Herman 8Mermelstein,P 10:48:06 a.m. 16-09-2008 1 /3
ERMAN & MERMELSTEIN PA
A, ORNEYS AT LAW Jeffrey M. Herman
Tel
Fax
arm, oride 33160
www.hermanlew.com
FAX TRANSMITTAL
FROM DATE NO. OF PAGES
Jeffrey M. Herman September 16, 2008 3
TO COMPANY FAX NUMBER
U.S. Attorney's Office
MESSAGE
RE: Jane Does 2-5 v. Jeffrey Epstein
Please see enclosed correspondence.
THIS MESSAGE IS INTENDED ONLY FOR THE USE OF THE INDIVIDUAL OR ENTITY TO WHICH IT IS ADDRESSED AND MAY
CONTAIN_INFORMATION THAT 15 PRIVILEGED. CONFIDENTIAL AND EXEMPT FROM DISCLOSURE UNDER APPLICABLE
LAW. IF THE READER OF THIS MESSAGE IS NOT THE INTENDED RECIPIENT OR THE EMPLOYEE OR AGENT RESPONSIBLE
FOR DELIVERING THE MESSAGE TO THE INTENDED RECIPIENT. YOU ARE HEREBY NOTIFIED THAT ANY DISSEMINATION.
DISTRIBUTION OR COPYING OF THIS COMMUNICATION IS STRICTLY PROHIBITED. IF YOU HAVE RECEIVED THIS
COMMUNICATION IN ERROR. PLEASE NOTIFY US IMMEDIATELY BY TELEPHONE, AND RETURN THE ORIGINAL MESSAGE
TO US AT THE ABOVE ADDRESS VIA THE U.S. POSTAL SERVICE. THANK YOU.
EFTA00013955
305-9312200 Herman IIMermels,ei^. 10.48 /8 a m. 16 C9 2C08 2
HERMAN 6, MERMELSTEIN PA
ATTORNEv5 AT LAN _eftre M Herman
Te
Miami. Florida 33160
www iermar. aVil COM
September 16, 2008
iVia Fax ant Re ar Mall
Assistant U.S. Attorn
West Palm Beach, FL 33401
Re: Jeffrey Epstein
Dear Ms. Villafafia:
This concerns your letters to us and to sexual assault victims of Mr. Epstein dated September
2, 2008. Please be advised that we strenuously object to your letters on various grounds, and believe
that they arc in violation of the Florida Bar Rules.
First, your letters attempt to steer the victims to a particular attorney, Mr. Josefsberg, and
advise them that Mr. Josefsberg will be making an unsolicited contact to them in the next two weeks.
This contact with prospective clients and solicitation reflected in your letters is contrary to Fla. Bar.
Rule 4-7.4. Additionally, your letters are misleading in the following respects: (1) the action
advocated to the victims in paragraph 2 refers generally to the victims' waiver o f "any other claim for
damages", failing to advise them that this waiver may include a valuable claim to punitive damages
against an alleged billionaire; and (2) the letters imply in paragraph 3 that Mr. Epstein's agreement to
pay attorney fccs is a significant concession, when in fact a victim is entitled to reasonable attorneys'
fees under the Statute upon proof of a violation, irrespective of Mr. Epstein's agreement.
We accordingly demand that the U.S. Attorneys' office immediately cease and desist from
directing unrepresented victims into unsolicited attorney contacts and misleading them about their
rights in claims against Mr. Epstein. We demand that you instruct Mr. Josefsberg not to solicit
victims, and to send letters to unrepresented victims correcting the misleading statements contained
in your September 2, 2008 letters.
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Esq.
September 16, 2008
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Finally, we demand that you make no contact with our clients directl , and contact them onl
through our office. Our clients inclu
Sincerely,
effrey M. Herman
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