Farmer, Jaffe, Weissing, Edwards, Fistos Et Lehrman, P.L. C.en Nrcz >rAtt PATHTOJUSTICE.COM March 29, 2010 VIA FMAll AND 135 CFR IFIED MAIL RETURN RECEIPT REQUESTED Robert D. Critton, Jr. BURMAN, CRITTON, et al. Re: Epstein v., / Case Number 502009CA040800XXXXMBAG Dear Mr. Critton: Your claim against our client,M, is completely without merit, something you knew at the time this case was filed. This letter serves as notice pursuant to F.S. 4 57.105, that the Defendant will seek attorney's fees and sanctions against Jeffrey Epstein and his attorneys for ringing these unsupported claims. Should you fail to dismiss your claims against within 21 days from this date, the attached Motion will be filed. GMF/bw Enclosure as stated 425 North Andrews Avenue Suite 7 Fnrt I eurierriale Florida 33301 EFTA00605018


