Case File
efta-efta00286417DOJ Data Set 9OtherCase 1:17-cv-00616-JGK Document 48
Date
Unknown
Source
DOJ Data Set 9
Reference
efta-efta00286417
Pages
2
Persons
0
Integrity
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Extracted Text (OCR)
Text extracted via OCR from the original document. May contain errors from the scanning process.
Case 1:17-cv-00616-JGK Document 48
Case 1:1 /-cv-0(1616-J6K Document 46
Filed 06/15/17 Page 1 of 2
Filed 06/14/17 Page 1 of 2
Mchae. C V Mr
7'2 506 3955
mmitleresleGtoe cern
:1'4 Avenue of Int AnlenCAS
New Yoh, NY ICONS
213 506 3900 ma n
vbw.11139(0• Car
VIA ECF
lion. John G. Kochi
United States District Court
United States Courthouse
500 Pearl Street
New York, NY 10007-1312
Dear Judge Kochi:
June 14. 2017
Re:
Jane Doc 43 v. Jeffrey Epstein, et al.
Civil Action No. 17-ev-616
/
VII 2
te
"'P • ") •
1 am counsel to Defendants Jeffrey Epstein ("Epstein") and
("M'') in the
above-referenced matter. I write to request that the briefing schedule for defendants' motion to
dismiss be extended because I am presently engaged in a trial before Judge J. Paul °eaten in a
matter captioned United States v. Block, 16 cr. 595 (JPO). The trial is scheduled through July 7,
2017.
dfleicsou
Pursuant to the Stipulation and Order of May 15, 2017, plaintiff filed the First Amended
Complaint on June 5. 2017, and defendants have until June 26. 2017 to move to dismiss. We
respectfully request that the date for filing of the motion to dismiss be extended to twn weeks
after the completion of my trial, and that the briefing schedule be adjusted as follows:
current schedule
requested schedule
Date for filing of motion
June 26.2017
July 17, 2017
Date for filing of opposition
July 26, 2017
August 17, 2017
Date for filing of reply
August 9,2017
August 31, 2017
We also respectfully request on account of my trial schedule that the conference
scheduled for July 6, 2017 be adjourned.
EFTA00286417
Case 1:17-cv-00616-JGK Document 48 Filed 06/15/17 Page 2 of 2
Case 1:17-cv-00616-JGK Document 46 Filed 06/14/17 Page 2 of 2
lion. John G. Koch)
June 14, 2017
Page 2
Steptoe
tulot • C-nt:. 1.6P
We arc advised that defendant
joins in this request. Alter calling counsel
for Plaintiff on June 12 and 13, we (-mailed him on Junc 13 with the above request and
explanation for the request to sec if Plaintiff would consent. Plaintiff has not responded to our
request. Given the fast approaching deadline, we are writing to the court at this time with our
request.
This is the first request for an extension of this briefing schedule. We previously made
one request to adjourn the conference from May 22. 2017 because, as we explained in our May
18, 2017 letter to the court, it made practical sense to have the conference after Plaintiff has tiled
the amended complaint.
Respectfully submitted,
_4xe.P
Michael C. Miller
Counsel for Defendants
Jeffrey Epstein and
EFTA00286418
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Case #
1:17-CV-00616-JGKPhone
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referencedRelated Documents (6)
DOJ Data Set 10OtherUnknown
EFTA01682184
186p
DOJ Data Set 10OtherUnknown
EFTA01370863
1p
Dept. of JusticeOtherUnknown
Medical Record/Clinical Encounter: DOJ-OGR-00026334
This clinical encounter document from the Bureau of Prisons details a medical evaluation of Jeffrey Epstein on July 12, 2019. It covers his medical history, current complaints, and treatment, including discussions around his triglyceride levels, sleep apnea, and back pain. The document was generated by the treating physician at the Metropolitan Correctional Center in New York.
1p
DOJ Data Set 8CorrespondenceUnknown
EFTA00014087
0p
DOJ Data Set 11OtherUnknown
EFTA02367961
1p
DOJ Data Set 10OtherUnknown
EFTA01977826
2p
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