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"). As discussed, this letter and the enclosed document production represent the third submission in our client's rolling response to the Subpoena. Enclosed with this letter is an encrypted file labeled DB-SDNY-PROD003 containing documents and electronic communications responsive to items 1 through 5, 7,
cing these materials pursuant to a grand jury subpoena, it is our understanding that this production will be treated as confidential consistent with Federal Rule of Criminal Procedure 6(e). Notwithstanding the confidentiality of the enclosed materials and information, should you receive any request for disclosure
the "Subpoena"). This letter and the enclosed document production represent the eighth submission in our client's rolling response to the Subpoena. Enclosed with this letter is an encrypted file labeled DB-SDNY-PROD008 containing documents responsive to item 12 of the Subpoena. Specifically, the producti
cing these materials pursuant to a grand jury subpoena, it is our understanding that this production will be treated as confidential consistent with Federal Rule of Criminal Procedure 6(e). Notwithstanding the confidentiality of the enclosed materials and information, should you receive any request for disclosure
(the "Subpoena"). This letter and the enclosed document production represent the fifth submission in our client's rolling response to the Subpoena. Enclosed with this letter is an encrypted file labeled DB-SDNY-PROD005 containing documents responsive to items 1 and 3 of the Subpoena. Specifically, the en
cing these materials pursuant to a grand jury subpoena, it is our understanding that this production will be treated as confidential consistent with Federal Rule of Criminal Procedure 6(e). Notwithstanding the confidentiality of the enclosed materials and information, should you receive any request for disclosure
the "Subpoena"). This letter and the enclosed document production represent the fourth submission in our client's rolling response to the Subpoena. Enclosed with this letter is an encrypted file labeled DB-SDNY-PROD004 containing documents and electronic communications responsive to items 2, 4, 5, 17, 18
cing these materials pursuant to a grand jury subpoena, it is our understanding that this production will be treated as confidential consistent with Federal Rule of Criminal Procedure 6(e). Notwithstanding the confidentiality of the enclosed materials and information, should you receive any request for disclosure
he "Subpoena"). This letter and the enclosed document production represent the seventh submission in our client's rolling response to the Subpoena. Enclosed with this letter is an encrypted file labeled DB-SDNY-PROD007 containing documents responsive to items 3 and 16 of the Subpoena. Specifically, the p
cing these materials pursuant to a grand jury subpoena, it is our understanding that this production will be treated as confidential consistent with Federal Rule of Criminal Procedure 6(e). Notwithstanding the confidentiality of the enclosed materials and information, should you receive any request for disclosure
Entities connected to both Enclosed and Federal Rule of

Jeffrey Epstein
PERSON
Prince Andrew
PERSON
Ghislaine Maxwell
PERSON
George W. Bush
PERSONSouthern District
LOCATION
United States
LOCATIONDarren Indyke
PERSON
Deutsche Bank
ORGANIZATIONFBI
ORGANIZATION
Department of Justice
ORGANIZATIONJames J. Benjamin
PERSONParvin D. Moyne
PERSON
Julie K. Brown
PERSONLeon Black
PERSONRossmiller
PERSONthe Southern District
LOCATION
Southern District of New York
ORGANIZATIONGerald Lefcourt
PERSON
A. Marie Villafana
PERSON
Jes Staley
PERSON