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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, 5 Doe seeks this information on an expedited basis in order to properly and completely present her claim for considera
1 Doe; 4) Any and all records of purchases of gifts or anything of value purchased for or sent to Doe; 5) Any and all records of donations made to the Martha Graham Dance Company or Ballet Academy East on behalf of 151 Doe; 6) Any and all records showing that a letter or package was sent via U.S. Mail, UPS, FedEx, or by any
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
ttorneys and 4) Any and all records of purchases of gifts or anything of value purchased for or sent to 5) Any and all records of donations made to the Martha Graham Dance Company or Ballet Academy East on behalf of 6) Any and all records showing that a letter or package was sent via U.S. Mail, UPS, FedEx, or by any other me
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, Lisa Doe seeks this information on an expedited basis in order to properly and completely present her claim for conside
; 4) Any and all records of purchases of gifts or anything of value purchased for or sent to Lisa Doe; 5) Any and all records of donations made to the Martha Graham Dance Company or Ballet Academy East on behalf of Lisa Doe; 6) Any and all records showing that a letter or package was sent via U.S. Mail, UPS, FedEx, or by an
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, Lisa Doe seeks this information on an expedited basis in order to properly and completely present her claim for conside
; 4) Any and all records of purchases of gifts or anything of value purchased for or sent to Lisa Doe; 5) Any and all records of donations made to the Martha Graham Dance Company or Ballet Academy East on behalf of Lisa Doe; 6) Any and all records showing that a letter or package was sent via U.S. Mail, UPS, FedEx, or by an
Entities connected to both the Epstein Victim Compensation Program and the Martha Graham Dance Company

Brittany N. Henderson
PERSON
Bradley Edwards
PERSON
Geoffrey S. Berman
PERSON
Jeffrey Epstein
PERSON
Department of Justice
ORGANIZATIONEDWARDS POTTINGER LLC
ORGANIZATIONthe Southern District
LOCATIONMatthew D. Weissing
PERSON
FedEx
ORGANIZATIONU.S. Mail
ORGANIZATION
United States
LOCATIONDistrict of Columbia
LOCATIONSeth M. Lehrman
PERSONDarren Indyke
PERSONSeth M. Lehrman '
PERSONKochevar
PERSONTangible and Documentary Evidence
ORGANIZATIONLisa Doe v.
PERSONLisa Doe's
PERSON