EFTA00081116Set 9
2008-07-0764p27,011w
employed by the Justice
Department. For example, I have sent letters to both Bruce Reinhart and Alex Acosta, who both
have information about the Epstein case, requesting an opportunity ... requests documents regarding Bruce Reinhart, a senior prosecutor who was
present in the U.S. Attorney's Office during the time that the Office negotiated the NPA with
Epstein, blocking ... Districdt of Florida. In RFP
No. 16, the victims have sought documents showing that Reinhart learned confidential, non-
public information about Epstein matter. The Court will recall that Reinhart
https://www.justice.gov/epstein/files/DataSet%209/EFTA00081116.pdf
EFTA01079864Set 9
2013-08-1674p29,272w
employed by the Justice
Department. For example, I have sent letters to both Bruce Reinhart and Alex Acosta, who both
have information about the Epstein case, requesting an opportunity ... requests documents regarding Bruce Reinhart, a senior prosecutor who was
present in the U.S. Attorney's Office during the time that the Office negotiated the NPA with
Epstein, blocking ... Districdt of Florida. In RFP
No. 16, the victims have sought documents showing that Reinhart learned confidential, non-
public information about Epstein matter. The Court will recall that Reinhart
https://www.justice.gov/epstein/files/DataSet%209/EFTA01079864.pdf
EFTA00603828Set 9
2013-08-1674p29,349w
employed by the Justice
Department. For example, I have sent letters to both Bruce Reinhart and Alex Acosta, who both
have information about the Epstein case, requesting an opportunity ... requests documents regarding Bruce Reinhart, a senior prosecutor who was
present in the U.S. Attorney's Office during the time that the Office negotiated the NPA with
Epstein, blocking ... Districdt of Florida. In RFP
No. 16, the victims have sought documents showing that Reinhart learned confidential, non-
public information about Epstein matter. The Court will recall that Reinhart
https://www.justice.gov/epstein/files/DataSet%209/EFTA00603828.pdf
EFTA00182476Set 9removed from DOJ
2009-10-20180p31,379w
Lauderdale, Florida 33394
Phone:
11
12 On behalf of the Witness:
13 BRUCE E. REINHART, ESQUIRE
LAW OFFICE OF BRUCE E. REINHART
• 14 250 S. Australian Avenue, Suite 1400
West ... MERMELSTEIN:
2 Q I'm sorry. Go ahead.
3 MR. REINHART: Do you need to expand on your
4 answer?
5 BY MR. MERMELSTEIN:
6 Q Were you finished ... these, point out any of those that are in your
23 handwriting?
24 MR. REINHART: Take your time, look at each
25 one, and just tell
https://www.justice.gov/epstein/files/DataSet%209/EFTA00182476.pdf
EFTA01110326Set 9
2009-10-1558p43,809w
record about -- well, we'll do it this way -
9 MR. REINHART: Do it at the end, alter we get
10 10 him -- whatever you want. It's your show ... TIME i R WITZ PA. 1$ logs from 2002 through 2005, and now Mr. Reinhart
19 19 has agreed to produce the remainder of the flight
20 logs requested, those ... going from 1998 through 2002.
20
RICHARD H. WILLITS. ESQUIRE (VIA TELEPHONE) 21 MR. REINHART: Correct. They're pilot logs,
22 A P.A. 22 not night logs. There are other
https://www.justice.gov/epstein/files/DataSet%209/EFTA01110326.pdf
EFTA00159483Set 9
2009-10-15227p48,318w
West Palm Beach, Florida 33401
10
11 On behalf of the Witness:
12 BRUCE REINHART, ESQUIRE
250 South Australian Avenue
13 Suite 1400
West Palm Beach, Florida ... record about -- well, we'll do it this way --
9 MR. REINHART: Do it at the end, after we get
10 him -- whatever you want. It's your show ... previous deposition were flight
18 logs from 2002 through 2005, and now Mr. Reinhart
19 has agreed to produce the remainder of the flight
20 logs requested, those going from
https://www.justice.gov/epstein/files/DataSet%209/EFTA00159483.pdf
EFTA00068215Set 9
2015-12-2813p3,996w
Sentencing O Parole
Hearing Hearing
O Other
Defendant(s) Name(s): Subject/Target Bruce Reinhart
Case Number: District Court: Judge:
3. INFORMATION ABOUT THE VICTIM'S COMPLAINT
What is the location ... Florida
99 N.E.4th Street
Miami, FL 33132
Re: Request for Investigation of Bruce E. Reinhart
Dear Mr. Ferrer:
As you recall, I represent Jane Doe No. 1 and Jane ... decision. In
particular, it is now clear that former Assistant U.S. Attorney Bruce E. Reinhart has filed a false
affidavit in the victims' CVRA case. I am writing
https://www.justice.gov/epstein/files/DataSet%209/EFTA00068215.pdf
EFTA00209299Set 9
2014-03-033p1,309w
Florida
99 N.E.4th Street
Miami, FL 33132
Re: Request for Investigation of Bruce E. Reinhart
Dear Mr. Ferrer:
As you recall, I represent Jane Doe No. 1 and Jane ... decision. In
particular, it is now clear that former Assistant U.S. Attorney Bruce E. Reinhart has filed a false
affidavit in the victims' CVRA case. I am writing ... criminal prosecution of this crime.
