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efta-efta01420399DOJ Data Set 10CorrespondenceEFTA Document EFTA01420399
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Subject: FW: Southern Financial LLC - EDD [C]
From: Wayne Salit ‹
>
Date: Fri, 16 Jan 2015 16:31:08 -0500
To: Jan Bornebusch
Cc: Carlos-A Garcia
Kerrian Gordon
Alina Amanci
John-A Lynch
Peggy McGarve
Dmitri Saks
Classification: Confidential
Conditional Approval - I approve this EDD with the condition that it be
reviewed by yourself.
Jan - As with the Global Markets Enhanced Due Diligence procedures, the EDD
of Southern Financial LLC requires both yours and my approval from an AML
perspective as the entity is a Private Investment Vehicle, which is High
Risk. In addition, negative information was identified regarding Jeffrey
Epstein, the sole UBO of Southern Financial LLC.
The EDD was performed by Dmitri Saks. The EDD consisted of the use of
various electronic databases [e.g. Lexis/Nexis, Google, Factiva and RDC
(which includes an OFAC scan)] and a review of received documents that
satisfy USA PATRIOT and 3rd EU MLD requirements. Use of third party vendors
did not alert any items for attention outside of identifying the negative
information regarding Jeffrey Epstein as described in the EDD below.
The Epstein Relationship:
Mr. Epstein currently has numerous existing account relationships with DB
for himself as well as entities where he is a controlling party. However,
based on the negative information described below, AML Compliance and
Compliance Advisory have recommended that the entire DB relationship with
Mr. Epstein in both AWM and CB & S be presented to the Americas Reputational
Risk Committee (and possibly a Global Reputational Risk Committee, if
necessary) for additional review.
However, AML Compliance has determined that until the DB relationship with
Mr. Epstein and his entities has been fully reviewed by DB Senior Management
in the Reputational Risk Committee, the existing Epstein relationship can
continue to conduct trades and transactions in existing accounts as long as
the relationship does not expand beyond its current level. Although a new
account in CB & S will need to be opened for the client, based on the size
and scope of the client's existing relationship, this new account will not
effectively "expand" the relationship beyond its current level of trading
and transactional activity.
Therefore, from an AML perspective, I conditionally approve the EDD of
Southern Financial LLC, awaiting your second level approval. If the EDD is
approved, CB & S AML will send an e-mail to the respective BM advising that
they should review transaction/activity conducted in the account for any
possible unusual activity.
In addition, as set forth above, despite this EDD approval, AML Compliance
and Compliance Advisory have recommended that the entire DB relationship
EFTA01420399
with Mr. Epstein in both AWM and CB & S be presented to the Americas
Reputational Risk Committee (and possibly a Global Reputational Risk
Committee, if necessary) for additional review.
Please advise if you agree.
Thanks
Kind regards,
Wayne Salit
From: Dmitri Saks
Sent: Friday, December 19, 2014 11:17 AM
To: Wayne Salit
Subject: Southern Financial LLC - EDD [C]
Classification: Confidential
Wayne,
Enhanced Due Diligence was conducted on Southern Financial LLC, a Private
Investment Vehicle incorporated in the U.S. Virgin Islands, which is a Level
II country, as the result of a New Client Adoption request to open a Global
Markets relationship. The below is for your review and approval.
Nature of Escalation —
•
The escalation is due to the client being a Private Investment
Vehicle, which is considered High risk.
Note: The documentation for this account is available for review on the
shared drive via the following path: L:\Central_Functions_Compliance\Comp-
nyseccom\Varela\AML\Pending Investigations, EDD, EDRs\Southern Financial LLC\
Research Findings (LEXIS/GOOGLE SEARCHES) -
•
Southern Financial LLC is a private investment vehicle incorporated
under the laws of the Virgin Islands of the United States. The sole member
of Southern Financial LLC is Southern Trust Company, Inc. which is also
incorporated in the U.S. Virgin Islands. The sole shareholder of Southern
Trust Company, Inc. is Jeffrey Edward Epstein.
Ownership/UBOs
•
Jeffrey Edward Epstein is the sole UBO and a control person of
Southern Financial LLC. He is an American financier and science and
education philanthropist. He began his financial career in 1976 as an
options trader at Bear Stearns and became a partner in 1980. In 1982,
Epstein founded his own financial management firm, J. Epstein & Co.,
managing the assets of clients with more than a billion in net worth. In
EFTA01420400
1996, Epstein changed the name of his firm to The Financial Trust Company
and based it on the island of St. Thomas in the U.S. Virgin Islands, which
merged into Southern Financial LLC. The source of wealth is from his career
at Bear Stearns and his financial management firms.
PCR/RDC Alerts —
•
RDC alerted to negative information on a control person and UBO of
Southern Financial LLC, Jeffrey Edward Epstein. Epstein is a registered sex
offender. Since 2005, there have been multiple allegations against Epstein
regarding sexual assault of minors. In 2008, he was convicted and received
an 18-month sentence for soliciting an underage girl for prostitution, of
which he served 13 months in jail. By 2011, 40 underage girls had come
forward with testimony of Epstein sexually assaulting them. According to
court papers, Epstein allegedly abused underage girls in Michigan,
California, West Palm Beach, New York, New Mexico, and Paris. After the
accusations became public, several parties returned donations they had
received from Epstein, including some prominent politicians (e.g., Bill
Richardson, Governor of New Mexico; Gary King, New Mexico State Attorney
General; Eliot Spitzer, Governor of New York; Mark Green, New York State
Attorney General candidate).
Epstein managed to settle at least 17 lawsuits out of court so far, while
others are still ongoing. Earlier this year, an appeal court in the U.S.
ruled that the women, who were 13 and 14 when they claim he abused them, be
granted access to the details of a plea bargain agreed between Epstein and
federal prosecutors before he was jailed in 2008. This means that the 2008
case against him could be reopened.
•
RDC also produced a number of false positive alerts on a control
person, Richard Kahn. The alert review and dismissal is included in the
customer documentation.
•
PCR did not alert.
Documentation —
•
Documentation to verify entity formation and UBO identity was
provided.
Expected Activity for the Account/Information from Sales
•
The client is opening an Equities Custody/Margin account for flow
trading.
Recommendation —
•
From an AML perspective, I approve this account with the condition
to mark the relationship as High Risk and the recommendation to be monitored
for suspicious activity. However, the material negative information
associated with the client's UBO and control person, Jeffrey Edward Epstein,
EFTA01420401
may pose reputational risk to DB. Therefore, I recommend escalating this
case to the Americas Reputational Risk Committee for review and decision.
Thanks and regards,
Dmitri
Dmitri Saks
AML Compliance Officer
Deutsche Bank Securities Inc.
60 Wall Street, New York, NY 10005-2836
Tel:
E-mail:
EFTA01420402
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