Case File
efta-efta01106124DOJ Data Set 9OtherMINTZ & FItAADE, P. Q.
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DOJ Data Set 9
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efta-efta01106124
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MINTZ & FItAADE, P. Q.
COUNSELORS AT LAW
TELEPHONE
THIRCOPIER
October 23. 2013
BY HAND DELIVERY
Mr. Jeffrey Epstein
9 East 7151 Street
New York, New York 10021
Re: Steven Hoffenberg
OF COUNSEL.
EDWARD C. ICRAMER
AFernum L. Poinm. JR.
Jon. M. PROILSTION
Sin-moum Thirrionxwr
I. FREDERICK EMOTION
JOSEPH J. TOMASEK
Dear Mr. Epstein:
I am attaching a memorandum prepared and signed by Steven Hoffenberg dated October
3, 2013 with respect to the Towers Investors claim against you. Mr. Hoffenberg was released
from incarceration recently and has returned to New York.
If you or your attorneys have any questions with respect to the attached memorandum, I
suggest you contact the undersigned.
Very truly yours,
Mintz & Fraade,
CC: Mr. Steven Hoffenberg
APF/ek
End.
Alan P. Fraade
N:Clientsgloffenbug, Steeentorrespondencateleffrey.Epsteini 0.22.13.63c
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STEVEN JUDE FOFFSNBERG
OWNER NEW YORK POST PUBLISHING CORP.
CHAIRMAN TOWERS FINANCIAL CORPORATION
SEE: NEW YORK POST NEWSPAPER
SEE TOWERS INVESTORS
Working Draft Memo in the
Continuing Multi Billionaire
Jeff Epstein Massive aedge
Fund Crimes in the New York City
Venue That have'No Civil Restitu-
tion Collection Suitatatute of
Limitations Causing Epstein Guilty
Plea
01) The multi-billonaire Jeff Epstein, was under th extreme finan-
ical disability, when Towers Investors Dot-Com, employed
Epstein, that is evidenced in, the vanity Fair March 2003, nine
page story, named, "The Talented'Mr. Epstein;' showing the intro-
duction in, the Epstein and Hoffenberg Crimes history, in the
partnership Towers on;going agreements.
02) The multi-billionaire Jeff Epstein, had no financial assets when
the Towers Investors Dot-Com, 2C0,000 restitution victims, corpor-
ations, crimes paid for the Epstein hedge fund, set forth in the
above story points of fact, naming persons who did witness, the
Towers Investors
, payment crimes.
03) The actual dates, and assets, money amounts in the crimes herein,
will be provided. The freeze of the multi-billionaire Epstein
assets are in the constructive. trust unjust enriChment7.1aw.
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04) The multi-billionaire, Jeff Epstein, was employed by the Towers
Investors, as the Hoffenbera assistant, in the Hoffenberg Towers
crimes, that are recorded in continuing federal court orders.
Epstein had the fiduciary relationship with Towers.
05) Epstein acted full-time with Hoffenberg, in the Ponzi scheme pre-
sumption, crimes, fraudulent asset transfers in Towers investors
that converted money; assets, securities. by the Epstein fraud,
unjust enrichment, concealment, fraudulent convevance act viol-
ations, mail and wire fraud, converting Towers assets failing
to perform duties under the Towers Investors Epstein contracts,
with Hoffenberq, and the Leese Family corporations, including,
overseas crimes, with investor funds, raised in the United States.
in the Towers Investors Epstein, Leese. Hoffenberg continuing
contract crimes up to 2013, ongo%ng.
06) The Vanity Fair nine Paae story names persons. and federal court
litigations, that Epstein acted :al at the partnership, in the
Epstein hedge fund operations, in New York City, with the Towers
Investors Dot-Com, crimes ongoing contracts, that included Hoffen-
berg.
07) The purpose of this memo, is the introduction in the continuing
Epstein criminal acts, that are now subject to the Towers
Investors Pot-Com, 200,000.restitution Hoffenberg court ordered
victims, and Government, civil collection restitution suits,
that will motivate, the multi-biflionaire Jeff Epstein criminal
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case guilty plea, and Epstein government cooperation, freeze of
Epstein assets, by constructive trust law.
08) Hoffenberg will meet with his partner, and former best friend
Epstein, in order to discern this memo, asset freeze with the
Epstein hedge fund One Hundred Billion Dollars in bank currency
major margin overseas bank loan currency accounts, that will be
called in, by the banks defaulting Epstein, in the massive
Epstein bank hedge fund margin loan accounts fraud crimes.
See Constructive Trust, unjust enrichment law.
09) The Bernie Hadoff crimes, are somewhat on point, in the huge
Epstein hedge fund continuing crimes. The Epstein hedge fund
crimes, are much higher in oam0Ont4 compared with the Bernie
Medoff hedge fund crimes. The freeze of Epstein assets, will be
ordered herein.
