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efta-efta01120392DOJ Data Set 9OtherDS9 Document EFTA01120392
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DOJ Data Set 9
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efta-efta01120392
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SCHULTE ROTH & ZABEL LLP
919 Third Avenue
2007 MR 27 P(112 9tw Thrici NY 1°622
WWII) .STZ. com
FACSIMILE
PLEASE DISTRIBUTE TO ALL LISTED PERSONS
To
Darren K. Indyke, Esq.
Company
Fax No.
Confirmation No.
New York Strategy Group. LLC
FROM:
DIRECT DIAL:
Number of Cover Sheets:
FILE No.:
Marc E. Elovitz
Number of Pages:
3
1
(Including Cover Page)
017962/0104
Additional Message:
10385709.1
THE INFORMATION CONTAINED IN THIS MESSAGE IS MENDED ONLY FOR THE USE OF THE INDIVIDUAL OR ENTITY NAMED ABOVE. if THE
READER OF THIS MESSAGE IS NOT THE INTENDED RECIPIENT. YOU ARE HEREBY NOTIFIED THAT ANY DISSEMINATION. DISTRIBUTION OR
COPYING OF THIS COMMUNICATION IS STRICTLY PROHIBITED. IF YOU HAVE RECEIVED THIS COMMUNICATION IN ERROR. PIP ACE
IMMEDIATELY NOTIFY US BY TF-LEPHONE. AND RETURN rue ORIGINAL MESSAGE TO US AT THE ABOVE ADDRESS VIA THE U.S. POSTAL
SER vice. THANK YOU.
For incomplete transmission please call
JE002625
EFTA01120392
•
•
SCHULTE ROTH & ZABEL LLP
919 Third Avenue
New York, NY 10022
4
WWI17.87Z.COM
Marc E. Elovitz
March 27, 20C1/
Darren K. Indyke, Esq.
New York Strategy Group, LLC
457 Madison Avenue
New York, New York 10022
Re: Jeepers, Inc. Redemption Request
Dear Mr. Indyke:
I write in response to the letter dated February 14, 2007 from your client, Jeffrey
Epstein, to Daniel Zwirn regarding Jeepers, Inc.'s ("Jeepers") request for withdrawal of its capital
account with D-B. Zwirn Special Opportunities Fund, L.P. (the "Fund").
As you are aware, Jeepers' withdrawal rights are governed by Article IX of the
Second Amended and Restated Agreement of Limited Partnership, dated as of May 27, 2005 (the
"Limited Partnership Agreement") and the January 11, 2005 letter agreement (the "2005 Letter
Agreement") between D.B. Zwirn Partners, LLC and Financial Trust, which later assigned its
limited partnership interest to Jeepers. Section 9.1 of the Limited Partnership Agreement
governs complete withdrawals of investors' capital accounts and the 2005 Letter Agreement
permitted Financial Trust to withdrawal under Section 9.1 as of March 31, 2007 (and as of the
second anniversary of that date thereafter) on 120 days prior written notice. Because the
February 14, 2007 Letter seeking complete withdrawal was not provided 120 days prior to
March 31, 2007, it did not constitute valid notice.
Mr. Epstein previously sought withdrawal of a portion of his interest in the Fund
by letter dated November 13, 2006. That letter did not constitute valid notice, because Mr.
Epstein had no right at that time to partial withdrawal from the Fund. The 2005 Letter
Agreement did not provide Mr. Epstein with any such right as of March 31. 2007, because partial
withdrawals are governed by Section 9.2 of the Limited Partnership Agreement, which was not
covered by the 2005 Letter Agreement
Going forward, with the proper notice, Jeepers may withdraw from the Fund on
the following schedule: (1) on June 30, 2008, Jeepers' April 1, 2002, investment may be
redeemed; (2) on September 30, 2008, Jeepers September I. 2002, investment may be redeemed;
(3) on December 31, 2008, Jeepers' December I, 2002 investment may be redeemed; (4) on
JE002626
EFTA01120393
Darren K. Indyke, Esq.
March 27, 2007
Page 2
March 31, 2009, Jeepers' January 1, 2005, investment may be redeemed; and (5) on June 30,
2009, Jeepers' June I, 2003, investment may be redeemed. Even if Jeepers was entitled to
complete withdrawal of its entire capital account on the two- year anniversary of its January 1,
2005, investment, Jeepers would not be entitled to complete withdrawal until March 31, 2009.
In his February Letter, Mr. Epstein also suggests that he is entitled to withdrawal
of Jeepers. capital account by alluding to disagreements with respect to the 2005 Letter
Agreement and as to year end values of Jeepers' capital account. In addition, I understand that
you indicated to an attorney for the Fund that Mr. Epstein is entitled to withdrawal of Jeepers'
capital account based on conversations between Mr. Epstein and Dan Zwirn. While we are
happy to review with you the relevant agreements and the Jeepers' account details, there is no
basis for withdrawal of Jeepers' capita! account.
Please call me if you would like to discuss this matter or if you have any
questions. Until we resolve the matter, please direct all communications through me or my
partner Harry Davis as counsel to the Fund.
Sincerely,
144-44-ve-Any-
Marc E Elovitz
JE002627
EFTA01120394
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