Text extracted via OCR from the original document. May contain errors from the scanning process.
Akin Gump
August 2, 2019
CONFIDENTIAL PURSUANT TO FED. R. CRIM. P. 6(e)
V►A ELECTRONIC DELIVERY
U.S. Attorney's Office
Southern District of New York
1 Saint Andrew's Plaza
New York, NY 10007
Re: July 11, 2019 Subpoena to Deutsche Bank
Dear
On behalf of our client, Deutsche Bank AG, New York Branch and its affiliates ("Deutsche
Bank" or the "Bank"), we write in further response to the grand jiffy subpoena dated July 11, 2019
(the "Subpoena"). This letter and the enclosed document production represent the fifth submission
in our client's rolling response to the Subpoena.
Enclosed with this letter is an encrypted file labeled DB-SDNY-PROD005 containing
documents responsive to items 1 and 3 of the Subpoena. Specifically, the enclosed production
includes certain additional "Know Your Customer" records for Jeffrey Epstein-affiliated accounts
(labeled DB-SDNY-0002515 through 0002894), and account statements for Jeffrey Epstein's
custody account (labeled DB-SDNY-0001711 through 0002514). The decryption password for
the production will be provided by separate email. As we have discussed, we continue to collect
relevant information related to the Subpoena, and expect to make additional productions shortly.
Because we are producing these materials pursuant to a grand jury subpoena, it is our
understanding that this production will be treated as confidential consistent with Federal Rule of
Criminal Procedure 6(e). Notwithstanding the confidentiality of the enclosed materials and
information, should you receive any request for disclosure of such information, pursuant to the
Freedom of Information Act or otherwise, we ask to be notified in a timely fashion and given the
opportunity to object to such disclosure. Further, should you determine to disclose any materials
to any third party, we ask to be given reasonable advance notice in order to allow us to pursue any
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Au st 2, 2019
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available remedies. In such event, we request that you contact the undersigned by email or
telephone rather than rely on regular mail or facsimile transmission to provide such notice. Please
advise us if you object to or disagree with the foregoing requests.
For the avoidance of doubt, no response or document provided in response to the Subpoena
shall be construed as a waiver of any applicable privilege or doctrine available to Deutsche Bank
under state or federal law. If it were found that production of any of the enclosed materials
constitutes disclosure of otherwiseprivileged matters, such disclosure would be inadvertent. By
the production of such documents,
does not intend to waive and has not waived
the attorney-client privilege or any other protections.
Please do not hesitate to contact us at (212) 872-1076 or pmoyne®akingump.com if you
have any questions. We look forward to continuing to work with you in a cooperative manner.
Sincerely,
Parvin D. Moyne
James J. Benjamin, Jr.
Enclosures
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