EFTA00090099.pdf
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U.S. Department of Justice
United States Attorney
Southern District of New York
86 chambers Street
New York, New York 10007
May 4, 2021
By Hand Delivery and ECF
The Honorable Paul A. Engelmayer
United States District Judge
Southern District of New York
40 Foley Square
New York, NY 10007
Re:
The New York Times Co. v. Federal Bureau of Prisons, 20 Civ. 833 (PAE)
Dear Judge Engelmayer:
This Office represents defendant the Federal Bureau of Prisons ("BOP") in this Freedom of
Information Act ("FOR"), 5 U.S.C. § 552, action brought by plaintiff the New York Times
Company (the "Times") seeking the release of certain records related to Jeffrey Epstein.
Enclosed please find the Government's first in camera production. As directed by the Court, this
production consists of certain records identified in Exhibit 1 to the supplemental Christenson
declaration.
The production consists of 986 pages, including 375 pages of non-email documents and 611
pages of emails. Pursuant to the Court's directions, the Government has, for each page, indicated
which portions of the page are withheld under which FOIA Exemption and, if a portion or the
entire page is withheld under FOIA Exemption 7(A), indicated which criminal case, United
States v. Tartaglione, 16-cr-832 (KMK), or United States v. Noel, 19-cr-830 (AT), is the basis
for the exemption.
Because of technological and other constraints, the Government used two systems to mark
the redactions on the pages. Under one system, a redaction is marked out by a pink box, and the
associated exemption is noted next to or within the box. Under the second system, the
Government highlighted redacted material as follows: material withheld under Exemption 7(A)
on the basis of Noel is highlighted red, material withheld under Exemption 7(A) on the basis of
Tartaglione is highlighted goldenrod yellow, material withheld under Exemptions 6 and 7(C) is
highlighted green, material withheld under FOIA Exemption 5 and the deliberative process
privilege is highlighted blue, and material withheld under FOIA Exemption 7(E) is highlighted
purple.' Under this second system, pages withheld in full are marked as such by a box in the
color corresponding to the exemption, with text noting the withholding in full. On certain pages,
both systems are used, with some redactions marked out using pink boxes, and other redactions
marked out with highlighting.
1 If the entirety of a paragraph on a given page is withheld, then parallel lines in the appropriate
color have placed on either side that paragraph to indicate redaction.
EFTA00090099
Page 2
The Government notes that upon compiling this submission, it identified and removed some
duplicate pages from the production. In addition, it re-ordered the documents, roughly by type
and content such that the Bates numbers on the documents are no longer strictly in order. These
steps were taken to facilitate the Court's review.
The production includes emails between Tartaglione's defense counsel and the Bureau of
Prisons, which typically discuss the conditions of Tartaglione's confinement and have been
withheld in full under Exemption 7(A) on the basis of Tartaglione. The Government believes
that many of these emails are not directly responsive to the Times's FOIA requests, but were
collected by BOP pursuant to electronic search terms generally because Jeffrey Epstein may be
mentioned at some point in a chain of emails and also possibly because Tartaglione's defense
counsel, Bruce Barket, is associated with the firm Barket, Epstein, Kearon, Aldea & LoTurco,
LLP, and so the name "Epstein" typically appears in the signature block of his emails. If the
Court would benefit from further submissions on why release of these emails in the context of a
FOIA request about Jeffrey Epstein could reasonably be expected to interfere with Tartaglione,
the Government is prepared to provide such submissions. However, upon re-reviewing these
materials and in light of representations by the Times as to its area of greatest interest, the
Government does not believe that these emails are of central concern in this matter and could be
fairly described as non-responsive to the Times's requests.
I thank the Court for its consideration of this submission.
Respectfully submitted,
AUDREY STRAUSS
United States Attorney
By:
/s/ Steven J. Kochevar
Steven J. Kochevar
Assistant United States Attorney
300 Quarropas Street
White Plains, NY 10007
Telephone: (914) 993-1928
Email: steven.kochevar@usdoj.gov
EFTA00090100
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| Filename | EFTA00090099.pdf |
| File Size | 145.1 KB |
| OCR Confidence | 85.0% |
| Has Readable Text | Yes |
| Text Length | 4,571 characters |
| Indexed | 2026-02-11T10:32:38.070866 |