EFTA00095379.pdf
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From:
To: "Martin G. Weinberg"
Cc: 'Mart Weinbe
Subject: RE: Epstein - Legal Issues and Requests
Date: Thu, 18 Jul 2019 02:56:37 +0000
Marty,
I stand corrected regarding the timing of the recusal of SDFL from potential prosecution; I hadn't realized that (which may
further show that any speculation about the genesis of our investigation being with SDFL is misguided). In any event, as
we have represented to the Court, our investigation was initiated internally, and beyond that we're not prepared to make
representations about internal communications or to otherwise characterize the investigation. With respect to the
preservation of communications, my understanding is that the Department generally retains communications for some
period of years, so while we don't believe there is any formal obligation to retain (or produce) such materials, I don't
believe there would be any issue with retrieving communications should that be necessary.
Regarding the privilege review, I expect that we will utilize (wall / taint individual or team to screen for privileged
materials, as we do in the ordinary course where there are privilege concerns. If in addition to attorney names and law
firms there are search terms, phrases, etc., that you want to identify for the review team, you should certainly feel free to
do so and we can facilitate that. In the first instance I expect it will take some time to process the drives and devices to
make their content reviewable on I web-based platform, so I don't believe anyone is yet reviewing those items (with the
possible exception of I required preliminary screen of images for possible child pornography). In terms of the attorney
and firm names, my thought was that it would be helpful for the case team to have them in case somehow some material
wasn't screened, for easy recognition should we come across those names—and I've had those types of identifying
information in other cases—but that certainly isn't I requirement if you prefer otherwise.
Once the materials are in I position to be reviewed byI taint team, we will let you know right away to facilitate the
easiest and most straightforward process for screening, review, and eventual production. The lag in setting that up is not
to interpose any delay, but rather because there are intermediate technological steps before I review team will have
access to those materials.
I hope that's helpful, and keeps the gears turning, and please let us know if additional information would be useful.
thanks,
From: Martin G. Weinberg
Sent: Tuesday, July 16, 2019 18:46
To:
Cc: 'Marty Weinberg' ;
Subject: Epstein - Legal Issues and Requests
Hi
M
,
the SD Fla was ordered recused by the DOJ from criminal matters concerning Mr Epstein at I much earlier date,
see Dkt 205-2 of the CVRA, at pg 12, fn 13 which was filed in our case as Doc 6- Exh 2 ( our bail submission of last week).
You are correct that the ND Ga did not enter the CVRA proceedings until much later.
I will await further communication on the communications-related request.
I think its more consistent with 'taint review - if that is indeed the search protocol that you will use or (if there is
challenge) attempt to use to review the seized Epstein phones/electroncs - for the attorney list to go to the taint
prosecutor to guard against any risk that identifying an attorney may in combination with other evidence in your
possession disclose I privilege. If there is I particular concern with the case team accessing privileged materials absent
the list of attorneys, please let me know so we can address it without delay. We have enough legal issues...
Thanks
Best, Marty
Martin G. Weinberg, Esq.
20 Park Plaza
; 'Marc Fernich'
;'Martin Weinberg'
EFTA00095379
Suite 1000
Boston, MA 02116
This Electronic Message contains information from the Law Office of Martin G.
Weinberg, P.C., and may be privileged. The information is intended for the use of the addressee only. If you are not the
addressee, please note that any disclosure, copying, distribution, or use of the contents of this message is prohibited.
From:
Sent: Tuesday, July 16, 2019 11:42 AM
To: Martin G. Weinberg <
Cc: 'Marty Weinberg'
If
>; 'Marc Fernich'
c
M>
Subject: RE: Epstein Arrest Seizure Items
Hi Marty,
In reverse order, we're not prepared to make any generalized representations regarding any communications within the
Department in its entirety, but I note for your reference that the Southern District of Florida apparently recused itself in or
about March 2019, and it was only at that point, to my knowledge, that the Northern District of Georgia became involved
in the CVRA case. As we have noted, our investigation had been active for several months at that time. And we will further
discuss your other communications-related questions and get back to you.
Regarding the review of electronic devices, we'll discuss internally whether we're in I position to specifically describe our
review and screening process, but certainly it would be helpful in the first instance for you to provide the list of attorneys
and/or firms that could implicate privilege. You can simply send that list to us—unless you have concerns that even the
identities of those attorneys and firms would disclose privileged information, though I think ideally the case team would
benefit from having that information as further protection against any taint.
thanks,
From: Martin G. Weinberg
Sent: Tuesday, July 16, 2019 08:31
To:
Weinberg' <
>
Cc: 'Marty Weinberg'
'Marc Fernich' •‘-=
>; 'Martin
•>
Subject: RE: Epstein Arrest Seizure Items
Good morning
The purpose of this email is to address two issues separate from the ongoing bail/detention hearings.
First, the seizure of various phones and computer-type devices from Mr Epstein and his residence. I would like to discuss
the protocol for any search of the devices with the purpose of protecting the confidentiality of I vast amount of attorney-
client and work product privileged communications that are within these devices. Can we schedule I call? I have
assembled I preliminary list of attorneys. If the matter has been delegated to 'taint prosecutor, and without waiving
rights to contest the process, I would like to send the list of attorneys to that taint prosecutor.