10) The Epetein hedge fund currency bank margin loan account, crimes,
provides over one hundred dollars. in margin bank loans, against
one dollar, in the currency margin loan trading investment, one
hundred to one, bank margin loan accounts, in trading of currency
contracts. The largest loans on Wall Street world wide.
11) United States V. Summerlin, 84 L.ed.; 1283 (19404, discerns the
well settled law, whereby the government, is not bound by the
statute of limitations, in civil restitution collection suits,
herein against Epstein and others.
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11A) Soffehberg has over 35-years in collection law training.
12) United States et al, V. Walter A. Forbs et al, 740 F. Supp 2d
334, District of Connecticut, September'/O, 2010, order shows
the joint government, and restitution creditoreecedent Corp.
'federal debt collection procedure act, recovery, that may be •
used against, the multi-biilionaLre Epstein crimes herein. The
government has over 400•Billion :.n judgments in other cases that
apply herein.
13) The constructive trust well sett:.ed law; may be used to freeze,
the multi-billion Epstein assets and money.
14) Epstein understands, that the effort in this memo, will cause
the huge Epstein hedge fund currency margin, bank trading loan
accounts to be called in, and defaulted by the Epstein banks,
for the Epstein bank fraud loan application crimes in seeking the
bank margin loan accounts.
. 15) Epstein understands his bank loan margin accounts fraud crimes,
used by Epstein tb open each bank loan margin account, in the
Epstein hedge fund criminal enterprise, are at risk, in the
operations herein.
16) Hoffenberg will turn over evidence in'the Towers Invektors bot-
Com, bankruptcy:
cases. showing how Epstein did act by criminal.
and civil fraud. in the bankruptcy cases in the. massive 'Epstein
hedge tund. triminal enterprise, by defrauding all of the Towers
Investors Dot Com.
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17) Epstein understands that, the operations herein, will cause the
major Epstein hudge fund investors, to demand the repayment,of
each investment, in the Epstein hedge fund. Therein ending the
Epstein hedge fund criminal enterprise.
18) Attached hereto are the Jeff Epatein investor hedge fund audit
crimes project, (33) thirty-three points of fact. Said points
of fact, crimes will be further discerned by Hoffenberg, and
experts, showing the government, the inside operations, crimes,
in the massive multi-Mllionaire Jeff Epstein hedge fund criminal
enterprise.
19) The Leese Family Towers Investors Hoffenberg overseas contracts,
are vital in, the Epstein massive hedge fund criminal enter-
prise. Said contracts are ongoing today.
20) The Leese Family members, will cooperate with the Government,
in the Epstein criminal case. Hcffenberg not Epsterin, has the
key relationship, with the Leese Family members. Hoffenberg did
the Leese, Towers Investors, Epstein contracts.
21) Epstein defrauded the Leese Family members, in their continuing
Epstein hedge fund, -crimes overseas bank relationships. that are
controlled by the Leese Family. The Leese Family operate over-
seas, not in the United States. The Leese Family don't under-
stand, the massive Epstein crimes.
22) The Leese Family members, pay cut the illegal overseas Epstein
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hedge fund criminal enterprise, funds, that violates the United
States criminal law, with Epstein.
23) The government will be provided with further evidence, from the
Towers Investors
, restitution civil collections, from
the multi-billionaire Jeff Epstein hedge fund criminal enter-
prise, investigation.
24) The government will be paid billions of dollars, from the multi-
billionaire Epstein criminal enterprise. Hoffenberg, the Epstein
hedge fund partner, will meet with, the Epstein hedge fund banks,
now. Government agents will be at the bank meetings.
25) The Epstein hedge fund banks, did violate the United States
criminal law, whereby the banks will consider the need to reach
the hedge fund bank loans settlement reduction with Hoffenberg,
in the banks margin and the other Epstein bank hedge fund loans.
Government agents, will be at the bank.
26) Epstein understands that the hedge fund bank loans reduction
settlement, provide(s) the billions of dollars, to pay the Govern-
ment, with ail the Epstein hedge fund investors, and Towers
Investors Dot-Com, 200,000 restitution victims.
27) Epstein must pay out some (50) f:Lfty million dollars to the
Towers Investors Dot-Com, in order to fund the operations herein,
now.
28) Epstein understands his major risk in the civil and criminal
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issues, that will cause the Epstin over (150) One Hundred Fifty
year prison sentence.
29) Epstein understands that his Government continuing cooperation,
in the Epstein guilty plea agreement, are now mandated, for the
most serious Epstein considerations.
30) The Government must consider the terms in the Epstein guilty
plea agreement, set forth below.
