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efta-efta00030101DOJ Data Set 8CorrespondenceEFTA00030101
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EFTA DisclosureText extracted via OCR from the original document. May contain errors from the scanning process.
From: "
To: Laura Menninger <ImenningerWunflaw.com>, "
(USANYS)"
Cc: Jeff Pagliuca ccjpagliticaq())inflaw.com>, "Christian R Everdell - Cohen & Gresser LLP
(ceverdell(Oohengresser.com)" <ceverdellgcohengresser.com>, 'BOBBI C STERNHEIM'
<bcstemheimgmac.com>
Subject: RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view evidence, highly confidential
materials, scenes
Date: Tue, 16 Mar 2021 22:40:19 +0000
Attachments: 2021.03.16_Maxwell_Discovery_Letter.pdfi
SDNYGM0274310 1 JCONFIDENTIAL].xlsx;
SDNY_GM_02743102_[CONFIDENTIAL].xlsx
Inline-Images: image001.jpg
All,
Attached please find two spreadsheets documenting all physical evidence in the FBI's custody, as well as a corresponding
discovery cover letter. We are sending a copy of these files to the MDC for your client as well.
In response to your questions, the FBI has informed me of the following:
Regarding the Highly Confidential nude/partially nudge images to be reviewed at 500 Pearl:
• There are three categories of these images:
o Approximately 2,100 electronic images and videos seized from Epstein's electronic devices (which have not
been previously provided to you)
o Approximately 3,400 electronic images from discs seized from Epstein's residences in 2019 (which have
previously been provided to you and your client for review at the MDC)
o Approximately 7 hard copy nude images located in the file from the FBI Florida office's investigation of
Epstein (which have not been previously provided to you)
• The FBI will make all three of those categories available to you. The electronic files will be provided on hard drives,
and the FBI will provide you with the hard copy images for review as well.
o All electronic images should be viewable as thumbnails, except those seized from Apple devices, which must
be viewed using Cellebrite.
o The Cellebrite software will be provided on the drive for your review of images and videos seized from Apple
devices.
o The electronic files have the same metadata on the hard drive that was available when the FBI seized each
image. For images that were carved or deleted, no metadata was recovered, so none is viewable. For all
other images, the metadata recovered should be viewable on the hard drive.
o The approximately 2,100 electronic images and videos seized from Epstein's devices are separated by folder
to indicate which device each image was seized from.
• Because these images are considered obscene material, the FBI is not permitted to make duplicates of them, and
there is a limited number of clean laptops on which these images can be reviewed. As a result, the FBI is only able
to provide a single laptop for review of these images.
Regarding the physical evidence:
• Attached are two lists of all physical items in the FBI's custody relating to this case. The first list relates to items
associated with the FBI Florida office's investigation of Epstein. The second list relates to items associated with the
FBI New York office's current investigation.
• The vast majority of physical evidence in the FBI's custody is located at the FBI's warehouse in the Bronx. Two
items (18 77 & 1B 79) are located at 26 Federal Plaza, but the case agents can check those items out from 26
EFTA00030101
Federal Plaza and bring them to the Bronx warehouse on whatever day you choose to conduct your review so that
you will have all evidence in one place.
• The FBI is able to arrange for the defense team to review all physical evidence at the Bronx warehouse under the
following conditions:
o The warehouse requires at least two weeks' notice in order to pull all of the items for the entire case and
place them in a location where a large group of people can view them.
o The warehouse is open during normal business hours between 9am and 5pm on weekdays.
o At least two FBI agents and an AUSA will be present at the Bronx warehouse to assist and answer questions.
o The evidence will be placed in a loading dock at the warehouse to provide additional space for the review.
To ensure that there is sufficient space, please let me know how many members of the defense team intend
to be physically present for this review.
o Electronic devices such as cellphones and laptops are not permitted in the warehouse. The defense team
may bring a digital camera that is not connected to the Internet or a cellular network into the warehouse. If
the defense team wishes to photograph an item of evidence, the defense will need to inform the agents who
are present, so that they may confirm that the photographed item is not Highly Confidential based on the
presence of nudity.
o Electronic media such as VHS tapes, cassette tapes, and CDs will not be playable at the warehouse.
• To the extent the defense requests that the FBI bring any physical items to 500 Pearl Street for your client to review,
the FBI is prepared to bring items that are reasonably sized to 500 Pearl Street. With respect to bulky or large
items, the defense team should be able to photograph those for your client to review, unless they are deemed
Highly Confidential, in which case the FBI can make arrangements to transport the item to 500 Pearl Street if
necessary.
• The FBI is in the process of confirming that it can provide devices to play all of the electronic media in the case in a
single location at the FBI's offices in downtown Manhattan. We are also double-checking to confirm that all media
that does not contain witness statements have already been produced to you and your client in discovery. The FBI
anticipates that we can arrange for you to review all non-witness statement electronic media at the FBI's office in
downtown Manhattan in approximately three weeks.
o To the extent you wish to review all of the discs containing photographs, which were seized from Epstein's
residences in 2019, we note that all of those images have already been produced to you in discovery. For
your awareness, the FBI has informed me that it took their team several weeks to review all of the images on
all of those discs.
