GIS Scare Soludoeu (USA) Inc
4200 Wackenhut Dane
Palm BMl, Gardan, Fl. 33410
Ttkplion.r
unew.g4aus
February 1, 2011
VIA EMAIL
Jack Scarola, Esq.
Searcy Denney Scarola Barnhart & Shipley
2139 Palm Beach Lakes Boulevard
West Palm Beach, Florida 33409
RE: Subpoena Duces Tecum Without Deposition
Jeffrey Epstein v. Scott Rothstein, et al.
Case No. 502009CA040800-MBAG
Dear Mr. Scarola:
This letter will serve as a written response to the Subpoena Duces Tecum Without Deposition
issued by your office on January 19, 2011, in connection with the above-referenced matter.
Attached please find true and accurate copies of the following documents in response to said
subpoena:
1/6 Security Officer Reports from 2/01/10 to 3/05/10; 3/06/10 to 3/27/10; and 4/04/10 to
4/30/10;
2/6 Security Officer Reports from 9/10/09 to 10/24/09; 1/17/10 to 1/31/10; and 6/30/10 to
7/21/10;
3/6 Security Officer Reports from 10/25/09 to 11/16/09; 11/17/09 to 11/30/09; and 5/03/10 to
6/29/10;
4/6 E-mail messages referencing the scheduling of 358 El Brillo Way dated 7/19/09 to
4/01/10; E-mail messages from 3/14/10 to 6/07/10; Executed Wackenhut Services
Contract in effect from 7/21/09 to 7/20/10, along with Addendum No. 1 dated 7/21/09;
5/6 Security Officer Reports from 12/01/09 to 12/28/09; and 12/28/09 to 1/17/10; and
6/6 Incident Report dated 3/23/10; Post Orders for 358 El Brillo Way (redacted to remove
personal phone information); and Wackenhut Standard Operating Procedure Manual,
effective August 2009.
EFTA01077415
Jack Scarola. Esq.
Searcy Denney Scarola Barnhart & Shipley
February I, 2011
Page 2
Also attached is the schedule and pay history from 8/09/09 to 7125/10.
This letter will confirm full compliance of G4S Secure Solutions to said subpoena.
Please feel free to contact me with any questions. Thank you.
Sincerely,
WitO\ t- \ OM)
Karen M. Savignac, CP, FRP
Certified and Florida Registered Paralegal
EFTA01077416