EFTA00117759Set 9
2021-06-21464p83,661w
Also present are
23 DOJ OIG Special Agent
24 Correctional officer Tova Noel; Ms. Noel's
25 attorneys, Jason Foy, and Eric Sarraga of Foy &
EFTA00117761
LIMITED OFFICIAL ... Senior Special Agent
8
9 MR. : I am DOJ OIG Special Agent
10
11 MS. NOEL: I'm Tova Noel, N-O-E-L.
12 MR. FOY: Jason ... Sarraga, S-A-R-R-A-G-A,
15 attorney for Tova Noel.
16 MS. GREGG: Serine Gregg, G-R-E-G-G, Local
17 3148.
18 MR. : Thank
https://www.justice.gov/epstein/files/DataSet%209/EFTA00117759.pdf
EFTA00601019Set 9
2009-07-0121p6,665w
Date Matter No. Description of Service Amount
5/26/09 30608 Review email from Ms. Ederi rea, 5.6 1,960.00
General egmbilialsimp, review reply from Ms. Ederi to
email from Ms. Ezell ... greater involvement of Ms.
Yarzabal in case; review email from Ms. Sheehan re:
a review email from Ms.
Sheehan re: list of outstanding motions and attaching
two; review email from ... Ms. Ezell to team re:
ad forwarding email —
a: same; review reply from Ms. Ederi re:
aview emails from Ms. Ezell re:
depositions in federal cases; review reply from
https://www.justice.gov/epstein/files/DataSet%209/EFTA00601019.pdf
EFTA00113054Set 9
2022-05-3155p10,282w
York City Medical Examiner Dr. .
10 Did I say that right?
11 MS. : Yes.
12 MR. : Is being conducted as part of
13 an official U.S. Department of Justice, Office ... Special Agent-in-Charge for the New
4 York Field Office.
5 MR. : Ms. .
6 MS. : Oh,
. General Counsel from the New York City
8 Office of Chief Medical Examiner ... MS. : I'm . .
11 And I'm a city medical examiner at Office of
12 the Chief Medical Examiner in New York.
13 MR. : Thank you, everyone. This
https://www.justice.gov/epstein/files/DataSet%209/EFTA00113054.pdf
EFTA00794167Set 9
2019-03-1919p5,311w
blood boil and the stomach chum of any decent person. In short,
your raped Ms. l= when she was a 14-15 year old girl. To be clear,lassot just ... that
Ms. was underage, really a baby at the time, that I say this is rape; Ms. was forcibly
and violently raped by Mr. Epstein. The consequences to Ms. since ... inflicting.Smmary of Mr. Epstein's sick and extremely harmful conduct, including
the rape of Ms. =, is outlined below.
Mr. Epstein's Rane and Sexual Assault of Ms.
Ms. was born
https://www.justice.gov/epstein/files/DataSet%209/EFTA00794167.pdf
EFTA01248167Set 9removed from DOJ
2009-08-0774p36,354w
CRITTON: Before we get started just
14
)0E LANGSAM, VIDEOGRAPHER 16 with regard to Ms. represents Jane Doe
15 17 101 and 102, the a ed time ... this
3 3 particular witness based upon the two
4
ALFREDO RODRIGUEZ
(BY MS. Mi
278 441, 467
4
5
6
it
dients at least that are in suit ... this
point
MS. As Mr. Critton well knows I
(By Mr. MI 334 453, 469 7 represent a number of other clients whose
6
(By Mr. Critton
https://www.justice.gov/epstein/files/DataSet%209/EFTA01248167.pdf
EFTA00125466Set 9
2019-08-12136p23,636w
Assisting United States Attorney from
17 the Southern District of New York,
18
19 MS.
20 MR. , I apologize.
21 Can you spell your name for transcription
22 purposes ... MS. : Sure.
24 Thanks.
25 MR. : Thank you. Before we were
EFTA00125483
LIMITED OFFICIAL USE
1 just going over some of the overall high-
2 profile inmates and the general ... recall the specific amount of times. -
17 we were in contact.
