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incipal investigator for the direction and conduct of research under a Federal grant (see example 4 to paragraph (d) of this section); (v) Filing a Securities and Exchange Commission (SEC) Form 10-K or similar disclosure forms required by the SEC; (vi) Making a communication, at the initiation of the Government, concerning work p
intiffs. Without attempting to make any connection to the asserted violation of the CVRA, Paragraphs 52 and 53 falsely allege, that Movant violated Florida Bar rules and Department of Justice regulations by representing Epstein's employees in civil litigation after Movant retired from the United States Att
incipal investigator for the direction and conduct of research under a Federal grant (see example 4 to paragraph (d) of this section); (v) Filing a Securities and Exchange Commission (SEC) Form 10-K or similar disclosure forms required by the SEC; (vi) Making a communication, at the initiation of the Government, concerning work p
intiffs. Without attempting to make any connection to the asserted violation of the CVRA, Paragraphs 52 and 53 falsely allege, that Movant violated Florida Bar rules and Department of Justice regulations by representing Epstein's employees in civil litigation after Movant retired from the United States Att
principal investigator for the direction and conduct of research under a Federal grant (see example 4 to paragraph (d) of this section); "Filing a Securities and Exchange Commission (SEC) Porn 10-K or similar disclosure forms required by the SEC; (v0 Making a communication, at the initiation of the Government, concerning work pe
aintiffs. Without attempting to make any connection to the asserted violation of the CVRA, Paragraphs 52 and 53 falsely allege that Movant violated Florida Bar rules and Department of Justice regulations by representing Epstein's employees in civil litigation after Movant retired from the United States Att
xists in this matter and enter a stay in the "interests of justice" and only for a specified period of time (i.e., after the NPA expires). See also Securities and Exchange Commission 755 F.Supp. 1018, 1019 (S.D. Fla. 1990)(Defendant was in precarious position while being subject to criminal investigation and reasoning that compe
in 14 EFTA00067396 Case 9:08-cv-80119-KAM Document 65 Entered on FLSD Docket 03/25/2009 Page 15 of 15 Page 15 Res By: RO Florida Bar No. Florida Bar B ., ESQ. SQ. , LUTTIER & COLEMAN (Co-counsel for Defendant Jeffrey Epstein) 15 EFTA00067397
incipal investigator for the direction and conduct of research under a Federal grant (see example 4 to paragraph (d) of this section); (v) Filing a Securities and Exchange Commission (SEC) Porn 10-K or similar disclosure forms required by the SEC; (vi) Making a communication, at the initiation of the Government, concerning work p
aintiffs. Without attempting to make any connection to the asserted violation of the CVRA, Paragraphs 52 and 53 falsely allege that Movant violated Florida Bar rules and Department of Justice regulations by representing Epstein's employees in civil litigation after Movant retired from the United States Att
Entities connected to both the Securities and Exchange Commission and Florida Bar

Jeffrey Epstein
PERSON
George W. Bush
PERSON
Donald Trump
PERSON
United States
LOCATION
Jared Kushner
PERSON
Bill Clinton
PERSON
Julie K. Brown
PERSONJane Doe
PERSON
Bradley Edwards
PERSONJack Goldberger
PERSON
Department of Justice
ORGANIZATIONSouthern District
LOCATIONBerger
PERSONLeon Black
PERSONMartin Weinberg
PERSON
Barry Diller
PERSONColeman
PERSON
Hillary Clinton
PERSON
Prince Andrew
PERSON
Supreme Court
ORGANIZATION