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EY'S OFFICE SOUTHERN DISTRICT OF FLORIDA 99 NE 4 STREET MIAMI, FLORIDA 33132-211. 1 ACSIMILE TRANSMISSION COVER SHEET DATE: May 19, 2008 TO: Jay P. Lefkowitz., Esquire FAX NUMBER: SUBJECT: Epstein NUMBER OF PAGES, INCLUDING THIS PAGE: 7 EFTA00224803 First Assistant U.S Attorney DELIVERY BY FACSIMIL
Jay P. Lefkowitz, Esq. Kirkland & Ellis LLP Citigroup Center 153 East 53rd Street New York, New York 10022-4675 Re: Jeffrey Epstein Dear Mr. Lefkowitz, U.S. Department of Justice United States Attorney Southern District of Florida May 19, 2008 I am in receipt of your e-mail dated May 19.2008 to
y points: First, there was no telephonic communication that met the requirements of § 2422(b). For example, as many other witnesses have stated, Ms. Beale testified in no unclear terms that there was never any discussion over the phone about her coming over to Mr. Epstein's home to engage in sexual ac
To: (USAFLS); Campos, Cyndee (USAFLS); (USAFLS) Sent: Mon May 19 12:40:32 2008 Subject: FW: confidential communication For your records. From: Jay Lefkowitz [mailto:[email protected]] Sent: Monday, May 19, 2008 10:54 AM To: Acosta, Alex (USAFLS) Subject: confidential communication Dear Alex: ,
ntial communication For your records. From: Jay Lefkowitz [mailto:JLefkowitz@kirkland.com] Sent: Monday, M
8-80736-CV MARRA 002196 EFTA00227310 communication that met the requirements of § 2422(b). For example, as many other witnesses have stated, Ms. Beale testified in no unclear terms that there was never any discussion over the phone about her coming over to Mr. Epstein's home to engage in sexual ac
Jeff (USAFLS); Campos, Cyndee (USAFLS); (USAFLS) Sent: Mon May 19 12:40:32 2008 Subject: FW: confidential communication For your records. From: Jay Lefkowitz [mailto: Sent: Monday, May 19, 2008 10:54 AM To: Acosta, Alex (USAFLS) Subject: confidential communication Dear Alex: I am writing to you becaus
ntial communication For your records. From: Jay Lefkowitz [mailto: Sent: Monday, May 19, 2008 10:54 AM To
was no telephonic 1027 EFTA00227156 communication that met the requirements of § 2422(b). For example, as many other witnesses have stated, Ms. Beale testified in no unclear terms that there was never any discussion over the phone about her coming over to Mr. Epstein's home to engage in sexual ac
tatutes that have been identified by prosecutors-~18 U.S.C. §§ 1591, 2422(b), and 2423(b). 1 One of the other members of Mr. Epstein's defense team, Jay Lefkowitz, has personally reviewed the reporter’s contemporaneous notes. 2 Although some of the women alleged to be involved were 16 and 17 years of age, seve
Page: HOUSE_OVERSIGHT_025355 →other members of Mr. Epstein's defense team, Jay Lefkowitz, has personally reviewed the reporter’s contempor
Page: HOUSE_OVERSIGHT_025355 →cutors during the negotiations of a deferred prosecution agreement. The consistent representations of key Government witnesses (such as Tatum Miller, Brittany Beale, Saige Gonzalez, and Jennifer Laduke) confirm the following critical points: First, there was no communication, telephonic or otherwise, that meets t
Page: HOUSE_OVERSIGHT_025357 →ally, there was no force, coercion, fraud, violence, drugs, or even alcohol present in connection with Mr. Epstein’s encounters with these women. Ms. Beale stated that “[Mr. Epstein] never tried to force me to do anything.” Beale Tr. A at 12. These accounts are far from the usual testimony in sex slavery
Page: HOUSE_OVERSIGHT_025357 →Entities connected to both Jay Lefkowitz and Brittany Beale

Jeffrey Epstein
PERSON
Alexander Acosta
PERSONKirkland & Ellis LLP
ORGANIZATIONLeon Black
PERSONRoy Black
PERSON
A. Marie Villafana
PERSONJack Goldberger
PERSON
United States
LOCATION
Department of Justice
ORGANIZATION
Jeffrey Sloman
PERSON
Ken Starr
PERSON
Alan Dershowitz
PERSON
George W. Bush
PERSONSouthern District
LOCATIONFBI
ORGANIZATIONMaria Farmer
PERSON
Barry Diller
PERSON
Barry Krischer
PERSON
Bill Clinton
PERSON
Palm Beach Police Department
ORGANIZATION