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efta-efta00212712DOJ Data Set 9Other

To: "Paul Cassell"

From: To: "Paul Cassell" Cc: Subject: OPR Contact Date: Wed, 16 Mar 2011 15:32:30 +0000 Importance: Normal "Brad Edwards" Paul, The individual who received your December 10, 2010 letter, requesting an investigation, is OPR Acting Associate Counsel She can be reached at EFTA00212712

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Unknown
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DOJ Data Set 9
Reference
EFTA 00212712
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1
Persons
2
Integrity

Summary

From: To: "Paul Cassell" Cc: Subject: OPR Contact Date: Wed, 16 Mar 2011 15:32:30 +0000 Importance: Normal "Brad Edwards" Paul, The individual who received your December 10, 2010 letter, requesting an investigation, is OPR Acting Associate Counsel She can be reached at EFTA00212712

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EFTA Disclosure
Text extracted via OCR from the original document. May contain errors from the scanning process.
From: To: "Paul Cassell" Cc: Subject: OPR Contact Date: Wed, 16 Mar 2011 15:32:30 +0000 Importance: Normal "Brad Edwards" Paul, The individual who received your December 10, 2010 letter, requesting an investigation, is OPR Acting Associate Counsel She can be reached at EFTA00212712

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Dershowitz’s evasive discovery responses in Edwards v. Dershowitz case

Dershowitz’s evasive discovery responses in Edwards v. Dershowitz case The passage reveals a pattern of non‑compliance and vague objections by a high‑profile attorney in a civil suit, suggesting possible concealment of documents. While it provides specific dates and procedural details useful for follow‑up, it lacks concrete allegations of wrongdoing, financial flows, or involvement of powerful political actors, limiting its impact. Key insights: Discovery requests for “absolute proof” were served well before February 2015.; Dershowitz’s counsel promised production by Feb 23, 2015 but delivered no documents.; Responses were limited to generic objections and promises of “non‑privileged” documents.

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Subjec

Fr • < > Subjec :Deliberative t Process ec aratton rom am Justice - equest or wo ee xtension Date: Fri, 20 Sep 2013 17:59:47 +0000 Importance: Normal We have no objection, provided we get the following accommodation, which you already anticipated. We would request that your motion for extension of time give us an extension on our reply document, such that our reply would be due 10 days after the main Justice Department declaration that will be coming in two weeks. If you would include such language as well in any proposed order, saving us (and the court) drafting time, that would be very much appreciated. Paul Cassell and Brad Edwards for Jane Doe #1 and Jane Doe #2 Paul G Cassell CONFIDENTIAL: This electronic message along with any/all attachments is confidential. This message is intended only for the use of the addressee. If you are not the intended recipient, you may not use, disseminate, distribute or copy this communication. If you have received this message

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Dershowitz seeks to seal Giuffre affidavit in Edwards‑Cassell defamation case, claims media attacks are fabricated

Dershowitz seeks to seal Giuffre affidavit in Edwards‑Cassell defamation case, claims media attacks are fabricated The passage hints at a possible concealment of evidence in a high‑profile defamation dispute involving Alan Dershowitz, a prominent attorney, and references the infamous Giuffre allegations. While it names well‑known legal figures, it provides no concrete financial transactions, dates, or new factual revelations beyond already public claims, limiting its investigative utility. However, the suggestion that a court record may be sealed to hide potentially damaging testimony offers a moderate lead for further document‑review and freedom‑of‑information requests. Key insights: Dershowitz requests the court to declare portions of Ms. Giuffre’s affidavit confidential.; He publicly denies the allegations on BBC Radio 4, framing them as a coordinated false‑story campaign.; Dershowitz threatens perjury prosecution against accusers and seeks disbarment of opposing counsel.

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To: "Paul Cassell"

From: To: "Paul Cassell" Cc: ' "Brad Edwards" Subject: : ovemments osition on Several Pending Issues? Still Waiting for Answer Date: Thu, 17 Mar 2011 16:56:28 +0000 Importance: Normal Paul, 1. Yesterday, I provided you with the name and phone number for OPR Acting Associate Counsel, who received your December 10, 2010 letter to Mr. Ferrer, asking for an investigation of the Jeffrey Epstein prosecution. 2. The government will not be making initial disclosures to plaintiffs, because we do not believe Fed.R.Civ.P. 26 applies to this matter. 3. The CVRA applies to the criminal case which has been filed in district court, where an individual is deemed to be a "victim," not any civil litigation which may be initiated to enforce those claimed rights. We do not believe there is any right to discovery in this case. Moreover, we do not believe that whatever Kenneth Starr or Lilly Ann Sanchez may have said to this office, or what this office said to Kenneth Starr or Lilly Ann S

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Filing # 35429605 E-Filed 12/11/2015 10:08:04 AM

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Filing # 31897743 E-Filed 09/10/2015 12:44:35 PM

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