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efta-efta00213882Other

Subject: RE: epstein

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EFTA 00213882
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From: To: Subject: RE: epstein Date: Mon, 28 Jun 2010 17:17:00 +0000 Importance: Normal Inline-Images: image001.gifi image002.jpg Hi Robert — Thank you for your messages. Do you have the documents that you intend to produce assembled? If so, may I review them to advise my office regarding what will be produced? Ascistant I1 4 Attorney West Palm Beach, FL 33401 From Sent: Monday, June 28, 2010 12:19 PM To: Subject: epstein a represent mr. Epstein in the civil cases as you know. I left voice messages at ft. I and wpb, as per your message . Epstein was sent a request to produce in fedi and st ct cases where mr edwards asked for all docs given/sent, includes correspondence, by the feel govt to Epstein or his attys. We objected, the magistrate ruled ag us , took a rule 4 appeal and j marra upheld mag's decision. See de-462 and 572 in 80119. I wanted to make sure you had actual knowledge of this in that the materials must be turned over on wed in fedi and Thursday in st.

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From: To: Subject: RE: epstein Date: Mon, 28 Jun 2010 17:17:00 +0000 Importance: Normal Inline-Images: image001.gifi image002.jpg Hi Robert — Thank you for your messages. Do you have the documents that you intend to produce assembled? If so, may I review them to advise my office regarding what will be produced? Ascistant I1 4 Attorney West Palm Beach, FL 33401 From Sent: Monday, June 28, 2010 12:19 PM To: Subject: epstein a represent mr. Epstein in the civil cases as you know. I left voice messages at ft. I and wpb, as per your message . Epstein was sent a request to produce in fedi and st ct cases where mr edwards asked for all docs given/sent, includes correspondence, by the feel govt to Epstein or his attys. We objected, the magistrate ruled ag us , took a rule 4 appeal and j marra upheld mag's decision. See de-462 and 572 in 80119. I wanted to make sure you had actual knowledge of this in that the materials must be turned over on wed in fedi and Thursday in st. ct. in case you /usao desired to assert a position as an intervenor. I think I understand the policy reasons why defense attys and the usao would not want this type of material subject to discovery, but I am merely providing notice to you. Will request a confidentiality provision, but do not know whether mr edwards will agree. If any 7s , please call me, bob W .4 BURMAN, CR1TTON LUTTIER&COLEMAN,u, YOUR TRUSTED ADVOCATES Robert D Craton r. - Attorne at Law West Palm Beach I FL 33401 Phone: Direct: I wwi.bddew.00m LISTED IN Best Lawyers* THE WORLD'S PREMIER GUIDE This e-mail contains legally privileged and confidential information intended only for the individual or entity named within the message. Should the intended recipient forward this message to another person or party, that action could constitute a waiver of the attorney/client privilege. If the reader of this message is not the intended EFTA00213882 recipient, or the agent responsible to deliver it to the intended recipient, you are hereby notified that any review, dissemination, distribution or copying of this communication is prohibited. If this communications was received in error, please notify us by reply e-mail and delete the original message. Disclaimer added by CodeTwo Exchange Rules www.codetwo.com EFTA00213883

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