18 MS. : Um-hum.
19 MR. : Frequent contact.
20 MR. : Okay. How often were you,
21 are you notified
https://www.justice.gov/epstein/files/DataSet%209/EFTA00125466.pdf
EFTA00074599Set 9
2021-04-1569p52,989w
Epstein, there was no preexisting
LAGOA, BRASHER, TJOFLAT, and HULL, Circuit proceeding in which Ms. Wild could have moved for relief
Judges.* under the CVRA, and the Act does ... concurring opinion. and multiple coconspirators sexually abused more than 30
young girls, including Ms. Wild, in Palm Beach, Florida and
TJOFLAT, Circuit Judge, filed a concurring opinion, in which elsewhere ... Jeffrey Epstein.
indictment. At the same time, prosecutors were corresponding
In her mandamus petition, Ms. Wild asserts that when
with *1248 Epstein's known victims. As early as March
federal
https://www.justice.gov/epstein/files/DataSet%209/EFTA00074599.pdf
EFTA00018749Set 8
2020-08-178p3,922w
fair determination of
important issues impacting the privacy and due process rights of Ms. Maxwell and other third
parties. The ten discrete items to be filed ("the Material ... Honorable Loretta Preska and the Second Circuit Court of Appeals, under seal,
' Ms. Maxwell seeks leave to file this Letter Motion under seal because it relates and refers to
discovery ... deemed Confidential under the terms of the Protective Order in this case.
'Counsel for Ms. Maxwell have not conducted a document by document comparison of the
90,000 pages with
https://www.justice.gov/epstein/files/DataSet%208/EFTA00018749.pdf
EFTA01137554Set 9
2013-02-0425p5,330w
WWW.USLEGALSUPPORT.COM
561-835-0220
EFTA01137555
1 PROCEEDINGS
2
3 MS. COLEMAN: Excuse me one moment. I'm
4 sorry. The first page of that notebook I need to
5 take ... they're my notes.
6 THE COURT: I can't read your notes?
7 MS. COLEMAN: Well, I wouldn't want to give
8 you my notes without giving ... seems
13 like a lot?
14 MS. COLEMAN: No, Your Honor, it's not.
15 THE COURT: Okay.
16 MS. COLEMAN: It is my motion on behalf
https://www.justice.gov/epstein/files/DataSet%209/EFTA01137554.pdf
EFTA00594390Set 9
2015-10-17184p37,372w
know, we have a motion to compel
8 regarding your inadequate privilege log.
9 MS. McCAWLEY: Just before we begin, I'm
10 sorry, I didn't announce my appearance ... SCOTT: Feel better that you got that off
15 your chest?
16 MS. McCAWLEY: With respect to -- excuse me.
17 With respect to my client,
18 she is asserting ... question is: During the meeting, did you
18 discuss Professor Dershowitz?
19 MS. McCAWLEY: I'm going to object to any
20 discussion of what my client told you during
https://www.justice.gov/epstein/files/DataSet%209/EFTA00594390.pdf
EFTA00793881Set 9
34p23,564w
that regard, please. motion -- for the obvious reason, when he
2 All right, Ms. Rockenbach. • filed his motion to sot the case in the
MS. RoCEENBACH: Thank ... against Mr. Rothstein.
12 fact that I know this Court does not need 12 MS. ROCKENSACE: Rothstein, thank you
13 any more paperwork. You need to see the 13 very ... Epstein -- he is absolutely THE COURT: Sure.
8 correct -- that Mr. Epstein's operative MS. ROCKEHBACH: Thank you. May I
9 complaint is the Second Amended Complaint to • approach
https://www.justice.gov/epstein/files/DataSet%209/EFTA00793881.pdf
EFTA01098021Set 9
2011-01-1816p3,619w
calendar,
2 matter of Jeffrey Epstein.
3 Your appearances please.
4 MS. GAFFNEY: Jennifer Gaffney for the People.
5 Good afternoon, Your Honor.
6 MR. LEFKOWITZ: Jay Lefkowitz and Sandra ... correct.
10 THE COURT: Are you waiving his appearance?
11 MR. LEKWOWITZ: Yes.
12 MS. GAFFNEY: Your Honor, this case is on for a
13
C4 14
SORA hearing this ... COURT: I don't know why you cannot rely on
22 it.
23 MS. GAFFNEY: Because in Florida of all of the
24 victims in that probable cause affidavit, they
https://www.justice.gov/epstein/files/DataSet%209/EFTA01098021.pdf
EFTA01079203Set 9
2016-01-1260p13,979w
able to
contact witnesses, inform them of testimony, and ask them whether Ms.
testimony is accurate. They also need to be able to use Ms.= testimony in other ways ... Court modify the Confidentiality Order to
confirm that Dershowitz's counsel may disclose Ms. testimony as they deem necessary
in their professional judgment in order to represent Dershowitz in this ... Determine Confidentiality, the "sexual abuse allegations filed by Edwards and Cassell for
their client Ms. are not peripheral to this lawsuit — they are inherent to it."
Plaintiffs' Response to Dershowitz
https://www.justice.gov/epstein/files/DataSet%209/EFTA01079203.pdf