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Street Miami, Florida 33132 Privileged Communication Re: Litigation Hold re: Jane Does #1 and #21. United States, Case No.: 08-80736-C1V- MARRA/Johnson AND Jeffrey Epstein As a follow-up to your recent meeting concerning the above-referenced case, I write this letter in my capacity as the Electroni
reserve all documents and data relating to the claims set forth in the Victim's Emergency Petition for Enforcement of Crime Victim's Rights Act, 18 USC Section 3771 (DE I) ("Victim's Petition") in Case No.: 9:08-cv-80736-Marra/Johnson in the Southern District of Florida, filed on July 7, 2008. Based upon the fa
have received and read the Litigation Hold letter dated November 2. 2010 regarding Jane Does #1 and #2I United States. Case No.: 08-80736-CIV-MARRA/Johnson and 1 have taken and agree to continue to take all reasonable steps necessary to preserve the documents and data as instructed in the letter and Fo
reserve all documents and data relating to the claims set forth in the Victim's Emergency Petition for Enforcement of Crime Victim's Rights Act, 18 USC Section 3771 (DE I) ("Victim's Petition") in Case No.: 9:08-cv-80736-Marra/Johnson in the Southern District of Florida, filed on July 7, 2008. Based upon the fa
Street Miami, Florida 33132 Privileged Communication Re: Litigation Hold re: Jane Does #1 and #21. United States, Case No.: 08-80736-C1V- MARRA/Johnson AND Jeffrey Epstein As a follow-up to your recent meeting concerning the above-referenced case, I write this letter in my capacity as the Electroni
reserve all documents and data relating to the claims set forth in the Victim's Emergency Petition for Enforcement of Crime Victim's Rights Act, 18 USC Section 3771 (DE I) ("Victim's Petition") in Case No.: 9:08-cv-80736-Marra/Johnson in the Southern District of Florida, filed on July 7, 2008. Based upon the fa
have received and read the Litigation Hold letter dated November 2, 2010 regarding Jane Does #1 and #2 v. United States, Case No.: 08-80736-Mt-MARRA/Johnson and I have taken and agree to continue to take all reasonable steps necessary to preserve the documents and data as instructed in the letter and Fo
reserve all documents and data relating to the claims set forth in the Victim's Emergency Petition for Enforcement of Crime'Victim's Rights Act, 18 USC Section 3771 (DE 1) ("Victim's Petition") in Case No.: 9:08-cv-80736-Marra/Johnson in the Southern District of Florida, filed on July 7, 2008. Based upon the fa
I ha received and read the Litigation Hold letter dated November 4, 2010 regarding Jane Does and #2I United States, Case No.: 08-80736-CIV-MARRA/Johnson and 1 have taken and agree to continue to take all reasonable st s necessa to reserve the documents and data as instructed in the letter and Form
reserve all documents and data relating to the claims set forth in the Victim's Emergency Petition for Enforcement of Crime Victim's Rights Act, 18 USC Section 3771 (DE 1) ("Victim's Petition") in Case No.: 9:08-cv-80736-Marra/Johnson in the Southern District of Florida, filed on July 7, 2008. 1 request that y
Entities connected to both Scarlett Johansson and USC Section 3771

Jeffrey Epstein
PERSON
Kenneth Marra
PERSONJane Doe
PERSON
Bradley Edwards
PERSON
United States
LOCATION
George W. Bush
PERSONJack Goldberger
PERSON
Department of Justice
ORGANIZATIONthe Southern District
LOCATION
Ghislaine Maxwell
PERSONFBI
ORGANIZATIONSouthern District
LOCATION
A. Marie Villafana
PERSON
the United States District Court
ORGANIZATIONOffice for the Southern District of Florida
ORGANIZATION
Dexter Lee
PERSONGardner
PERSON
Martinez
PERSONthe Eastern District
LOCATIONS.R.
PERSON