Second, yesterdays stated that there had been no communications with the SD Fla. That is not surprising since they
are recused. Would you inform the defense whether there has been I similar absence of any contact with the ND Ga
prosecutors (in particular
and/or Mr
) or with Main Justice (eg CEOS or others)? I would also want
to explore with you an agreement on preserving emails, texts, voicemessages, documents that would be relevant to the
genesis of the SDNY investigation given the issues that we have raised regarding the NPA. I am not by this email seeking
their discovery (future issue), only an agreement on their preservation.
Thanks
Marty
Martin G. Weinberg, Esq.
20 Park Plaza
Suite 1000
Boston, MA 02116
EFTA00095380
This Electronic Message contains information from the Law Office of Martin G.
Weinberg, P.C., and may be privileged. The information is intended for the use of the addressee only. If you are not the
addressee, please note that any disclosure, copying, distribution, or use of the contents of this message is prohibited.
From:
f
Sent: Monday, July 15, 2019 8:35 PM
To: Marc Fernich <
Cc: Marty Weinberg c
Martin Weinberg
Subject: RE: Epstein Arrest Seizure Items
Marc,
Circling back on this, I'll ask the agents to bring the cash and other personal effects seized from Mr. Epstein to the hearing
on Thursday, unless it is important to receive them before then, in which case please let me know and I'll try to arrange
that. With respect to the electronic devices, we've obtained I warrant to search them and so will be retaining them as
evidence.
thanks,
From: Marc Fernich
Sent: Thursday, July 11, 2019 15:54
To:
Cc: Marty Weinberg c
Martin Weinberg
Subject: Epstein Arrest Seizure Items
Hi
M
.
Sorry to bug you while you may be working on I bail reply.
I'm having trouble reaching Agent
to coordinate pickup of the cellphone and other items seized upon Epstein's
arrest. She said she'd be out in the field, but I don't hear from the intermediary agent — identity unknown — who was
supposed to handle it in her absence. Can you step in and try to move this along?
Thanks I lot.
Marc Fernich, Esq.
810 Seventh Ave.
Suite 620
New York, NY 10019
Sent from my iPhone
On Jul 9, 2019, at 3:26 PM,
wrote:
Marc,
It is the right number, so feel free to follow up later, but I can also give you her cell number which is
thanks,
From: Marc Fernich <
Sent: Tuesday, July 09, 2019 14:56
To:
Cc: Marty Weinberg
; Martin Weinberg
Subject: Re: U.S. v. Epstein, 19 Cr. 490 (RMB), Government bail memorandum
EFTA00095381
Sorry to trouble again. No answer or VM pickup at that number. I'll try again later so long as it's the right number. Can
you confirm? Many thanks.
Marc Fernich, Esq.
810 Seventh Ave.
Suite 620
New York, NY 10019
Sent from my iPhone
On Jul 9, 2019, at 2:45 PM,
wrote:
Marc,
Apologies for the delay on this, and thanks for following up. The best way to coordinate this is to contact the case
agent directly — I just spoke to her so she'll be expecting your call. They're running around, so if you reach out and
aren't able to connect today please let me know, but hopefully we can get it coordinated. The contact is Special Agent
and she can be reached at
thanks,
From: Marc Fernich •ca
Sent: Monday, July 08, 2019 15:40
To:
Subject: Re: U.S. v. Epstein, 19 Cr. 490 (RMB), Government bail memorandum
One of your agents to
person upon arrest.
Thanks,
Marc
Marc Fernich, Esq.
810 Seventh Ave.
Suite 620
New York, NY 10019
Sent from my iPhone
the case agent would return Epstein's phone, the cash and other items taken from his
returning to Boston shortly. Can you arrange for me to take possession of those items?
On Jul 8, 2019, at 10:53 AM,
wrote:
Marc,
Wanted to send this to you as well in case your co-counsel can't receive it in the Court. Please let me know if it would
be helpful to get I hard copy — I'm copying two of our paralegals who can bring you (or co-counsel)I copy; I'll be
unreachable for the next hour or so.
thank you,
From:
Sent: Monday, July 08, 2019 10:43
EFTA00095382
To:
Cc:
'Martin Weinberg' c
; tweingartenasteptoe.comi
Subject: RE: U.S. v. Epstein, 19 Cr. 490 (RMB), Government bail memorandum
To the Chambers of Judge Pitman:
In advance of the expected bail argument in the above-captioned case, in connection with the presentment and
arraignment referred by Judge Berman, attached please find I memorandum from the government on the issue of
detention. Defense counsel is copied, as is the chambers of Judge Berman at their request.
Thank you,
Assistant U.S. Attorney
Southern District of New York
EFTA00095383
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| Filename | EFTA00095379.pdf |
| File Size | 299.4 KB |
| OCR Confidence | 85.0% |
| Has Readable Text | Yes |
| Text Length | 11,031 characters |
| Indexed | 2026-02-11T10:34:03.613634 |