The victims also ask that you refer Mr. Reinhart to any appropriate disciplinary committee.
By way of background, on March 21, 2011, the victims filed
https://www.justice.gov/epstein/files/DataSet%209/EFTA00209299.pdf
EFTA00205039Set 9
2011-04-2035p14,311w
ALTERNATIVE FOR A SUA SPONTE RULE 11 ORDER
Comes now, Movant Bruce E. Reinhart, pursuant to Federal Rule of Civil Procedure
24(b), and seeks leave to intervene ... Plaintiffs reported that they oppose the Motion to Intervene.
Respectfully submitted,
/s/ Bruce E. Reinhart
BRUCE E. REINHART,P.A.
West Palm Beach, Florida 33401
3
EFTA00205041
Case ... served on all counsel of record by CM/ECF on
May 3, 2011.
/s/Bruce Reinhart
BRUCE REINHART
4
EFTA00205042
Case 9:08-cv-80736-KAM Document 79-1 Entered on FLSD
https://www.justice.gov/epstein/files/DataSet%209/EFTA00205039.pdf
EFTA01111839Set 9
2011-09-2627p6,085w
Martin G. Weinberg v,/, PRO HAC
VICE, Martin G. Weinberg, Boston, MA.
For Bruce Reinhart, Intervenor: Bruce Reinhart, Bruce E.
Reinhart, West Palm Beach, FL.
For Jeffrey Epstein, Intervenor: Jacqueline ... Attorney's Office Not to Withhold Relevant Evidence (DE
50), and Bruce E. Reinhart's Motion to Intervene or in the
Alternative for a Sua Sponte Rule 11 Order ... series of motions, which the Court
now addresses in turn, along with Bruce E. Reinhart's
Motion to Intervene.
I. Motion for Finding of Violations of the Crime
Victims' Rights
https://www.justice.gov/epstein/files/DataSet%209/EFTA01111839.pdf
EFTA00611358Set 9
2011-08-12138p36,797w
BISCAYNE BOULEVARD, SUITE 1300
MIAMI, FLORIDA 33131
21 (305) 371-6421
22 BRUCE REINHART, ESQ.
250 S. AUSTRALIAN AVENUE
23 SUITE 1400
WEST PALM BEACH, FLORIDA ... intervening
19 lawyers, Black, Weinberg and Lefkowitz.
20 THE COURT: Good afternoon.
21 MR. REINHART: Good afternoon, Your Honor.
22 Bruce Reinhart on behalf of myself.
23 THE COURT: Good ... first before we get to any of the
5 substantive motions.
6 So, Mr. Reinhart, why don't I hear from you
7 first.
8 MR. REINHART: Good afternoon, Your
https://www.justice.gov/epstein/files/DataSet%209/EFTA00611358.pdf
EFTA01197953Set 9
2011-09-2614p4,151w
Attorney's Office Not to Withhold Relevant Evidence (DE 50), and
Bruce E. Reinhart's Motion to Intervene or in the Alternative for a Sua Sponte Rule 11 Order ... series of motions, which the Court now addresses in turn, along
with Bruce E. Reinhart's Motion to Intervene.
