EFTA00014125
Document Transcript
1. 2CDE 12:3C.'M LAW OFFICE- - / Cl /a • / ( date e wtt-) AND ASSOCIATES August I, 2008 AUSA VIA FACSIMILE nited States Attorney's Office Miami, Florida 33132 Dear Mr. s I have received your July 25, 2008 letter indicating a change of course by the U.S. Attorney's Office and an apparent decision not to attempt to work out the undisputed facts in this case. If you would like :o continue trying to work out the agreed facts then, of course, we are willing to continue to work with you towards that goal. If, as you suggested, that would be unproductive given the limited issues the Court needs to decide, then please consider some additional paints below that may help to expedite this matter for the Court. As indicated in your letter, your current position is that the victims' rights were not yet triggered because no case was filed against Jeffrey Epstein. Consequently, your letter indicates that you will be presenting only two facts to the Court, namely: there are no charges in the District Court fi led against Jeffrey Epstein; and (2) Jeffrey Epstein entered pleas of guilty in Florida State Court on June 30, 2008, was sentenced, and is now imprisoned in Palm Beach County. We can certainly agree to those two facts. I am writing to see whether you would also be willing to include two additional uncontested facts in your Notice to the Court. The facts we would like you to include are: (3) As a result of the guilty pleas in Florida State Court entered on June 30, 2008, there is currently in place a "non -prosecution" agreement between Jeffrey Epstein and the U.S. Attorney's Office for the Southern District of Florida that precludes filing of federal criminal charges against Jeffrey Epstein for federal sex crimes committed against the victims in this matter. (4) While this non -prosecution agreement was negotiated between the U.S. Attorney's Office and Jeffrey Epstein in September 2007 (and amended twice more during that year), the victims and their attorneys were not told about the non-prosecution agreement until after June 30, 2008, because of an express confidentiality provision in the agreement that the U.S. Attorney's Office, the FBI, and other federal agents all complied with. , HOLLYWOOD, PLOkiDA 33020
AJg. 1. 200E 12:30814 77 AUSA
United States Attorney's Office
Page Two In suggesting these stipulations, I am not foreclosing presenting other facts on behalf of the victims if the Court determines that other facts are necessary to have before the Court in order to effectively rule on these issues. It just seems to me that points (3) and (4) are so obviously uncontested, that your office would be willing to stipulate to them and make those facts available to the Court for consideration. It is unclear from your recent letter whether you intend to give the victims the courtesy of seeing the fiill and complete non-prosecution agreement that was signed by the parties and that now covers their case. Your previous proposed stipulation of undisputed facts stated: "On July 9, 2008, AUSA sent a victim notification to Jane Doe #1 via her attorney, Bradley Edwards, which is attached as Exhibit 6 to the
Declaration. That notification contains a written explanation of the full terms
of the agreement between Epstein and the U.S. Attorney's Office." While it appears by this statement to have been your intent to provide the victims with a true and accurate copy of that non-prosecution agreement, that agreement has not yet been produced to them. While it is likely a mere oversight on your part, we would again request a true and accurate copy of the complete non-prosecution agreement that apparently bars federal prosecution of the man who committed sexual crimes against my clients. Additionally, we would request again that if statements of my clients were taken by FBI agents or your office, that those interview reports containing those statements he produced to us. Finally, I continue to request that you assist the victims in this case by securing a transcript of the hearing on their petition. Your letter did not address that request, and we would hope that your office would assist the innocent and indigent victims in this ease by providing that transcript. Thank you for your attention to these concerns. Sincerely, BE/sg Brad Edwards HOLLYWOOD, FLORIDA 330 20
Mentioned Entities
Frequently Asked Questions
What is "EFTA00014125"?
Where does this document come from?
How long is this document?
Can I download this document?
Type
Foia ReleaseSource
DOJ - Data Set 8Release Date
January 24, 2025
Pages
2
File Size
261.8 KB
Format
Data Set
data-set-8
OCR Confidence
ID: EFTA00014125
Last updated: Apr 7, 2026
Explore other documents mentioning people in this file
Cooling Tower Maintenance and Water Treatment Service Log 2018
This document is a detailed service and maintenance log for a cooling tower s...
OtherJeffrey E. Epstein Principle: LSJE Employees and Flight Operations Staff
This document is an organizational chart titled 'Jeffrey E. Epstein Principle...
OtherEFTA00013640
Foia ReleaseEFTA00013671
Foia ReleaseRelated Documents
View all foia releasesEFTA02858465
UNCLASSIFIED//LAW ENFORCEMENT SENSITIVE FBI INTERNAL USE ONLY - DO NOT DISSEMINATE EXTERNALLY actical Intelli' FBI New York, ID-13 13 March 2020 ...
EFTA02858481
FD-302 (Rev. 3-8-I0) 31E-NY-3027571 Serial 252 -1 of 10- UNCLASSIFIED//FOUO FEDERAL BUREAU OF INVESTIGATION Date of enuy 08/22/2019 'PROTECT ...
EFTA02858445
FD-302 (Rev. 5-8-101 -1 of H FEDERAL BUREAU OF INVESTIGATION Omeoremm 01/10/2020 , date of birth (DOB) , was interviewed at III , New ...
EFTA02857845
FD-302 (Rev. 5-8-101 -: of 4 - FEDERAL BUREAU OF INVESTIGATION Dmcoremm ::/:0/2020 , daLe of birth was interviewed over video conference ...
EFTA02858453
date of birth was interviewed at the CLUB AT ADMIRALS COVE at 200 Admirals Cove Blvd, Jupiter, FL 33477. Present in person was attorneys Chris Ro...
EFTA02857729
Memorandum SubjectDale rosecution emoran urn une 8 In re Operation Leap Year ToFrom R. Alexander Acosta U.S. Attorney Jeff Sloman First Assistant...