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This is an FBI investigation document from the Epstein Files collection (FBI VOL00009). Text has been machine-extracted from the original PDF file. Search more documents →

FBI VOL00009

EFTA00230494

277 pages
Pages 61–80 / 277
Page 61 / 277
Case 9:08-cv-80736-KAM Document 48-5 
Entered on FLSD Docket 03/21/2011 Page 6 of 15 
sentenced not later than October 26, 2007. The United States has no 
objection to Epstein self-reporting to begin serving his sentence not 
later than January 4, 2008. 
12. 
Epstein agrees that he will not be afforded any benefits with respect to 
gain time, other than the rights, opportunities, and benefits as any other 
inmate, including but not limited to, eligibility for gain time credit 
based on standard rules and regulations that apply in the State of 
Florida. At the United States' request, Epstein agrees to provide an 
accounting of the gain time he earned during his period of 
incarceration. 
13. 
The parties anticipate that this agreement will not be made part of any 
public record. If the United States receives a Freedom of Information 
Act request or any compulsory process commanding the disclosure of 
the agreement, it will provide notice to Epstein before making that 
disclosure. 
Epstein understands that the United States Attorney has no authority to require the 
State Attorney's Office to abide by any terms of this agreement. Epstein understands that 
h is his obligation to undertake discussions with the State Attorney's Office and to use his 
best efforts to ensure compliance with these procedures, which compliance will be necessary 
to satisfy the United States' interest. Epstein also understands that it is his obligation to use 
his best efforts to convince the Judge of the 15th Judicial Circuit to accept Epstein's binding 
recommendation regarding the sentence to be imposed, and understands that the failure to 
do so will be a breach of the agreement. 
In consideration of Epstein's agreement to plead guilty and to provide compensation 
in the manner described above, if Epstein successfully fulfills all of the terms and conditions 
of this agreement, the United States also agrees that it will not institute any criminal charges 
against any potential co-conspirators of Epstein, including but not limited to Sarah Kellen, 
Adriana Ross, Lesley Groff, or Nadia Marcinkova. Further, upon execution of this 
agreement and a plea agreement with the State Attorney's Office, the federal Grand Jury 
investigation will be suspended, and all pending federal Grand Jury subpoenas will be held 
in abeyance unless and until the defendant violates any term of this agreement The 
defendant likewise agrees to withdraw his pending motion to intervene and to quash certain 
grand jury subpoenas. Both parties agree to maintain their evidence, specifically evidence 
requested by or directly related to the grand jury subpoenas that have been issued, and 
including certain computer equipment, inviolate until all of the tams of this agreement have 
been satisfied. Upon the succeedsl completion of the terms of this agreement, all 
outstanding grand Jury subpoenas shall be deemed withdrawn. 
Page 5 of 7 
08-80736-CV-MARRA 
000730 
EFTA00230554
Page 62 / 277
Case 9:08-cv-80736-KAM Document 48-5 Entered on FLSD Docket 03/21/2011 Page 7 of 15 
By signing this agreement, Epstein asserts and certifies that each of these terms is 
material to this agreement and is supported by independent consideration and that a breach 
of any one of these conditions allows the United States to elect to terminate the agreement 
and to investigate and prosecute Epstein and any other individual or entity for any and all 
federal offenses. 
By signing this agreement, Epstein asserts and certifies that he is aware of the fact that 
the Sixth Amendment to the Constitution of the United States provides that in all criminal 
prosecutions the accused shall enjoy the right to a speedy and public trial. Epstein further 
is aware that Rule 48(b) of the Federal Rules of Criminal Procedure provides that the Court 
may dismiss an indictment, information, or complaint for unnecessary delay in presenting 
a charge to the Grand Jury, filing an information, or in bringing a defendant to vial. Epstein 
hereby requests that the United States Attorney for the SouthemDisnict of Florida defer such 
prosecution. Epstein agrees and consents that any delay from the date of this Agreement to 
the date of initiation of prosecution, as provided for in the terms expressed herein, shall be 
deemed to be a necessary delay at his own request, and he hereby waives any defense to such 
prosecution on the ground that such delay operated to deny him rights under Rule 48(b) of 
the Federal Rules of Criminal Procedure and the Sixth Amendment to the Constitution of the 
United States to a speedy trial or to bar the prosecution by reason of the running of the statute 
of limitations for a period of months equal to the period between the signing of this 
agreement and the breach of this agreement as to those offenses that were the subject of the 
grand jury's investigation. Epstein further asserts and certifies that he understands that the 
Fifth Amendment and Rule 7(a) of the Federal Rules of Criminal Procedure provide that all 
felonies must be charged in an indictment presented to a grand jury. Epstein hereby agrees 
and consents that, if a prosecution against him is instituted for any offense that was the 
subject of (ho grand jury's investigation, it may be by way of an Information signed and filed 
by the United States Attorney, and hereby waives his right to be indicted by a grand jury as 
to any such offense. 
/// 
//I 
/I/ 
Page 6 of 7 
08-80736-CV-MARRA 
000731 
EFTA00230555
Page 63 / 277
Case 9:08-cv-80736-KAM Document 48-5 Entered on FLSD Docket 03/21/2011 Page 8 of 15 
By signing this agreement, Epstein asserts and cextiftes that the above has been read 
and explained to him. Epstein hereby states that be understands the conditions of this Non-
Prosecution Agreement and agrees to comply with them. 
R. ALEXANDER ACOSTA 
UNITED STATES ATTORNEY 
Dated: 
 
