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for Mr. Epstein. Currently, the structure of our representation is that I will be the one in communication with you, Lanna Belohlavek and Detective Recarey regarding the investigation and prosecution of this matter. Mr. Dershowitz remains involved however, at this point, I do not anticipate him contact
t you may have with the store to mention Mr. Epstein's name or the investigation (especially in light of reports from multiple witnesses indicating Detective Recarey is providing damaging mis-information). Please let me know if you have any questions about the report and I will do whatever I can to immediately r
7/26/17 Page 47 of 131 Public Records Request No.: 17-295 Alan Dershowitz 1525 Massachusetts Avenue Cambridge, Massachusetts 02138 617-939-6001 Joseph Recarey Detective Palm Beach Police Department 345 S. County Road Palm Beach, FL 33480 Re: Epstein matter Dear Detective Recarey: I am sending you thi
tion There is a likely risk that a plea to aggravated assault, F.S.A. § 784.021(1)(b), will expose the client to registration obligations under the Megan's Law statutes, either as currently written, or as likely to be amended or expanded in the future, in a number of jurisdictions, including, but not
ble and triple hearsay directed toward filing charges against a defendant named See A.6 (Palm Beach Police Department - Probable Cause Affidavit of J. Recarey, dated May 1, 2006). Furthermore, the Florida State Attorney msly rejected the claims asserted in the police affidavit (which sought to charge as
lice Department - Probable Cause Affidavit of J. Recarey, dated May 1, 2006). Furthermore, the Florida Sta
error" . . . . It necessarily follows that the Due Process Clause requires that the state prove its case by clear and convincing evidence in a Megan's Law proceeding. E.B. v. Verniero, 119 F.3d 1077, 1111 (3d Cir. 1997), cert. denied, 522 U.S. 1109 (1998) (citing Addington v. Texas, 441 U.S. 4
residence by Palm Beach Police detective Joseph Recarey in 2005 uncovered an incriminating Amazon receipt
searched the home as part of their investigation.071 The court documents record that a search of Epstein's residence by Palm Beach Police detective Joseph Recarey in 2005 uncovered an incriminating Amazon receipt containing books on S!lrM. The books he ordered are titled: SM rot A RealisticIniQuction, SlaveCra
1/4.11criN . sesoot_ AaOSC Rtt,-)0. 4 toususti_cum First meeting / Coles, Port Pirie carparlc - As I walked towards my vehicle get: the mascot: Megan" I had not told Paul Gardner what kind/model car that I drove. We had only just met moments before in the supermarket. Access to Government Illegal
ought about the offer and agreed to meet with Jeffrey. The foregoing instrument was sworn to or affirmed before me this 1" day of May, 2006 by net Joe Recarey, who is personally known to me. Signature of Police Officer (F(S.S. 117.10) Page3of 22 State of Florida County of Pal Beach Signat 'ng Officer
d before me this 1" day of May, 2006 by Det Joe Recarey, who is personally known to me. State of Florida
ff members. is time to do the massage alone. Epstein entered the room again wearing only a ed her upstairs to the master bedroom and master towel. Megan removing er clothing as she did the last time she was at the house. Epstein i ed her to he began masturbating. to and legs, Epstein then turned o
hearsay directed toward filing charges against a defendant named Sarah Kellen. See A.6 (Palm Beach Police Department - Probable Cause Affidavit of J. Recarey, dated May 1, 2006). Furthermore, the Florida State Attorney expressly rejected the claims asserted in the police affidavit (which sought to charge
lice Department - Probable Cause Affidavit of J. Recarey, dated May 1, 2006). Furthermore, the Florida Sta
error" . . . . It necessarily follows that the Due Process Clause requires that the state prove its case by clear and convincing evidence in a Megan's Law proceeding. E.B. v. Verniero, 119 F.3d 1077, 1111 (3d Cir. 1997), cert. denied, 522 U.S. 1109 (1998) (citing Addington v. Texas, 441 U.S. 4
t submitted by police to the Florida prosecutor. See A.65 (Board Recommendation); A.6 (Palm Beach Police Department - Probable Cause Affidavit of J. Recarey, dated May 1, 2006). The allegations, even when aggregated, were not deemed by the Florida prosecutor who reviewed them to constitute sufficient "p
lice Department - Probable Cause Affidavit of J. Recarey, dated May 1, 2006). The allegations, even when
error" . . . . It necessarily follows that the Due Process Clause requires that the state prove its case by clear and convincing evidence in a Megan's Law proceeding. B.B. v. Verniero, 119 F.3d 1077, 1111 (3d Cir. 1997), art. denial, 622 U.S. 1109 (1998) (citing Addington v. Texas, 441 U.S.
Entities connected to both Joe Recarey and Megan

Jeffrey Epstein
PERSON
Ghislaine Maxwell
PERSONLeon Black
PERSON
Alan Dershowitz
PERSON
George W. Bush
PERSON
Bradley Edwards
PERSON
Joe Biden
PERSON
United States
LOCATIONJack Goldberger
PERSON
Palm Beach
LOCATION
Prince Andrew
PERSONRoy Black
PERSONMaria Farmer
PERSON
Alexander Acosta
PERSON
Department of Justice
ORGANIZATION
Barry Diller
PERSON
Barry Krischer
PERSON
Donald Trump
PERSON
Alfredo Rodriguez
PERSON
Kenneth Marra
PERSON