EFTA00586266.pdf
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e
evonshires
The Editor
The Daily Mail
solicitors
The Editor
The Mail on Sunday
Our Ref: PTEALCIJ0N,4220501
7 March 2011
NOT FOR PUBLICATION
Dear Sir
Ghislaine Maxwell
We represent Ghislaine Maxwell.
Our client is appalled and outraged by the highly defamatory allegations published by you in
the Daily Mail on Saturday, 5 March 2011 and today, 7 March 2011 and in yesterday's Mail
on Sunday. At this stage, we are writing to both your publications with the same letter as we
note that you are both drawing on material from the same journalist, Sharon Churcher and
the same issue arise regarding both publications.
Our client received no advance notification that you intended to publish allegations in the
Daily Mail on 5 March. That article contained numerous untrue and defamatory statements.
It would seem that in the feeding frenzy to attack Prince Andrew, our client's rights were
totally disregarded.
Whilst we did respond to the questions raised late on 41" March and in connection with the
Mail on Sunday article, given the information we supplied, it is extraordinary that you
continued to defame our client and you were on firm notice that they were untrue.
Then again today, further untrue statements have been published.
We demand that you stop publishing these allegations as you are on notice that they are
untrue. It is unacceptable for example that in ourpress coverage you have not referred to
the fact tha
' lawyer,
, was the business partner of
who has been convicted and sentenced to 50 years in prison for making false
claims against Jeffrey Epstein.
was creating false cases on which he raised
investment finance — that was the ponzi fraud. So you should know that there are false
cases not just claims.
We note that in 2007 whilst reporting allegations made against Jeffery Epstein you made it
clear that our client was not in any way implicated in those allegations.
Lixcet
30 Finsbury Circus. London EC2fil 7DT
Tel 020 7 628 7576 Fax 0870 608 9390 DX 33856 Finsbury Square
wenv.devenshires.com
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EFTA00586266
Additionallym.nake no reference whatsoever to
aware that
to a conviction nor if that was related to her decision to
character. Are you not
. We do not as vet know if that led
You have present
as being a credible and reliable source of evidence. She
is neither. The information that she has given to you and apparently contained within legal
proceedings is untrue. Our client has at no time engaged in any improper, let alone, unlawful
conduct of the nature set out in your publications or otherwise. Our client was not aware of
any improper or unlawful conduct on the part of Jeffrey Epstein.
Your decision to continue to run with this story in a feeding frenzy around Prince Andrew is
doing considerable damage to our client's reputation and as a consequence of that she will
suffer significant financial loss and damage. We hold you fully accountable and responsible
for all loss and damage our client suffers as a consequence.
You are already on notice that every time you publish these untrue allegations our client's
loss and damage increases. We will be drawing the Court's attention in due course, your
failure to desist and if you continue to publish as you are doing, then we will ask the Court
ultimately to award enhanced damages to reflect your misconduct.
Whilst we have previously put these matters to you, we would once again ask you to
carefully note the following:
1. Our client was not aware of any improper or unlawful conduct by Jeffery Epstein.
2. Our client has not been named as a party in any proceedings relating to Jeffrey
Epstein's unlawful conduct or any other similar conduct by anyone else.
3. Further, no one has at any time even written to our client making any claims against
her. If what is being alleged are the genuinely-held beliefs of third parties, the fact
that these have never even been put to our client is extraordinary and should have
indicated to you that they were likely to be untrue.
4. Furthermore, our client has never even been put on notice of any such claim.
5. Our client has never been contacted by any police force or other law enforcement
agency in connection with any allegations made against Jeffrey Epstein. She has
absolutely no connection to the criminal prosecution of Jeffrey Epstein and neither
was she approached by the defence or the prosecution in that matter.
6. The only legal process that our client has ever received is a subpoena for a
deposition in civil proceedings brought by
against Jeffery Epstein
and not our client. Our client was not required to answer the deposition as she was
instructed Mr Epstein had settled the case. Our client was merely one of many people
who were issued with subpoena's in that matter.
7. One of the lawyers primarily responsible for promoting allegations against Jeffrey
Epstein was
. In June 2010, Mr
was sentenced to 50 years
imprisonment for his involvement in what is reported to have been the largest ever
fraud in Florida, a US$1.2 billion ponzi scheme. He is also the primary defendant in a
civil law suit based on his fraud in which the claim is US$100 billion. He is a man
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EFTA00586267
without any shred of credibility. He is a proven liar and someone who has sought to
manipulate the law to his own advantage. It is recorded in Court papers that Mr
made and pursued false claims against Jeffrey Epstein which included
promoting allegations of improper conduct of the type you describe.
8. Mr
directly created false cases against Mr Epstein which he then sold to
investors. Further he encouraged false complaints to be made. We understand that
attorney
was formerly Mr
business
ai
.t.Hler. It was at the time that these false claims were being created and promoted
came forward.
9.
Accordingly we demand that you issue a full apology, a retraction and your agreement
to pay damages to be assessed by 4pm this Wednesday. Failing which our will
commence proceedings to clear her name of these outrageous allegations and a pre-action
protocol letter will be sent later this week
If it is necessary to issue process then we shall seek aggravated damages. If you publish
further we shall ask the court to take that into account in assessing the quantum of damages
as any such conduct will only serve to increase the loss and damage our client suffers.
Yours faithfully
Devonshires
Direct tel: 020 7880 4280
Direct fox: 020 7880 4285
e-moil: phirp.barden@devonshires.co.uk
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| Filename | EFTA00586266.pdf |
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| Indexed | 2026-02-11T22:50:40.882099 |