EFTA00081982.pdf
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WILMERHALE
November 15, 2019
FOIA CONFIDENTIAL TREATMENT REQUESTED
PURSUANT TO 28 C.F.R. § 16.8 AND 5 U.S.C. § 552
By E-mail (without enclosures) and FedEx
Assistant United States Attorney
One St. Andrew's Plaza
New York, New York 10007
Dear
Anion Sahni
+1 212 937 7418 (I)
+1 212 230 8888 (f)
anjan.sahnewilmerhalccom
Re: August 11 2019 Grand Jury Subpoenas to JPMorgan Chase Bank N.A. Chase
Bank USA, N.A., and J.P. Morgan Securities LLC; August 16, 2019 and September
3, 2019 Grand Jury Subpoenas to JP Morgan Chase
In response to the above-referenced subpoenas, on behalf of our client JPMorgan Chase
("JPMorgan" or the "Firm"), we submit the enclosed encrypted zip file containing documents
bates labeled JPM-SDNY-00000004 through JPM-SDNY-00000011.
Enclosed at JPM-SDNY-00000004 through JPM-SDNY-00000008 are Excel files
reflecting the wire activity for account numbers 739110438 and 739470663, which are related to
Jeffrey Epstein, and for account numbers 739116312, 3149920008, and 2916490721, which are
related to Ghislaine Maxwell. To the extent that we identify any other JPMorgan accounts in the
name of Mr. Epstein, Ms. Maxwell, or Ms.
we will produce those in a separate
production.
In addition, enclosed at JPM-SDNY-00000009 through JPM-SDNY-00000011 are Excel
files reflecting instances in which the names of Mr. Epstein, Ms. Maxwell, or Ms.
appear in a wire transaction involving JPMorgan, including the transactions that are reflected in
JPM-SDNY-00000004 through JPM-SDNY-00000008 as well as wire transactions in which
JPMC acted as a correspondent bank.
Although we previously communicated that wire information exists in both Excel and
PDF format, we now understand that it exists only in Excel format, though it could be converted
into PDF format from the Excel files. Accordingly, we are only producing the Excel files here.
As discussed, we anticipate making further productions on a rolling basis.
* * *
Wilmer Cutler Pickering Hale and Dorr ttr, 7 World Trade Center, 250 Greenwich Street, New York, New York 10007
Beijing
Berlin
Boston
Brussels
Denver
Frankfurt
London
Los Angeles
New York
Palo Alto
San Francisco
Washington
Confidential Treatment Requested by JPMorgan Chase
JPM-SDNY-CL-002-0001
EFTA00081982
WILMERHALE
November 15, 2019
Page 2
Pursuant to the Freedom of Information Act ("FOIA"), 5 U.S.C. § 552, 28 C.F.R. § 16.8,
and any other applicable law, rule, or regulation, Wilmer Cutler Pickering Hale and Don- LLP
requests on behalf of JPMorgan that confidential treatment be accorded to this letter (Bates
numbered JPM-SDNY-CL-002-0001 through JPM-SDNY-CL-002-0003) and the referenced
materials (Bates numbered JPM-SDNY-00000004 through JPM-SDNY-00000011 on JPM-
SDNY-VOL-002) (collectively, the "Confidential Material"). Accordingly, the Confidential
Material has been marked "Confidential Treatment Requested by JPMorgan Chase." The
Confidential Material contains confidential business information concerning JPMorgan.
Furthermore, public disclosure of the Confidential Material could reasonably be expected to
cause substantial competitive harm to JPMorgan. Accordingly, the Confidential Material is
subject to, without limitation, Exemption 4 of the FOR, 5 U.S.C. § 552(b)(4), and the Trade
Secrets Act, 18 U.S.C. § 1905, and will continue to remain exempt from mandatory disclosure
even after the conclusion of the Department of Justice's ("Department") consideration of this
matter.
We note further that, since the Confidential Material constitutes investigatory records
obtained by the Department in connection with a potential law enforcement proceeding, such
records are subject, at least at present, to the exemption from mandatory disclosure under
Exemption 7(A) of the FOIA, 5 U.S.C. § 552(b)(7)(A).' Since the documents pertain to the
activities of JPMorgan, its employees, and its clients and their employees and agents, and not to
the activities of any federal agency, JPMorgan also believes the documents are exempt from
disclosure pursuant to Exemption 7(C) of the FOIA, 5 U.S.C. § 552(b)(7)(C).2
Should any third person request the opportunity to inspect or copy the Confidential
Material pursuant to the FOIA or otherwise, we request on behalf of JPMorgan that the
undersigned immediately be notified of such request and be furnished with a copy of all written
materials pertaining to such request (including but not limited to the request and any agency
determination with respect to such request). JPMorgan expects that it will be given an
opportunity to object to such disclosure. And, should the Department be inclined to grant any
such request, it is JPMorgan's expectation that, pursuant to the procedures required by 28 C.F.R.
§ 16.8, and Exec. Order 12,600, 52 Fed. Reg. 23,781 (1987), we will be given reasonable
advance notice of any such decision to enable our client to pursue any remedy that may be
available to it.' In such event, we request that you telephone the undersigned rather than rely
upon the United States mail for such notice. If the Department is not satisfied that the
See, e.g., NLRB v. Robbins Tire & Rubber Co., 437 U.S. 214 (1978).
2
See Dept of Justice v. Reports Comm. For Freedom of Press, 489 U.S. 749 (1989).
3
See, e.g., Chrysler Corp. v. Brown, 441 U.S. 281 (1979).
Confidential Treatment Requested by JP Morgan Chase
JPN1-SDNY-CL-002-0002
EFTA00081983
WI LM ERHALE
November 15, 2019
Page 3
submission is exempt from disclosure pursuant to the FOIA, we stand ready to supply further
particulars.
The requests set forth in the preceding paragraphs also apply to any memoranda, notes,
recordings, or other writings of any sort whatsoever which are made by, or at the request of, any
employee of the Department (or any other government agency) and which (1) incorporate,
include, or relate to any of the information contained in the Confidential Material; or (2) reter to
any conference, meeting, telephone conversation, or interview between (a) our client's current or
former employees, associates, representatives, agents, auditors, or counsel and (b) employees of
the Department (or any other government agency).
This letter is not intended to, and does not, waive any applicable privilege or other legal
basis under which information may not be subject to production.
* * *
If you have any questions, please do not hesitate to contact me at the above-referenced
number.
Sincerely,
Anjan Sahni
Enclosure
Con fidential Treatment Requested by JP Morgan Chase
JPM-SDNY-CL-002-0003
EFTA00081984
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| Filename | EFTA00081982.pdf |
| File Size | 252.7 KB |
| OCR Confidence | 85.0% |
| Has Readable Text | Yes |
| Text Length | 6,603 characters |
| Indexed | 2026-02-11T10:29:48.099222 |