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for itself." That the provisions of 18 are "far from simple* is illustrated in the construction of those paragraphs by Mr. Epstein's prior counsel, Jay Lefkowitz, who repeatedly advised Mr. Acosta, by letter, that he considered the waiver of liability to be limited to those who agreed to damages, and was ina
e paragraphs by Mr. Epstein's prior counsel, Jay Lefkowitz, who repeatedly advised Mr. Acosta, by letter, th
in the opportunity to fully defend himself, in the civil suit, except for that which is specifically required of him under the NPA. Cordially you Robes D. Critton, Jr. RDC/clz EFTA00722004
for itself." That the provisions of 18 are "far from simple" is illustrated in the construction of those paragraphs by Mr. Epstein's prior counsel, Jay Lefkowitz, who repeatedly advised Mr. Acosta, by letter, that he considered the waiver of liability to be limited to those who agreed to damages, and was ina
e paragraphs by Mr. Epstein's prior counsel, Jay Lefkowitz, who repeatedly advised Mr. Acosta, by letter, th
in the opportunity to fully defend himself, in the civil suit, except for that which is specifically required of him under the NPA. Cordially you Robes D. Critton, Jr. RDC/clz EFTA00213284
for itself." That the provisions of 18 are "far from simple" is illustrated in the construction of those paragraphs by Mr. Epstein's prior counsel, Jay Lefkowitz, who repeatedly advised Mr. Acosta, by letter, that he considered the waiver of liability to be limited to those who agreed to damages, and was ina
e paragraphs by Mr. Epstein's prior counsel, Jay Lefkowitz, who repeatedly advised Mr. Acosta, by letter, th
in the opportunity to fully defend himself, in the civil suit, except for that which is specifically required of him under the NPA. Cordially you Robes D. Critton, Jr. RDC/clz EFTA00189960
ve of the $526,466 already paid by Mr. Epstein - meet the criteria set forth by the NPA. We assure you that both Mr. Epstein's prior civil counsel, Jay Lefkowitz, who, with you, was a primary negotiator of the NPA language, and Mr. Critton, each strongly believe that significant amounts of the fees and costs
that both Mr. Epstein's prior civil counsel, Jay Lefkowitz, who, with you, was a primary negotiator of the N
in the opportunity to fully defend himself, in the civil suit, except for that which is specifically required of him under the NPA. Cordially you Robes D. Critton, Jr. RDC/clz EFTA00194771 U.S. Department of Justice United States Attorney Southern District of Florida 500 S. Australian Ave, Ste 400 West
Entities connected to both Jay Lefkowitz and Robes D. Critton

Jeffrey Epstein
PERSON
Alexander Acosta
PERSONLeon Black
PERSONRoy Black
PERSON
A. Marie Villafana
PERSON
United States
LOCATION
Jeffrey Sloman
PERSONJane Doe
PERSON
Ken Starr
PERSONMartin Weinberg
PERSONRobert C. Josefsberg
PERSON
George W. Bush
PERSONSanchez
PERSON
Podhurst
PERSONMaria Farmer
PERSONRobert D. Critton
PERSONSrebnick
PERSONMichael J. Pike
PERSON
Jared Kushner
PERSON
James Baker
PERSON