ...
(Court File No. 08-C V-80737-MARRA, DE 26, 1 (e).)
The language "individuals who have been identified by the USAO as victims of Epstein"
refers to a specific list of individuals who were the subject of the federal investigation. A list
of those individuals was provided to Mr. Epstein's attorney. Your client, B.B., was not
identified during that investigation, and, therefore was not on the list. By stating this I am not,
in any way, denigrating any harm that your client may have suffered. I am simply stating that,
given time and resource limitations that we faced during the investigation, B.B. was not a person
who was positively identified, such that she would have been the subject of charges within a
09112/2019
Pa
CONFIDE
CONFIDENTIAL
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SPENCER T. Kum, ESQ.
Alum 4, 2009
PAGE 2
possible federal indictment.
For this reason, your client is not covered by the Court's Protective Order and the
Agreement's confidentiality provision remains intact. If you arc unable to get a copy of the
Agreement via the civil discovery process in the lawsuit that you have filed against Mr. Epstein,
please ask his counsel if they will consent to my production of the Agreement to you and I will send
a copy to you.
Sincerely,
Jeffrey H. Sloman
Acting United States Attorney
cc:
Karen Atkinson, Esq.
09112/2019
By:
Assistant U.S. Attorney
age 3403
CONFIDENTIAL
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