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d previously, the requested non-privileged documentary evidence directly concerns the allegations in Doe's civil case. Due to the establishment of the Epstein Victim Compensation Program that is currently underway, seeks this information on an expedited basis in order to properly and completely present her claim for consideration, a
n California 0 Admitted in I>ittiict of Columbia • Admitted m Florida t Admitted in New York Beard (:ctinicd Civil Trial lau)rr Re: Re uest for Tangible and Documentary Evidence (Touhy Request) v. Darren K. Ind ike et al., SDNY Case No. 1:19-cv-07771 Victim: Dear Mr. In follow up to our previous communications, please acc
d previously, the requested non-privileged documentary evidence directly concerns the allegations in Doe's civil case. Due to the establishment of the Epstein Victim Compensation Program that is currently underway, 5 Doe seeks this information on an expedited basis in order to properly and completely present her claim for considera
California 0 Admitted in I>istrict of Columbia • Admitted m Florida t Admitted in New York Beard (:crtified Civil Trial lau)rr Re: Re tuest for Tangible and Documentary Evidence (Touhy Request) Doe v. Darren K. Indyke, et al., SDNY Case No. 1:19-cv-07773 Victim: In follow up to our previous communications, please accept th
d previously, the requested non-privileged documentary evidence directly concerns the allegations in Doe's civil case. Due to the establishment of the Epstein Victim Compensation Program that is currently underway, seeks this information on an expedited basis in order to properly and completely present her claim for consideration, a
in California 0 Admitted in District of Columbia • Admitted m Florida t Admitted in New York Heard Certified Civil Trial IMFI' Re: Re uest for Tangible and Documentary Evidence (Touhy Request) v. Darren K. Indyke, et al., SDNY Case No. 1:19-cv-07772 Victim: In follow up to our previous communications, please accept this a
d previously, the requested non-privileged documentary evidence directly concerns the allegations in Doe's civil case. Due to the establishment of the Epstein Victim Compensation Program that is currently underway, seeks this information on an expedited basis in order to properly and completely present her claim for consideration, a
California 0 Admitted in District of Columbia • Admitted in Florida t Admitted in Nat York I Hoard Certified Civil Trial Lawyer Re: Re uest for Tangible and Documentary Evidence (Touhy Request) V. Darren K. I ndyke, et al., SDNY Case No. 1:19-cv-07773 In follow up to our previous communications, please accept this as our fo
d previously, the requested non-privileged documentary evidence directly concerns the allegations in Doe's civil case. Due to the establishment of the Epstein Victim Compensation Program that is currently underway, seeks this information on an expedited basis in order to properly and completely present her claim for consideration, a
ted in California 0 Admitted in District of C.olumbia • Admitted in florid t Admitted in Net York I Dowd Certified Trial knqtr Re: Re uest for Tangible and Documentary Evidence (Touhy Request) v. Darren K. Indyke, et al., SDNY Case No. 1:19-cv-07772 In follow up to our previous communications, please accept this as our for
d previously, the requested non-privileged documentary evidence directly concerns the allegations in Doe's civil case. Due to the establishment of the Epstein Victim Compensation Program that is currently underway, seeks this information on an expedited basis in order to properly and completely present her claim for consideration, a
California 0 Admitted in District of Columbia • Admitted in florid t Admitted in New York I Herald Certified f:iva Trial Latqtr Re: Re uest for Tangible and Documentary Evidence (Touhy Request) v. Darren K. Indyke, et al., SDNY Case No. 1:19-cv-07771 In follow up to our previous communications, please accept this as our for
lained previously, the requested non-privileged documentary evidence directly concerns the allegations in civil case. Due to the establishment of the Epstein Victim Compensation Program that is currently underway, seeks this information on an expedited basis in order to properly and completely present her claim for consideration, a
I:alifornit 0 Admitted in District of Columbia • Admitted m Florida t Admitted in New York Heard (:ettificti Civil Trial lau)rr Re: Re uest for Tangible and Documentary Evidence (Touhy Request) SDNY Case No. 1:19-cv-07771 Victim: De& In follow up to our previous communications, please accept this as our formal written requ
lained previously, the requested non-privileged documentary evidence directly concerns the allegations in civil case. Due to the establishment of the Epstein Victim Compensation Program that is currently underway, seeks this information on an expedited basis in order to properly and completely present her claim for consideration, a
in California 0 Admitted in District of Columbia • Admitted m Florida t Admitted in New York board Certified Civil Trial ilWyCl Re: Re uest for Tangible and Documentary Evidence (Touhy Request) et al., SDNY Case No. 1:19-cv-07772 In follow up to our previous communications, please accept this as our formal written request f
lained previously, the requested non-privileged documentary evidence directly concerns the allegations in civil case. Due to the establishment of the Epstein Victim Compensation Program that is currently underway, seeks this information on an expedited basis in order to properly and completely present her claim for consideration, a
n California 0 Admitted in District of Columbia • Admitted m Florida t Admitted in New York I Heard Certified Civil Trial IMF.' Re: Re uest for Tangible and Documentary Evidence (Touhy Request) et al., SDNY Case No. 1:19-cv-07773 In follow up to our previous communications, please accept this as our formal written request f
plained previously, the requested non-privileged documentary evidence directly concerns the allegations in Doe's civil case. M re establishment of the Epstein Victim Compensation Program that is currently underway, Doe seeks this information on an expedited basis in order to properly and completely present her claim for consideratio
dmitted in CIWOCIIS 0 Admitted in Distem of Columba • Admitted m ?lin& f Admitted in Nov Yea Bond Certified cma Thal lawyer Re: Re i m iest for Tangible and Documentary Evidence (Touhy Request) Doc v. Darren K. I ndyke, et at, SDNY Case No. 1:19-cv-07772 Dear Mr. To follow up to our October 15, 2020 and October 21, 20201 l
Entities connected to both the Epstein Victim Compensation Program and Tangible and Documentary Evidence

Jeffrey Epstein
PERSON
Bradley Edwards
PERSON
Brittany N. Henderson
PERSON
Department of Justice
ORGANIZATION
Geoffrey S. Berman
PERSONEDWARDS POTTINGER LLC
ORGANIZATIONthe Southern District
LOCATIONU.S. Mail
ORGANIZATION
FedEx
ORGANIZATIONMatthew D. Weissing
PERSON
United States
LOCATIONDistrict of Columbia
LOCATIONSeth M. Lehrman
PERSONDarren Indyke
PERSONSeth M. Lehrman '
PERSONJ. Stanley Pottinger
PERSON
Touhy
PERSONthe Martha Graham Dance Company
ORGANIZATION
Columbia University
LOCATIONCivil Trial
ORGANIZATION