4
Shared Docs
4
Same-Page
5 / 7
Mentions
reo «3 Epstein's lawyer, Darren Indyke. orarag 3 located adjacent to Mr. Epstein's business. And oreo | 4 MR. SIMPSON: Why don't -- oraraa 4 so, now, Reinhart, who appeared to be being paid overs = 5 MR. SCAROLA: Do you want to take a break for orvazas | 8 by Mr. Epstein, and certainly was adjacent to onaer
lso containing discussion of Ms. Giuffre’s affidavit). The Court should be aware that within approximately two hours of this exchange, Ms. McCawley. (David Boies’ law partner) released a statement on his behalf, which stated that Dershowitz was misrepresenting what happened: “Because the discussions that Mr. Bo
s’ law partner) released a statement on his behalf, which stated that Dershowitz was misrepresenting what happened: “Because the discussions that Mr. Boies had with Mr. Dershowitz were expressly privileged settlement discussions, Mr. Boies will not, at least at this time, describe what was actually sai
s to -~- to conceal the scope of -- of the -- of the operation. In addition to that, when I started to compare the Dave Rogers' flight logs with the David -- excuse me. I am going to get a drink. When I started to compare the -- oh, I'm sorry. I should be looking at the camera. When I started -- when
s matter. See McCawley Decl. at Exhibit 5, Electronic Correspondence with Bruce Reinhart, of McDonald Hopkins, LLP in West Palm Beach, Florida. Mr. Reinhart represented that Ms. refused to allow her counsel to accept service of the subpoena, so Ms. was forced to commence the efforts to attempt to pers
McCawley (Pro Hac Vice) Meredith Schultz (Pro Hac Vice) Boies Schiller & Flexner LLP 401 E. Las Olas Blvd., Suite 1200 Ft. Lauderdale, FL 33301 David Boies Boies Schiller & Flexner LLP 333 Main Street Armonk, NY 10504 Bradley J. Edwards (Pro Hac Vice) FARMER, JAFFE, WEISSING, EDWARDS, FISTOS & LEHRMA
(Pro Hac Vice) Meredith Schultz (Pro Hac Vice) Boies Schiller & Flexner LLP 401 E. Las Olas Blvd., Su
he victims have sought documents showing that Reinhart learned confidential, non- public information about Epstein matter. The Court will recall that Reinhart has filed a sworn affidavit with this Court, in which he flatly declared that while he was a prosecutor in the Office: "I never learned any confide
ein, blocking his prosecution for federal crimes in the Southern Districdt of Florida. In RFP No. 16, the victims have sought documents showing that Reinhart learned confidential, non- public information about Epstein matter. The Court will recall that Reinhart has filed a sworn affidavit with this Court,
m's Petition; CVRA-authorized analysis charts, victim/witness who are not parties to this release; Material Severable; Redaction; No photographs, DAVID records, NCICs, and related materials for persons identified as litigation Assertion by Victims Jane Does #15, 16, 17, 18, 19, Past Employees, M
making such decisions about the course of the criminal investigation. Within months after the non-prosecution agreement was signed by your office, Reinhart left your office and immediately went into private practice as a white collar criminal defense attorney. His office coincidentally happened to be n
articipating in the program. Should you or your client haveiniquestions regarding the work release program, please direct your inquiries to Captain David , Palm Bcach Sheriff's Office, 561-688-3595. Sincerely, R. Alexander Acosta United States Attorney By: oarliSaa Assistant U.S. Attorney EFTA002
Entities connected to both Reinhart and David Boies

Jeffrey Epstein
PERSON
Ghislaine Maxwell
PERSONSigrid McCawley
PERSON
Bradley Edwards
PERSON
Prince Andrew
PERSON
Alan Dershowitz
PERSON
Paul Cassell
PERSONJane Doe
PERSON
United States
LOCATIONthe Southern District
LOCATION
Virginia Giuffre
PERSON
Donald Trump
PERSONLeon Black
PERSON
Bill Clinton
PERSONMaria Farmer
PERSON
Department of Justice
ORGANIZATIONSouthern District
LOCATION
George W. Bush
PERSON
George Mitchell
PERSON
Marc Rich
PERSON