Please let me know how you wish to proceed.
Best,
Assistant United States Attorney
Southern District of New York
St. Andrew's Plaza
New York, NY 10007
From:
Sent: Monday, March 15, 2021 6:00 PM
To: 'Laura Menninger' <[email protected]>;
(USANYS)
Cc: Jeff Pagliuca <[email protected]>; Christian R Everdell - Cohen & Gresser LLP (ceverdell@cohengressercom)
<[email protected]>; 'BOBBI C STERNHEIM' <[email protected]>
Subject: RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view evidence, highly confidential materials, scenes
EFTA00030102
Laura,
I expect to be able to answer all of your questions about the evidence review by tomorrow.
We have been looking into the discovery request you made last week, and we hope to have a response ready to provide
to you by next week.
Best,
Assistant United States Attorney
Southern District of New York
1 St. Andrew's Plaza
New York, NY 10007
From: Laura Menninger <[email protected]>
Sent: Monday, March 15, 2021 3:01 PM
To:
":
›;
) sca;
(USANYS)
Cc: Jeff Pagliuca <[email protected]>. Christian R Everdell - Cohen & Gresser LLP ([email protected])
<ceverdell@cohengressercom>. 'BOBBI C STERNHEIM' <[email protected]>
Subject: RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view evidence, highly confidential materials, scenes
Now that the FBI team is back, when do you expect to have answers to all of the questions posed? If I had an idea of
when you would have answers, it could help me answer your question.
At a minimum, it would not seem to take too much time to know when someone can open the FBI vault and allow the
attorneys to make an initial view of the evidence. Also, I understand the FBI did not prepare an inventory of their
evidence when they seized it from NY and LSJ, so I don't think we need to wait for them to now prepare an inventory
before we start reviewing evidence.
Also, when do you believe you will have a response regarding the discovery I requested last Monday?
Thanks,
Laura
Laura A. Henninger I Partner
Haddon, Morgan & Foreman, P.C.
150 E. 10th Avenue I Denver, CO 80203
+I 303 831 7364 (Office)
Imenninger(anflaw.com
From:
Sent: Friday, March 12, 2021 11:44 AM
To: Laura Menninger <[email protected]>.
(USANYS)
EFTA00030103
Cc: Jeff Pagliuca <jpagliucaCahmflaw.com>; Christian R Everdell - Cohen & Gresser LLP ([email protected])
<[email protected]>; 'BOBBI C STERNHEIM' <[email protected]>
Subject: RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view evidence, highly confidential materials, scenes
Counsel,
The FBI team on this case has been out of the office this week and will not be able to answer all of the questions you
asked during our Wednesday call until they are back in the office next week. Please let me know if you would like to wait
until all of those questions can be answered to schedule a day for your client to be brought to 500 Pearl Street to review
the highly confidential images. My understanding is that the FBI is able to provide at least one laptop containing those
highly confidential images in time for such a review to take place on Thursday 5/18, but I may not have the answers to all
of your questions about those images before that date, and I do not know whether you will also be able to visit the
evidence vault that same week.
Please let me know how you would like to proceed. I will reach back out once I have answers to your questions.
Thank you,
Assistant United States Attorney
Southern District of New York
1 St. Andrew's Plaza
New York, NY 10007
From:
Sent: Tuesday, March 9, 2021 4:56 PM
c
>;
To: Laura Menninger <[email protected]>:
(USANYS)
Cc: Jeff Pagliuca <jpagliucaPhmflaw.com>; Christian R Everdell - Cohen & Gresser LLP ([email protected])
<[email protected]>; 'BOBBI C STERNHEIM' <[email protected]>
Subject: RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view evidence, highly confidential materials, scenes
That is the only excel spreadsheet indexing physical evidence that we have produced in discovery. That spreadsheet does
not include every physical item currently in the FBI's custody related to this case. For example, the August 20, 2020
discovery production also included search warrant returns listing the physical items seized by the FBI's New York Office
during the 2019 searches of Jeffrey Epstein's residences in New York and the U.S Virgin Islands (see Bates range
SDNY_GM_00166007-SDNY_GM_00166043), but they are not contained in a spreadsheet.
As a courtesy, I have asked the FBI whether it would be possible to provide us with a similar excel index reflecting the
physical evidence seized by the FBI's New York Office, though it may take some time to compile such an index.