By: 
Dated:  74/9
—
Dated: 
Dated: 
A. MARIE VILLAFARA 
ASSISTANT U.S. ATTORNEY 
GERALD LISPCOURT, ESQ. 
COUNSEL TO JEFFREY EPSTEIN 
LILLY ANN SANCHEZ, ESQ. 
ATTORNEY FOR JEFFREY EPSTEIN 
••• 
Page 7 of 7 
08-80736-CV-MARRA 
000732 
EFTA00230556
Page 64 / 277
1
Case 9:08-cv-80736-KAM Document 48-5 
Entered on FLED Docket 03/21/2011 Page 9 of 15 
By signing this agreement. Epstein asserts and certifies that the above has been read 
and explained to him. Epstein hereby states that he understands the conditions of this Non-
Prosecution Agreement and agrees to comply with them. 
R. ALEXANDER ACOSTA 
UNITED STATES ATTORNEY 
Dated: 
By: 
Dated: 
Dated:  712-410 
Dated: 
A. MARIE VILLAFARA 
ASSISTANT U.S. ATTORNEY 
LILLY ANN SANCHEZ, ESQ. 
ATTORNEY KM JEFFREY EPSTEIN 
Pago 7 of 7 
08-80736-CV-MARRA 
000733 
EFTA00230557
Page 65 / 277
I 
::10ili..✓i..:. 
I 
Case 9:08-cv-80736-KAM Document 48-5 Entered on FLSD Docket 03/21/2011 Page 10 of 
15 
By signing this agreement, Epstein asserts and certifies that the above has been read 
and explained to him. Epstein batty states that he understands the conditions of this Non-
Prosecution Agreement and agrees to comply with than. 
R. ALEXANDER ACOSTA 
UNITED STATES ATTORNEY 
Dated: 
 
