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VI LLAZO 1:

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EFTA 00078746
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SMITH VI LLAZO 1: November 23, 2021 BY E-MAIL to The Honorable Alison J. Nathan United States District Judge Southern District of New York 40 Foley Square New York, New York 10007 LSDC SDNY DOCUMENT ELECTRONICALLY FILED DOC 0: DATE FILED: 11/24/21 Re: United States v. Maxwell, No. 20 Cr. 330 Dear Judge Nathan: Smith Vitlozor LLP 250 West 55th Street. 30th Floor New York. NY 10019 www.sm it hv atom r.com PATRICK J. SMITH T 212 582 4400 DOtric k.smithOsmilhvillOZOr.com The parties are ORDERED to docket any proposed redactions to this memo endorsement and Administrator Feldman's letter by close of business on November 24, 2021. The Court will not extend the deadline for the parties' proposed protective order, which must be submitted by 12:00 p.m. today. SO ORDERED. Allis O r 11/24/21 We represent Jordana H. Feldman, the independent administrator of the Epstein Victims' Compensation Program. We write regarding the Court's order, dated November 22, 2021,

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SMITH VI LLAZO 1: November 23, 2021 BY E-MAIL to The Honorable Alison J. Nathan United States District Judge Southern District of New York 40 Foley Square New York, New York 10007 LSDC SDNY DOCUMENT ELECTRONICALLY FILED DOC 0: DATE FILED: 11/24/21 Re: United States v. Maxwell, No. 20 Cr. 330 Dear Judge Nathan: Smith Vitlozor LLP 250 West 55th Street. 30th Floor New York. NY 10019 www.sm it hv atom r.com PATRICK J. SMITH T 212 582 4400 DOtric k.smithOsmilhvillOZOr.com The parties are ORDERED to docket any proposed redactions to this memo endorsement and Administrator Feldman's letter by close of business on November 24, 2021. The Court will not extend the deadline for the parties' proposed protective order, which must be submitted by 12:00 p.m. today. SO ORDERED. Allis O r 11/24/21 We represent Jordana H. Feldman, the independent administrator of the Epstein Victims' Compensation Program. We write regarding the Court's order, dated November 22, 2021, denying Ms. Feldman's motion to quash Maxwell's subpoena to her and ordering production of the subpoenaed documents by November 24, 2021 at noon. Ms. Feldman intends to comply with the Court's order and produce responsive documents to the Court. However, given the volume of materials and the steps necessary to ensure that documents produced fall within the scope of the subpoena, it is not possible to produce all materials by noon tomorrow. We understand that the volume of potentially responsive materials is approximately 6,000 to 7,000 pages, and we note that the original return date for the subpoena was November 29, 2021 at 8:30am. We intend to produce by noon tomorrow documents consisting of claim forms and an narratives signed by the four individuals identified in the subpoena, payment records, an4 releases executed by the four individuals We intend to produce remaining responsive documents as soon as possible thereafter and respectfully request until November 29, 2021 at 8:30am (the original subpoena return date) to complete production. cc: We are available should the Court have any questions. Respectfully submitted, /s/ Patrick J. Smith Patrick J. Smith Smith Villazor LLP SO ORDERED. AUSA AUSA , AUSA AUSA Christian R. Everdell, Esq., Jeffrey S. Pagliuca, Esq., Laura A. Menninger, Esq., Mark Stewart Cohen, Esq., Bobbi C. Stemheim, Esq. (by e-mail) EFTA00078746

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USDC SDNY DOCUMENT ELECTRONICALLY FILED DOC 0: DATE FILED: 11/15/21 SMITH VILLAZOR November 15, 2021 BY E-MAIL to The Honorable Alison J. Nathan United States District Judge Southern District of New York 40 Foley Square New York, New York 10007 Re: United States v. Maxwell. No. 20 Cr. 330 Dear Judge Nathan: Smith Villazor LLF. New York, New York 10019 www.smithvillazor.com Patrick J. Smith may file a motion to quash the subpoena on or before Friday, November 19, 2021. The motion should not repeat arguments made in the Government's motion to quash, which is due on Thursday, November 18, 2021. The Defense shall respond to both motions on or before Monday, November 22, 2021. This memo endorsement is filed temporarily under seal to allow the parties to propose redactions. Any redactions to this letter and the Defendant's motion must be filed on the docket by November 21, 2021. SO ORDERED. We represent the independent admin'strator of the Epstein Victims

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From: (USANYS)" To: Christian Everdell Subject: RE: Activity in Case 1:20-cr-00330-AJN USA v. Maxwell Letter Motion Date: Mon, 22 Nov 2021 20:29:58 +0000 Hey Chris, I think all that's left is your response on Witness-3, and then the Court's order. We'll circulate our proposed redactions to the Dietz/Loftus briefing tomorrow after the conference. Thanks From: Christian Everdell <[email protected]> Sent: Monday, November 22, 2021 2:47 PM To: Rohrbach, Andrew (USANYS) <[email protected]> Subject: (EXTERNAL] RE: Activity in Case 1:20-cr-00330-AJN USA v. Maxwell Letter Motion Will do. Taking care of it now. From: Sent: Monday, November 22, 2021 2:42 PM To: Christian Everdell < Subject: RE: Activity in Case 1:20-cr-00330-AJN USA v. Maxwell Letter Motion Hey Chris — yes, and you can also file your response on GX-52. (Our original letter is already on the docket at 457.) From: Christian Everdell Sent: Monday, November 22, 2021 2:40 PM To: Subject: (EXTERNAL]

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VI LLAZOR

SMITH VI LLAZOR November 28, 2021 BY E-MAIL to The Honorable Alison J. Nathan United States District Judge Southern District of New York 40 Foley Square New York, New York 10007 Re: United States v. Maxwell. No. 20 Cr. 330 Smith Vittozor LLP 250 West 55th Street. 30th Floor New York. NY 10019 PATRICK J. SMITH Dear Judge Nathan: On behalf of non-party the independent administrator of the Epstein Victims' Compensation Program, and in accordance with the Court's memo-endorsement of our November 23, 2021 letter, we are making a third production to the Court of remaining documents responsive to defendant Maxwell's subpoena. We have posted the documents to a secure FTP site, which the Court, in its order dated November 27, 2021, indicated was a sufficient means of providing the documents. The credentials to the FTP site are the same as those we sent by email on November 26, 2021. We are producing in this production claim packets sent to attorneys for the four individ

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FronIIIIIIIIIIIII(USANYS)" To (NY) (FBI)" Subject: [EXTERNAL EMAIL] - FW: Activity in Case 1:20-er-00330-AIN USA v. Maxwell Remark Date: Fri, 01 Apr 2022 19:01:54 +0000 Importance: Normal From: NYSD ECF [email protected]<NYSD ECF [email protected]> Sent: Friday, April 1, 2022 1:58 PM To: [email protected] Subject: Activity in Case 1:20-cr-00330-AJN USA v. Maxwell Remark This is an automatic e-mail message generated by the CM/ECF system. Please DO NOT RESPOND to this e- mail because the mail box is unattended. •"NOTE TO PUBLIC ACCESS USERS••• Judicial Conference of the United States policy permits attorneys of record and parties in a case (including pro se litigants) to receive one free electronic copy of all documents filed electronically, if receipt is required by law or directed by the filer. PACER access fees apply to all other users. To avoid later charges, download a copy of each document during this first viewing. However, if the referenced docum

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