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efta-efta00800143DOJ Data Set 9OtherDRAFT; PRIVILEGED; ATTORNEY WORK PRODUCT
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DOJ Data Set 9
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DRAFT; PRIVILEGED; ATTORNEY WORK PRODUCT
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF NEW YORK
X
MARVIN GERBER AND KALMA KOENIG, :
on behalf of themselves and all others similarly :
situated,
Plaintiffs,
-against-
THE FINANCIAL TRUST COMPANY, XYZ
CORPORATION, ABC, INC., and JEFFREY
E. EPSTEIN,
Defendants.
X
Index No. 1:18-cv-07580-JPO
DECLARATION OF BENNET J. MOSKOWITZ
BENNET J. MOSKOWITZ hereby declares as follows:
I.
I am a member of the bar of the State of New York. I am a partner at Troutman
Sanders LLP, attorneys of record for Defendants The Financial Trust Company ("FTC") and
Jeffrey E. Epstein (together with FTC, the "Defendants"). I am fully familiar with the facts and
circumstances set forth herein.
2.
I submit this declaration in support of Defendants' Motion to Dismiss plaintiffs
Marvin Gerber and Kalma Koenig's (together, the "Plaintiffs") Complaint [Doc. 7], in its entirety
and with prejudice. A copy of Plaintiffs' Complaint is attached hereto as Exhibit A.
3.
A copy of the sentencing opinion in U.S. v. Hoffenberg, 94-cr-213 (RWS), 1997
WL 96563 (S.D.N.Y. Mar. 4, 1997), is attached hereto as Exhibit B.
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EFTA00800143
DRAFT; PRIVILEGED; ATTORNEY WORK PRODUCT
4.
A copy of a Vanity Fair article titled "The Talented Mr. Epstein," which was
published on March 1, 2003, and is still available today on the Vanity Fair's official website (see
www.vanity£air.com/news/2003/03/jeffrey-epstein-200303), is attached hereto as Exhibit C.
5.
A copy of the homepage of the website www.towersinvestors.com, as it appeared
on June 25, 2013 (per non-profit The Internet Archive's "Wayback Machine"), is attached hereto
as Exhibit D.
6.
A copy of the transcript of a December 5, 2013 hearing in U.S. v. Hoffenberg, No. 94-
cr-213-RWS [Doc. 150], is attached hereto as Exhibit E.
7.
A copy of a Memorandum and Order filed on December 18, 2013 in 200,000
Towers Investors Restitution Victims In Pension Funds, et aL, v. U.S., 1:13-cv-08563-PKC [Doc.
2], is attached hereto as Exhibit F.
8.
A copy of an Order filed on January 16, 2014 in 200,000 Towers Investors
Restitution Victims In Pension Funds, et al., v. U.S., 1:13-cv-08563-PKC [Doc. 2], is attached
hereto as Exhibit G.
9.
A copy of an Affidavit of Alan P. Fraade filed on February 4, 2014 in the matter
200,000 Towers Investors Restitution In Victims In Pensions Funds v. U.S, No. 1:13-cv-8563-
PKC [Doc. 7], is attached hereto as Exhibit H.
10.
A copy of a Verified Petition to Perpetrate Testimony dated June 11, 2015 and filed
in U.S. v. Steven J. Hoffenberg, 94-CR-213-RWS, is attached hereto as Exhibit I.
II.
A copy of the Complaint filed on May 27, 2016 in Steven Jude Hoffenberg v. Jeffrey
E. Epstein, et aL, No. 1:16-cv-03989, is attached hereto as Exhibit J.
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DRAFT; PRIVILEGED; ATTORNEY WORK PRODUCT
I declare under penalty of perjury that the foregoing is true and correct.
Executed on: September 14, 2018
New York, New York
/s/ Bennet J. Moskowitz
Bennet J. Moskowitz
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