A letter from Jeffrey Epstein's attorneys to the Metropolitan Correctional Center requesting evidence related to his death in custody.
This legal correspondence, sent on August 20, 2019, formally requests documents and records from the Department of Justice under 28 C.F.R. §§ 16.21-16.26. The letter seeks protocols for inmate deaths, video footage, entry logs, and guard records from the MCC for the time period of August 9-10, 2019. It establishes that Epstein's estate is seeking to investigate the circumstances surrounding his apparent suicide.

Perversion of Justice: The Jeffrey Epstein Story
Julie K. Brown
Investigative journalism that broke the Epstein case open

Filthy Rich: The Jeffrey Epstein Story
James Patterson
Bestselling account of Epstein's crimes and network

Relentless Pursuit: My Fight for the Victims of Jeffrey Epstein
Bradley J. Edwards
Victims' attorney's firsthand account
Steptoe STEPTOE 1 JOHNSON OAP Michael C. Miter 212 506 3955 direct 212 506 3950 fax 1114 Avenue of the Americas New York, NY 10036 212 506 3900 main wmv.steptoe.com August 20, 2019 Via Electronic Mail Legal Department Metropolitan Correctional Center 150 Park Row New York, NY 10007 Re: United States v. Jeffrey Epstein, 19-CRIM-00490 (S.D.N.Y.) Dear We represent Jeffrey Epstein, Reg No. 76318-054, who was previously incarcerated at the Metropolitan Correction Center in New York, New York (the "MCC") while awaiting trial on federal charges in the above-captioned case. We have been authorized by his estate to write pursuant to 28 C.F.R. §§ 16.21-16.26 to request documents and records from the U.S. Department of Justice related to Mr. Epstein. Specifically, we are seeking: any (i) protocols relating to the response to/investigation of inmate deaths within the MCC; (2) video recordings of all entrances and exits to the MCC; (3) entry and exit logs for the MCC; (4) video recordings of the hallways of the floor on which Mr. Epstein's cell was located; and (5) logs related to the guards on duty at the MCC (collectively, the "Requested Evidence"). The applicable time period for the requests is from 7:oo am on Friday, August 9, 2019 until 8:00 am on Saturday, August lo, 2019. As required by the regulations, we set forth below a summary of the relevance of the Requested Evidence. Mr. Epstein died in federal custody in his cell at the MCC. We are troubled by the circumstances of his death and by reports of irregularities at the facility. According to a statement issued by the Federal Bureau of Prisons: EFTA00019409
August 20, 2019 Page 2 On Saturday, August 10, 2019, at approximately 6:3o a.m., inmate Jeffrey Edward Epstein was found unresponsive in his cell in the Special Housing Unit from an apparent suicide at the Metropolitan Correctional Center (MCC) in New York, New York. Life-saving measures were initiated immediately by responding staff. Staff requested emergency medical services (EMS) and life-saving efforts continued. Mr. Epstein was transported by EMS to a local hospital for treatment of life-threatening injuries, and subsequently pronounced dead by hospital staff. The FBI is investigating the incident. In a separate statement, Attorney General William P. Barr indicated that "Mr. Epstein's death raises serious questions that must be answered." On August 12, Mr. Barr further stated, "We are now learning of serious irregularities at this facility that are deeply concerning and that demand a thorough investigation." Moreover, there was initial uncertainty about the cause and manner of Mr. Epstein's death. The New York City Office of Chief Medical Examiner ("OCME") declined to immediately release a determination, citing the need for "further information." Days later, the OCME announced that it had reached a conclusion following a "careful review of all investigative information." We intend to conduct our own investigation into the circumstances of Mr. Epstein's death. In order to do so, we ask that the Requested Evidence be made available to counsel. Please let us know if you would like to discuss this request. Sincerely, 6/416111(t_ Michael Miller Steptoe & Johnson LLP 1114 Avenue of the Americas New York, NY 10036 Martin G. Weinberg Martin G. Weinberg, P.C. 20 Park Plaza, Suite moo Boston, MA 02116 EFTA00019410