'Jane Doe #2 joined this action after Jane Doe #1 filed ... Document 99 Entered on FLSD Docket 09/26/2011 Page 12 of 14
IV. Bruce E. Reinhart's Motion to Intervene or in the Alternative for a Sua Sponte Rule
11 Order
https://www.justice.gov/epstein/files/DataSet%209/EFTA01197953.pdf
EFTA01122989Set 9
2011-08-12113p33,117w
Biscayne Boulevard, Suite 1300
Miami, Florida 33131
21 (305) 371-6421
22 Bruce Reinhart, Esq.
250 S. Australian Avenue
23 Suite 1400
West Palm Beach, Florida ... intervening lawyers, Black, Weinberg
18 and Lefkowitz.
19 THE COURT: Good afternoon.
20 MR. REINHART: Good afternoon, Your Honor. Bruce
21 Reinhart on behalf of myself.
22 THE COURT: Good ... first before we get
3 to any of the substantive motions.
4 So, Mr. Reinhart, why don't I hear from you first.
5 MR. REINHART: Good afternoon, Your Honor
https://www.justice.gov/epstein/files/DataSet%209/EFTA01122989.pdf
EFTA01134762Set 9
2011-09-2614p4,151w
Attorney's Office Not to Withhold Relevant Evidence (DE 50), and
Bruce E. Reinhart's Motion to Intervene or in the Alternative for a Sua Sponte Rule 11 Order ... series of motions, which the Court now addresses in turn, along
with Bruce E. Reinhart's Motion to Intervene.
'Jane Doe #2 joined this action after Jane Doe #1 filed ... Document 99 Entered on FLSD Docket 09/26/2011 Page 12 of 14
IV. Bruce E. Reinhart's Motion to Intervene or in the Alternative for a Sua Sponte Rule
11 Order
https://www.justice.gov/epstein/files/DataSet%209/EFTA01134762.pdf
EFTA00622793Set 9
2011-09-2614p4,149w
Attorney's Office Not to Withhold Relevant Evidence (DE 50), and
Bruce E. Reinhart's Motion to Intervene or in the Alternative for a Sua Sponte Rule 11 Order ... series of motions, which the Court now addresses in turn, along
with Bruce E. Reinhart's Motion to Intervene.
'Jane Doe #2 joined this action after Jane Doe #1 filed ... Document 99 Entered on FLSD Docket 09/26/2011 Page 12 of 14
IV. Bruce E. Reinhart's Motion to Intervene or in the Alternative for a Sua Sponte Rule
11 Order
https://www.justice.gov/epstein/files/DataSet%209/EFTA00622793.pdf
EFTA01081334Set 9
2011-09-2614p4,151w
Attorney's Office Not to Withhold Relevant Evidence (DE 50), and
Bruce E. Reinhart's Motion to Intervene or in the Alternative for a Sua Sponte Rule 11 Order ... series of motions, which the Court now addresses in turn, along
with Bruce E. Reinhart's Motion to Intervene.
'Jane Doe #2 joined this action after Jane Doe #1 filed ... Document 99 Entered on FLSD Docket 09/26/2011 Page 12 of 14
IV. Bruce E. Reinhart's Motion to Intervene or in the Alternative for a Sua Sponte Rule
11 Order
https://www.justice.gov/epstein/files/DataSet%209/EFTA01081334.pdf
EFTA00205844Set 9
2007-09-2414p4,152w
Attorney's Office Not to Withhold Relevant Evidence (DE 50), and
Bruce E. Reinhart's Motion to Intervene or in the Alternative for a Sua Sponte Rule 11 Order ... series of motions, which the Court now addresses in turn, along
with Bruce E. Reinhart's Motion to Intervene.
'Jane Doe #2 joined this action after Jane Doe # I filed ... Document 99 Entered on FLSD Docket 09/26/2011 Page 12 of 14
IV. Bruce E. Reinhart's Motion to Intervene or in the Alternative for a Sua Sponte Rule
11 Order
https://www.justice.gov/epstein/files/DataSet%209/EFTA00205844.pdf
EFTA00205691Set 9
2007-09-2414p4,152w
Attorney's Office Not to Withhold Relevant Evidence (DE 50), and
Bruce E. Reinhart's Motion to Intervene or in the Alternative for a Sua Sponte Rule 11 Order ... series of motions, which the Court now addresses in turn, along
with Bruce E. Reinhart's Motion to Intervene.
'Jane Doe #2 joined this action after Jane Doe # I filed ... Document 99 Entered on FLSD Docket 09/26/2011 Page 12 of 14
IV. Bruce E. Reinhart's Motion to Intervene or in the Alternative for a Sua Sponte Rule
11 Order
https://www.justice.gov/epstein/files/DataSet%209/EFTA00205691.pdf