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12/2011 fa REPLY to Response to Motion rein MOTION to Intervene of Roy Black, Martin Weinberg, and Jay Lefkowitz filed by Roy Black, Jay Lefkowitz, Martin G. Weinberg. (Perczek, Jacqueline) (Entered: 05/12/2011) 05/16/2011 El RESPONSE in Opposition rel2 MOTION to Intervene MOTION for Sanctions Jane Doe #1 and Ja
f Supplemental Authority of the United States Supreme Court (Doc. 163); and Reply in Support of Supplemental Briefing By Limited Intervenors Black, Weinberg, Leticowitz, and Epstein (Doc. 169). 4 EFTA00177814 already addressed the issue in Fed. R. Crim. P. 11(0 and Fed. R. Evid. 410 and did not see fi
EDT 2 of 16 Roy Black Black, Srebnick, Komspan &Stumpf, P.A. 201 South Biscayne Boulevard Suite1300 Miami, FL 33131 305-371-6421 intervenor Martin G. Weinberg J ntervenor Jay Lefkowitz represented by Jacqueline Perczek Black Srebnick Komspan &Stumpf 201 S Biscayne Boulevard Suite 1300 Miami, FL 33131 3
was currently involved in plea negotiations with the USAO/SDFL, which "may likely result in a disposition of the charges in the next several days." [CVRA Petition, DE 1, 13]. Claiming to be wrongfully excluded from those discussions, Jane Doe 1 asserted the violation of her CVRA rights to confer with federal
y 4. Cassell, Paul G. 5. Edwards, Bradley J. 6. Epstein, Jeffrey 7. Ferrer, Wifredo A. 8. Howell, Jay 9. 10. 11. 12. 13. 14. 15. l• 16. Weinberg, Martin C-1 of 2 EFTA00209356 17. Doe No. 1, Jane 18. Doe No. 2, Jane Note: As they have in the court below, as well as in parallel civil court
00209366 Procedural History Regarding Releasing the Correspondence On April 7, 2011, Epstein's criminal defense attorneys — appellants Roy Black, Martin Weinberg, and Jay Lefkowitz — filed a motion for limited intervention in the case, arguing that their right to confidentiality in the correspondence would b
y involved in plea negotiations with the U.S. Attorney's Office which "may likely result in a disposition of the charges in the next several days." CVRA Petition, DE 1 at 3. Claiming to be wrongfully excluded from those discussions, Jane Doe No. 1 asserted a violation of her CVRA rights to confer with federa
ay 9. IMPIIPIS 10. Lefkowitz, Jay 11. Perczek, Jackie 12. libuilm.1 13. ra.c....1.„ , ‘,1„ 1. 14. Sloman, Jeffrey 15. 101010MRNI,PIIIIMP 16. Weinberg, Martin C-1 of 2 EFTA00209568 17. Doe No. 1, Jane 18. Doe No. 2, Jane Note: As they have in the court below, as well as in parallel civil court
00209578 Procedural History Regarding Releasing the Correspondence On April 7, 2011, Epstein's criminal defense attorneys — appellants Roy Black, Martin Weinberg, and Jay Lefkowitz — filed a motion for limited intervention in the case, arguing that their right to confidentiality in the correspondence would b
y involved in plea negotiations with the U.S. Attorney's Office which "may likely result in a disposition of the charges in the next several days." CVRA Petition, DE 1 at 3. Claiming to be wrongfully excluded from those discussions, Jane Doe No. 1 asserted a violation of her CVRA rights to confer with federa
Entities connected to both Martin Weinberg and CVRA Petition

Jeffrey Epstein
PERSONLeon Black
PERSON
Bradley Edwards
PERSON
United States
LOCATIONRoy Black
PERSONJane Doe
PERSON
Jay Lefkowitz
PERSON
Kenneth Marra
PERSON
Paul Cassell
PERSON
Alexander Acosta
PERSON
Michael Cohen
PERSONMaria Farmer
PERSONthe Southern District
LOCATIONFBI
ORGANIZATION
Supreme Court
ORGANIZATIONSrebnick
PERSONFISTOS & LEHRMAN
ORGANIZATION
Eric Holder
PERSON
the University of Utah
ORGANIZATIONO'Brien
PERSON