DOJ-OGR-00030466.jpg
Extracted Text (OCR)
ATTERBURY eT al
RICHARDSON & WEISS, P.A. BRURMY
JOSEPH R. ATTERBURY *
JACK A. GOLDBERGER *t
Scott N. RICHARDSON *
JASON S. WEISS
* BOARD CERTIFIED CRIMINAL TRIAL ATTORNEY
TMEMBER OF New Jersey & FLORIDA BARS
August 9, 2006
Lanna Belohlavek, Esquire
State Attorney’s Office
401 North Dixie Highway
West Palm Beach, Florida 33401
RE:
State of Florida v. Jeffrey Epstein
Case No. 06-9454 CF A99
Dear Ms. Belohlavek:
Pursuant to the mandatory pretrial intervention provision of Florida Statute 796.07 this
letter confirms the agreement reached between the parties on July 21, 2006, resolving the
above referenced matter.
Mr. Epstein will enter into a pretrial intervention agreement for a period of thirty six (36)
months. The deferred prosecution and Mr. Epstein’s participation in the Pretrial
Intervention Program will terminate at the end of eighteen (18) months as long as Mr.
Epstein has successfully completed the conditions of the Pretrial Intervention Program and
there have not been any violations during that time.
The conditions of the Pretrial Intervention Program are as follows:
1.
2.
Mr. Epstein will refrain from any violation of the law.
Mr. Epstein will pay the State of Florida $30.00 per month for the cost of the pretrial
intervention agreement.
Mr. Epstein will not change his current residences without the permission of his
pretrial intervention officer.
Mr. Epstein will not possess or carry any firearms.
Mr. Epstein will truthfully answer all inquires by his pretrial intervention officer.
Mr. Epstein will not use intoxicants to excess.
250 Australian Avenue South, One Clearlake tr, ite 1400, West Pal ach, FL 33401
Telephone: 561.659.8300 + Facsimile: 561.835.8691
DOJ-OGR-00030466
Extracted Information
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Document Details
| Filename | DOJ-OGR-00030466.jpg |
| File Size | 716.8 KB |
| OCR Confidence | 93.3% |
| Has Readable Text | Yes |
| Text Length | 1,732 characters |
| Indexed | 2026-02-03 21:41:11.465075 |