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nsion, the underage victim would be introduced to Sarah Kellen, Epstein’s assistant, who gathered the girl’s pe
on, including her name and telephone number. Ms. Kellen would then bring the girl up a flight of stairs
Alan Goldberger, Esq. [email protected] Michael R. Tein, Esq. [email protected] Robert D. Critton,
Bruce E. Reinhart, P.A. 250 Australian Avenue South, Suite 1400 West Palm Beach, FL 33401 Phone: (561) 202-6360 Fax: (561) 828-0983 Counsel for Sarah Kellen Served via U.S. Mail, postage prepaid Michael R. Tein, Esq. Email: [email protected] Lewis Tein 3059 Grand Avenue, Suite 340 Coconut Grove, FL
202-6360 Fax: (561) 828-0983 Counsel for Sarah Kellen Served via U.S. Mail, postage prepaid Michael R
, Suite 1400 West Palm Beach, FL 33401 Phone: (561) 202-6360 Fax: (561) 828-0983 Counsel for Sarah Kellen Served via U.S. Mail, postage prepaid Michael R. Tein, Esq. Email: [email protected] Lewis Tein 3059 Grand Avenue, Suite 340 Coconut Grove, FL 33133 Phone: (305)442-1101 Fax: (305) 442-6744 Couns
ael Tein Right now I am digesting something filed in a new federal civil lawsuit against Epstein. Bruce Reinhart is listed as counsel of record for Sarah Kellen, and a deposition transcript attached to the removal petition includes questions from Mike Tein to G. implying that Jeff and I both went to her ho
each of the agreement and we intend to proceed. We may want to use that opportunity to put them on notice that Bruce Reinhart cannot represent Ms. Kellen in connection with the criminal litigation. A. Marie Villafana Assistant U.S. Attorney 500 S. Australian Ave, Suite 400 West Palm Beach, FL 33401
ruce Reinhart is listed as counsel of record for Sarah Kellen, and a deposition transcript attached to the removal petition includes questions from Mike Tein to G. implying that Jeff and I both went to her house and promised her compensation after the end of the criminal case. Karen and I put a call in
ael Tein Right now I am digesting something filed in a new federal civil lawsuit against Epstein. Bruce Reinhart is listed as counsel of record for Sarah Kellen, and a deposition transcript attached to the removal petition includes questions from Mike rein to G. implying that Jeff and I both went to her hou
reach of the agreement and we intend to proceed. We may want to use that opportunity to put them on notice that Bruce Reinhart cannot represent Ms. Kellen in connection with the criminal litigation. A. Marie Villafafta Assistant U.S. Attorney 500 S. Australian Ave, Suite 400 West Palm Beach, FL 334
en (USAFLS) Cc: Kuyrkendall, E N. (FBI); Richards, Jason R. (FBI) Sent: Tue Jul 22 09:29:37 2008 Subject: Letter from Michael Tein Good morning: Mike Tein faxed the following letter to our office at 6:30 last night. It shows that Alex received a copy, but I thought I should scan and share with all of y
ed States also agrees that it will not institute any criminal charges against any potential co-conspirators of Epstein, including but not limited to Sarah Kellen, Adriana Ross, Lesley Groff, or Nadia Marcinkova. Further, upon execution of this agreement and a plea agreement with the State Attorney's Office,
rs of Epstein, including but not limited to Sarah Kellen, Adriana Ross, Lesley Groff, or Nadia Marcinkova
his guilty plea. On June 30th, a couple of hours after the change of plea, the agents and I went to Jack Goldberger's office and met with Jack and Mike Tein. We provided them with the proposed Notification of Identified Victims. On the first page of that notice, we wrote the following: In light of the e
Nathan Z. Dershowitz Left messages with Sarah Kellen and to request if he can accept service on thei
faiia Gerald Lefcourt Letter that he cannot accept service for Eric Gany 8/28/2007 A. Marie Villafaiia Nathan Z. Dershowitz Left messages with Sarah Kellen and to request if he can accept service on their behalf 8/30/2007 Jeff Sloman, Andrew Laurie, Drew Oosterbaan, John McMillan, Karen Atkinson
5). I believe there was one other meeting soon after Epstein entered his guilty plea, when I went to Jack Goldberger's office and met with him and Mike Tein (Guy Lewis' law partner) about the victim list. Other than that, I do not recall any in-person meetings. I had a couple of telephone conversations
ay, you did not mention that the supervisor had to be approved. I agree that the supervision must be by an adult, other than Ms. Marcinkova and Ms. Kellen, with knowledge of the underlying facts. Additionally, I need to confirm that Mr. Epstein may be with his goddet.VAeinwithout-su.petvision. 3) Yo
Plaint R' Jane Dot. by and through her Monier, as vaunt and natural guardian demands judgment against Defendants Jeffrey Epstein, Haley Robson, and Sarah Kellen for compensatory damages. costs. attorney's frets. and such other and higher relief as this Court deems ptst and proper. Further, Plaintiff reserves
es or Rules of Court. I HEREBY CERTIFY that a copy of the foregoing Notice of Taking Deposition has been furnished to the above named addressee and Michael R. Tein, Esquire, 3059 Grand Avenue, Suite 340, Coconut Grove, Florida 33133 by via fax & mail this 25' day of March, 2008. ATTERBURY, GOLDBERGER, & WEISS,
From: Sarah K To: Darren Indyke Subject: Re: Re: Date: Mon, 18 Jul 2011 00:27:41 +0000 Wheelsup at 11pm to NY, landing at 6:30am, then wheelsup at 7pm tomorrow t
wrote: > What time are you leaving tonight? > > Sent from my iPhone > > On Jul 17, 2011, at 8:14 PM, Sarah K a> wrote: > >> JE and I ran into Mike Tein on the street in Napa. Bad luck for Mike. EFTA00563037
From: Sarah K < I > To: Darren Indyke < > Date: Mon, 18 Jul 2011 00:14:28 +0000 JE and I ran into Mike Tein on the street in Napa. Bad luck for Mike. EFTA00563
From: Sarah K < I > To: Darren Indyke < > Date: Mon, 18 Jul 2011 00:14:28 +0000 JE and I ran into Mike Tein on the street in Napa. Bad luck for Mike. EFTA00563035
y jurisdiction, and to prevent any application of 18 U.S.C. § 3509(k), a mandatory stay provision applicable in federal court .3 Haley 2 Defendant Kellen is a citizen of New York (Am. Compl. ¶ 5), and is therefore a nonresident defendant for purposes of diversity jurisdiction and removal. 3 Section
the foregoing document is being served this day, July 18, 2008, on counsel of record identified on the service list by U.S. Mail. ir • 14 lista Michael R. Tein 24 Lentyk.1:17fin ri. 3059 Guido Avow', Sum 340, CocomviGeovt, flew 33333 34 el 3111 EFTA00180430 Case 9:08-cv-80804-KAM Document 1 Entered
Entities connected to both Sarah Kellen and Michael R. Tein

Jeffrey Epstein
PERSON
Lesley Groff
PERSONJane Doe
PERSON
Ghislaine Maxwell
PERSONJack Goldberger
PERSON
Marc Rich
PERSON
Bradley Edwards
PERSONNadia Marcinkova
PERSON
Kenneth Marra
PERSON
Alan Dershowitz
PERSON
Paul Cassell
PERSON
United States
LOCATION
Prince Andrew
PERSONBruce E. Reinhart
PERSON
Adam D. Horowitz
PERSONMichael J. Pike
PERSON
A. Marie Villafana
PERSON
George W. Bush
PERSON
Alexander Acosta
PERSONScott Rothstein
PERSON