EFTA00079269.pdf
Extracted Text (OCR)
Grand Jury Subpoena
stitritetratates Pistrirt Court
SOUTHERN DISTRICT OF NEW YORK
TO:
Metropolitan Correctional Center
Attn: Adam Johnson, Esq.
150 Park Row
New York, New York 10007
GREETINGS:
WE COMMAND YOU that all and singular business and excuses being laid aside, you appear and attend before
the GRAND JURY of the people of the United States for the Southern District of New York, at the United States
Courthouse, 40 Foley Square, Room 220, in the Borough of Manhattan, City of New York, New York, in the
Southern District of New York, at the following date, time and place:
Appearance Date:
September 10, 2019
Appearance Time: 10:00 a.m.
to testify and give evidence in regard to an alleged violation of :
18 U.S.C. §§ 371, 1001, 1519, 2
and not to depart the Grand Jury without leave thereof, or of the United States Attorney, and that you
bring with you and produce at the above time and place the following:
Please see attached rider. Personal appearance required.
Failure to attend and produce any items hereby demanded will constitute contempt of court and will
subject you to civil sanctions and criminal penalties, in addition to other penalties of the Law.
DATED:
New York, New York
August 20, 2019
oen ara's. gam,.,., a
GEOFFREY S. BERMAN
United States Attorney for the
1111111111
Assistant United States Attorneys
One St. Andrew's Plaza
New York, New York 10007
Telephone:
Email:
rev. 02.01.12
EFTA00079269
RIDER
(Grand Jury Subpoena to MCC, dated August 20, 2019)
Ref. No. 2019R01059
A. Definitions and Instructions:
I. This Subpoena calls for the preservation and production of specific documents, including
handwritten notes and records and e-mails and text messages, in the possession, custody or
control of the Metropolitan Correctional Center ("MCC") or any employee of MCC. Except as
set forth below, the time period for production pursuant to this Subpoena is June 1, 2019 to the
present. We request that you additionally preserve all documents that would be responsive to
this Subpoena for the time period January 1, 2019 to the present.
2. This Subpoena applies to any responsive documents wherever they may be found, including any
facility that holds records for the MCC, personal electronic devices, cellular phone or other
telephone, pager, tablet, laptop computer, desktop computer, personal email, cloud storage,
messaging or social media accounts used by employees of the MCC to conduct the MCC's
business, and including any and all handwritten notes and records in possession of any
employees of the MCC.
3. With the exception of documents containing handwritten notes, please produce requested records
in electronic form (native format where necessary to view the material in its full scope) in a
manner that is OCR-searchable, and with all available electronic metadata. Please provide the
originals of all papers, notepads, notebooks, diaries, or calendars upon which responsive
handwritten notes may be found.
4. The term "documents" includes writings, emails, text messages, drawings, graphs, charts,
calendar entries, photographs, audio or visual recordings, images, and other data or data
compilations, and includes materials in both paper and electronic form.
5. If the MCC has knowledge of any document that would be responsive to this Subpoena but has
been lost, destroyed, or discarded since January 1, 2019, it shall identify to the extent possible
each such document and provide an explanation for the loss, destruction, or discarding (including
identification of each person authorizing or having knowledge of the loss, destruction, or
discarding).
6. This Subpoena does not call for the production of any documents protected by a valid claim of
privilege, although any responsive document over which privilege is being asserted must be
preserved. Any documents withheld on grounds of privilege must be identified on a privilege log
with descriptions sufficient to identify their dates, authors, recipients, and general subject matter.
B. Custodian of Records:
I. The MCC is to designate an employee having personal and thorough knowledge of the MCC's
records and who shall have been responsible for the search for documents responsive to this
Subpoena. That person shall appear before the Grand Jury on the Subpoena return date, produce
the materials called for, and be examined concerning the completeness of the response.
EFTA00079270
C. Materials to be Preserved and/or Produced:
1. All institutional count slips and records related to the count, including but not limited to the regular
institutional count slips and the 30-minute round count slips, including but not limited to such
records for the Special Housing Unit ("SHU").
2. All documents, including communications, regarding the counts slips described in Request I,
including but not limited to any communications regarding the creation, maintenance, storage,
destruction, or description of such records.
3. All documents, including e-mail and internal correspondence and notes, and the Form 292, related
to and for inmate Jeffrey Epstein, Reg. No. 76318-054.
4. TRUSCOPE entries reflecting the institutional count, and 30-minute rounds, for the institution and
the SHU.
5. Any logs or logbooks kept in the normal course of business, including but not limited to the
visitor's log, attorney visit log, lieutenant's log, and control center log.
6. Posted picture file for the SHU.
7. Post orders for the SHU.
8. High Risk List(s), as well as any communications regarding the High Risk List and/or any inmates
on or being considered for the High Risk List.
9. Internal telephone records.
10. Records of staff and shift assignments, including but not limited to staff rosters.
II. Records of trainings and staff attendance at trainings for the time period June 1, 2018 to the present.
EFTA00079271
U.S. Department of Justice
United States Attorney
Southern District of New York
The Silvio J. Motto Building
One Saint Andrew's Plaza
New York New York 10007
August 20, 2019
Metropolitan Correctional Center
Attn: Adam Johnson, Esq.
150 Park Row
New York, New York 10007
Re:
Grand Jury Subpoena
Please be advised that the accompanying grand jury subpoena has been issued in connection with
an official criminal investigation of a suspected felony being conducted by a federal grand jury. The
Government hereby requests that you voluntarily refrain from disclosing the existence of the subpoena to
any third party. While you are under no obligation to comply with our request, we are requesting you not
to make any disclosure in order to preserve the confidentiality of the investigation and because disclosure
of the existence of this investigation might interfere with and impede the investigation. If you intend to
disclose the existence of this Grand Jury Subpoena request to a third party, please let me know before
making any such disclosure.
In addition, we request that you preserve all records that might be responsive to the requests set
forth herein that are created on a going forward basis, for the next 180 days.
Thank you for your cooperation in this matter.
By:
Very truly yours,
GEOFFREY S. BERMAN
United States Attorney
Assistant United States Attorneys
EFTA00079272
Extracted Information
Dates
Phone Numbers
Document Details
| Filename | EFTA00079269.pdf |
| File Size | 268.2 KB |
| OCR Confidence | 85.0% |
| Has Readable Text | Yes |
| Text Length | 7,314 characters |
| Indexed | 2026-02-11T10:27:31.740949 |