Case File
efta-efta00621916DOJ Data Set 9OtherSTEPHEN G. RINEHART
Date
Unknown
Source
DOJ Data Set 9
Reference
efta-efta00621916
Pages
2
Persons
0
Integrity
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Text extracted via OCR from the original document. May contain errors from the scanning process.
STEPHEN G. RINEHART
212.704.630Stelephone
212.704.5957 lanimge
TROUTMAN
SANDERS
TROUTMAN SANDERS LLP
Attorneys an Law
The Chrysler Building
405 Lexington Avenue
New `Wk. New York 10174-0700
INADMISSABLE SETTLEMENT COMMUNICATION
October 15, 2012
VIA E-MAIL
Vincent S. Green, Esq.
NEMECEK COLE
15260 Ventura Boulevard, Suite 920
Sherman Oaks, California 91403-5344
Re:
Sitrick and Company / Jeffrey Epstein
Dear Vince:
I am in receipt of your letter dated October 9, 2012. Four weeks ago, Mr. Epstein made a
good faith offer to pay Mr. Sitrick's firm a substantial sum of $25,000 to resolve this matter
amicably, notwithstanding the fact that the parties never reached an agreement regarding the cost
and scope of your client's services. After waiting a full month's time, your client refused to
respond other than to set an arbitrary five-thy deadline for Mr. Epstein to pay even more money
if he does not want Mr. Sitrick's firm to publicly file a complaint containing privileged and
confidential information about Mr. Epstein.
Your artificial deadline is unreasonable and
unproductive, and your client's threat to disclose privileged and confidential information in a
lawsuit is manifestly inappropriate.
Mr. Epstein would regard the filing you contemplate as a most serious violation of his
attorney-client and work-product privileges, as well as other rights. While no written retainer
agreement was entered into in 2011, the hiring of Sitrick by Mr. Epstein's counsel gave rise to a
duty on Sitrick's part to maintain the confidentiality of its discussions with counsel and
information exchanged with counsel. Mr. Sitrick's filing of a lawsuit would only serve to make
public Mr. Sitrick's improper attempt to obtain money from a client by threatening to breach the
client's confidences.
Should Sitrick file its complaint against Mr. Epstein, Mr. Epstein will pursue all of his
remedies in this matter, including without limitation all appropriate equitable and monetary relief
against Sitrick for violations of Mr. Epstein's privileges and rights.
Mr. Epstein's pursuit of
such remedies would undoubtedly expose to public scrutiny Mr. Sitrick's inappropriate threat to
ATLANTA
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NEW YORK
NORFOLK
ORANGE COUNTY
PORTLAND
RALEIGH
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SAN DIEGO
SHANGHAI
TYSONS CORNER
VIRGINIA BEACH
WASHINGTON, DC
EFTA00621916
TROUTMAN
SANDERS
Vincent S. Green
October 15, 2012
Page 2
disclose his client's confidences. We hope this will not be necessary and that your client will
provide a reasonable response to the offer Mr. Epstein made four weeks ago.
Very truly yours,
Stephen G. Rinehart
EFTA00621917
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View in Artifacts BrowserEmail addresses, URLs, phone numbers, and other technical indicators extracted from this document.
Phone
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