Best,
Assistant United States Attorney
Southern District of New York
EFTA00030104
1 St. Andrew% Plaza
New York, NY 10007
From: Laura Menninger <[email protected]>
Sent: Tuesday, March 9, 2021 3:44 PM
To:
) <
>;
)
(USANYS)
Cc: Jeff Pagliuca <jpagliucaahmflaw.com>; Christian R Everdell - Cohen & Gresser LLP ([email protected])
<[email protected]>• 'BOBBI C STERNHEIM' <[email protected]>
Subject: RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view evidence, highly confidential materials, scenes
Thank you. Is that the only index of physical evidence available?
Laura A. Menninger I Partner
Haddon, Morgan & Foreman, P.C.
150 E. 10th Avenue I Denver, CO 80203
+1 303 831 7364 (Office)
[email protected]
From:
Sent: Tuesday, March 9, 20211:38 PM
To: Laura Menninger <Imenninge
hmflaw.com>;
(USANYS)
Cc: Jeff Pagliuca <jpagliucaahmflaw.com>; Christian R Everdell - Cohen & Gresser LLP ([email protected])
<ceverdell@cohengresseccom>; 'BOBBI C STERNHEIM' <[email protected]>
Subject: RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view evidence, highly confidential materials, scenes
Counsel,
In advance of our call tomorrow, I wanted to send a copy of the attached index of physical items in FBI custody from the
FBI-Miami office, which we previously produced to you as part of our August 21, 2020 discovery production. Also
included in that August 21, 2020 production were scans of numerous items listed on the index. Those scans can be found
within Bates range SDNY_GM_00172218-SDNY_GM_00173007. It may be useful to reference some of those items during
our conversation tomorrow, so I wanted to make sure you were aware of them.
Best,
Assistant United States Attorney
Southern District of New York
1 St. Andrew's Plaza
New York, NY 10007
EFTA00030105
From:
Sent: Tuesday, March 9, 2021 2:03 PM
To: 'Laura Menninger' <[email protected]>•
(USANYS)
Cc: Jeff Pagliuca <jpagliucaahmflaw.com>, Christian R Everdell - Cohen & Gresser LLP ([email protected])
<[email protected]>• 'BOBBI C STERNHEIM' <[email protected]>
Subject: RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view evidence, highly confidential materials, scenes
Yes, that works for us, thank you very much. We can use the below dial-in:
Dial-in:
Code:
Best,
From: Laura Menninger <[email protected]>
Sent: Tuesday, March 9, 2021 11:19 AM
To:
)
)°c
)';
(USANYS)
Cc: Jeff Pagliuca <jpagliucaPhmflaw.com>, Christian R Everdell - Cohen & Gresser LLP ([email protected])
<[email protected]>• 'BOBBI C STERNHEIM' <[email protected]>
Subject: RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view evidence, highly confidential materials, scenes
Good morning,
We are free at 1:30 p.m. ET / 11:30 a.m. MST tomorrow. Would that work? We are generally free thereafter, so please
suggest another later time if not.
Thank you,
Laura
Laura A. Menninger I Partner
Haddon, Morgan & Foreman, P.C.
150 E. 10th Avenue I Denver, CO 80203
+1 303 831 7364 (Office)
[email protected]
From:
Sent: Tuesday, March 9, 2021 8:36 AM
To: Laura Menninger <Imenninge
hmflaw.com>,
(USANYS)
Cc: Jeff Pagliuca ipagliucaPhmflaw.com>, Christian R Everdell - Cohen & Gresser LLP ([email protected])
<[email protected]>• 'BOBBI C STERNHEIM' <[email protected]>
Subject: RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view evidence, highly confidential materials, scenes
Good morning,
It would be helpful to have a call to discuss the requests contained in this letter. Are there times tomorrow when you
would be available to speak, please?
Thank you,
EFTA00030106
Assistant United States Attorney
Southern District of New York
I St. Andrew's Plaza
New York, NY 10007
From: Laura Menninger <[email protected]>
Sent: Monday, March 8, 2021 2:03 PM
To:
)•`=
) <
>;
(USANYS)<
>
Cc: Jeff Pagliuca <[email protected]>. Christian R Everdell - Cohen & Gresser LLP ([email protected])
<[email protected]>. '8O88I C STERNHEIM' <[email protected]>
Subject: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view evidence, highly confidential materials, scenes
Counsel —
Please see attached correspondence.
-Laura
Laura A. Menninger
Haddon, Morgan and Foreman, P.C.
150 East 10th Avenue
Denver, Colorado 80203
Main 303.831.7364 FX 303.832.2628
[email protected]
www.hmflaw.com
CONFIDENTIALITY NOTICE: This e-mail transmission, and any documents, files or previous e-mail messages
attached to it may contain information that is confidential or legally privileged. If you are not the intended
recipient, or a person responsible for delivering it to the intended recipient, you are hereby notified that you
must not read this transmission and that any disclosure, copying, printing, distribution or use of any of the
information contained in or attached to this transmission is STRICTLY PROHIBITED. If you have received this
transmission in error, please notify the sender by telephone or return e-mail and delete the original
transmission and its attachments without reading or saving it in any manner. Thank you.
EFTA00030107
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