31) The court will order and bind the terms in the Epstein guilty
plea agreement.
32) Epstein's Government continuing cooperation, will provide Epstein
with home detention up to the tine of the Epstein criminal case
sentence.
33) The Epstein sentence will be served at the Government.baser not prison,
the same kind of detention terms, provided to'Sammy the Bull,
in the John Gotti, case. The Epstein financial details will be
settled with the Government in the Epstein court ordered guilty
plea agreement.
LAkal> to-3- 401.3
By:
J .
(Loa el.g2/'—‘
even Ju
Hoffenberg
-07-
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JEFF EPSTEIN INVESTOR AUDIT PROJECT
1. The currency future contracts copy, are notprevided to each
investor, by Epstein:
2. Currency is a commodity, ilipfined under, the Commodity Exch7
tugs Act, hereinafter OEA.
3. Each currency transaction, for the inveltor(s), are placed in
needed valid counterparty, in the bank.
4. The bank counterparty, trade(s) they investor currency account(s).
5. Each investor currency account, must.be listed by the bank, in
the name of each investor.
0. Epstein conceal(s), the, investor required name, from the 'bank.:
currency trading account(s).
7. Epstein is sot the valid investor dOuntarpatry-, that must trade,
for each investor account.
8. The .investor account, will not take the physical delivery. Pf
the trading currency.
9. Commodity Futures Trading CoMmiaaitin.'mai open the .inveetigatiun
in currency investor trading.violation(s),. by. Epstein.
10. Commodity Futures Trading Commission vs International Foreign
Currency. Inc Etal 334 F.Supp 2d 305 (EDNY.2064), show(s) the inve-
stor currenerbasic trading.
•
11. The investor fund(s), are deposited in, the Epstein account(s),
not the investor currency account(s), operated by the bank curren-
cy trader.
12. Epstein, not the bank, has authority, in the investor funds.
-1-
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13. VioIation(s) in .the investor 'currency account,, may' show up at,
the bank currency trading accounts.
14. Epstein operate(s) aIode,..the bank currency trading accounts,
concealing that evident q9 .from. the toasters..
. . .-
15..Each investor audit, 1.1% the banki\currency evading accounts,
will show, the violation(s))*by Epeteth;-.<
. . .
.
16. The inmestoc.ctiatrect(A)- with Epstein, vi11 show the road map,
in the Epstein eloUtion(s) of Federa.4.1ai.
17. The Eoffenberg Collection assistance, with the investors, will
. .
produce, the Epstein violatien(s),.iilederal law.'
18. The Commodity Futures.tradimg ComMigfaion, will'act,' in the Ep-
stein turnover of account evidence, for each investor, if needed..
19. Hoffenberg will assist, in the candeted Collection Audit, in
each investor account.
20. The Collection Investor Audit, will be performed by expert(s),
in. this inmestment:
21. Hoffenberg can.assist in picking the investor.
tollection audit
experts, In addition teithe audit work prOceis.
22. Epstein stated in the media:that Epstein alone, operate(s),
the Investor Currency Trading stratogieer like Medoff.
23. Epstein alone structura(s), the• investor currency trading acc-
ount, profit and.loss, like Tfadof£.•
.24.. The Epstein investor solicitation friend, will show how, the in-
vestor Epstein contract, proie(s)the Epstein investor' fraud, scheme.
25. Epstein violate(s) the CEA anti fraud provision(s),, with each '
•
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investor account, Epsnin margin credit from the bank trading the
currency, in the Epstein scheme.
26. The Epstein investor bad faith, extreme fraud scheme, converts)
the massive bank margin credit account, in the Epstein profit, that
defraud(s) each investor account.r
.....
27. The bank major margin credit acconetp
provide(s) Epstein with
the fund(s), that Epstein convert(s), Prod each investor, into the
Epstein account currency trading presEit(s)-.
28. The Epstein investor bit faith scheme, remove(s) from each inv-
estor currency trading account, the bank major margin trading credit
with no material disclosure, to the investors.
29. Epstein stated in the Media, that Epstein is paid a flat fee,
from each investor account.
30. The flat fee Epstein statement, from each investor account cha-
rge, show(s) the Epstein fraud, bad faith, by converting the inves-
tor bank margin credit sccount, into the Epstein account trading
use.
31, The Epstein trading profit(s), come(a) from, the investor looted
defrauded bank,,margin trading crudit,:for each investor, that Ep-
stein loot(s) in his trading accoumtts,.from each investor account
profit.
32. The Epstein investor contract(s), conceals) and defraud(s),
each investor in the bank margin trading credit.
33. The Epstein extraordinary bank margin credit, that Epstein loots,
from each investor account, provide(s) the Epstein profit, in viola-
tion of Federal law. Invest/or Epstein Contract Fraud Scheme.
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