BY: 
Dated: 
Dated:  
Gatothq-AH-0—
A. MARIE VILLAFARA 
ASSISTANTUS. ATTORNEY 
JEFFREY EPSTEIN 
GERALD LEPCOURT, ESQ. 
COUNSEL TO JEFFREY EPSTEIN 
ESQ. 
ATTORNEY FOR JEFFREY EPSTEIN 
Page 7 of 7 
08-80736-CV-MARRA 
000734 
EFTA00230558
Page 66 / 277
Case 9:08-cv-80736-KAM Document 48-5 
Entered on FLSD Docket 03/21/2011 Page 11 of 
15 
(N RE: 
INVESTIGATION OF 
JEFFREY EPSTEIN 
ADDENDUM TO THE NON•PROSECVTION AGREEMENT 
I7 APPEARING that the parties seek to clarify certain provisions of page 4, paragraph 7 
of the Non-Prosecution Agreement (hereinafter "paragraph 7"), that agreement is modified as 
Ibliows: 
1A. 
The United Stated has the right to assign to an Independent third-party the responsibility 
for consuhing with and, subject to the good faith approval of Epstein's counsel, selecting 
the attorney representative for the individuals identified under the Agreanent If the 
United Suites elects to assign this responsibility to an independent third-parry, both the 
United States and Epstein retain the right to take good faith objections to the attorney 
representative suggested by the independent third-party prior to the final designation of 
the attorney representative. 
70. 
The parties will jointly prepare a short written submission to the independent third-party 
regarding the role of the attorney representative and regarding Eparrin's Agreement to 
pay such attorney representative his or her regular customary hourly rate for representing 
such victims subject to the provisions of paragraph C, infra. 
7C. 
Pursuant to additional paragraph 7A, Epstein has agreed to pay the fees of the attorney 
representative selected by the independent third party. This provision, however, shall not 
obligate Epstein to pay the-fees and costs of contested litigation filed against him. Thus, 
if after consideration of potential settlements, an attorney representative elects to file a 
contested lawsuit pursuant to 1$ U.S.C. a 2255 or elects to pursue any other contested 
remedy, the paragraph 7 obligation of the Agreement to pay the costs of the attorney 
representative, as opposed to any statutory a other obligations to pay reasonable 
attorneys fees and costs such as those contained in s 2255 to bear the costs of the attorney 
representative, shall cease. 
08-80736-CV-MARRA 
000735 
EFTA00230559
Page 67 / 277
- 
Case 9:08-cv-80736-KAM Document 48-5 
Entered on FLSD Docket 03/21/2011 Page 12 of 
15 
By signing this Addenda Epstein asserts and Militia that the above has been read and 
explained to him. Epstein hereby, states that he understands the clarifications to the Non-
Prosecution Agreement and agrees to comply with them. 
IL ALEXANDER ACOSTA 
UNITED STATES ATTORNEY 
Dated: 
Dated: ih
rlq -
Dated: 
Detect 
By: 
A. MARIE VILLAPA$LA 
ASSISTANT U.S. ATTORNEY 
GERALD LEFCOURT, ESQ. 
COUNSEL TO JEFFREY EPSTEIN 
LILLY ANN SANCHEZ, ESQ. 
ATTORNEY FOR JEFFREY EPSTEIN 
08-80736-CV-MARRA 
EFTA00230560
Page 68 / 277
Case 9:08-cv-80736-KAM Document 48-5 Entered on FLSD Docket 03/21/2011 Page 13 of 
15 
By signing this Addendum, Epstein assats and certifies that the above has been rad and 
explained to him. Epstein hereby states that he understands the clarifications to the NMI-
Prosecution Alyeement and agrees to comply with them. 
It. ALEXANDER ACOSTA 
UNITED STATES ATTORNEY 
Dated: 
By: 
Dated: 
Dated: #0 
Dated: 
A. MARIE VILLAFARA 
ASSISTANT U.S. ATTORNEY 
IEFFREY EPSTEIN 
RALD LEFCOtiRT1 ESQ. 
COUNSEL TO NSF 
Y rpsnan 
LILLY ANN SANCHEZ, ESQ. 
ATTORNEY FOR JEFFREY EPSTEIN 
. 08-80736-CV-MARRA 
000737 
EFTA00230561
Page 69 / 277
i 
-
-
-
Case 9:08-cv-80736-KAM Document 48-5 Entered on FLSD Docket 03/21/2011 Page 14 of 
15 
By signing this Addendum, EpAzin assets and certISes that the above has been read and 
explained to him. Epstein hereby states that he understands the elarifi-nationi to the Nom 
Prosecution Agreement and agrees to comply with than. 
Dated: 
BY: 
Dated: 
Dated: 
Dated: ifrjfa 
Ft. ALEXANDER ACOSTA 
UN: TED STATES ATTORNEY 
A. MARIE VILLAFJA 
ASSISTANT' U.S. A ITORNEY 
JEFFREY EPSTEIN 
GERALD LEECOURT, ESQ. 
COUNSEL 713 JEFFREY EPSTELN 
LILLY 
ATTORNEY FOR JEFFREY EPSTEIN 
08-80736-CV-MARRA 
000738 
EFTA00230562
Page 70 / 277
• • ..... 
. 
Case 9:08-cv-80736-KAM Document 48-5 Entered on FLSD Docket 03/21/2011 Page 15 of 
15 
Doc-OT-or 
04:61n 
F rorf orI or 
to Isroott 
Attinoutoo 
30071t9t01 
?Olt P. 013/614 
F-171 
Lfetthly S. Epstein do Juni* ro-ofranz the Moo Prossoc.dan Astra:led and AM' S= to 
mot dozed October 30, 2007. 
08-80736-CV-MARRA 
000739 
EFTA00230563
Page 71 / 277
;•••••FitAti, 
• OMI 
Case 9:08-cv-80736-KAM Document 48-6 Entered on FLSD Docket 03/21/2011 Page 1 of 3 
JANE DOE #1 AND JANE DOE #2'S MOTION FOR FINDING OF VIOLATIONS OF THE 
CRIME VICTIMS' RIGHTS ACT AND REQUEST FOR A HEARING ON APPROPRIATE 
REMEDIES 
CASE NO: 08-80736-Ov-Marrii/Johnson 
EXHIBIT F 
08-80736-CV-MARRA 
000740 
EFTA00230564
Page 72 / 277
fr7ctiiat 
T. 
. 
07/09/2008 15:14 FAX 5018059846 
USA° 11PB C0TIFn 
%021 
Case 9:08-cv-80736-KAM Wument 48-6 Entered on FLSD Dile3/3C2,1/N11 Rasa?, of 3 
U.S. Departntant 01Justice 
Federal Bureau of Investigation 
FBI - West Palm 
Beath 
Suite sod 
505 South Flagler Drive 
West Palm Beach. FL 33401 
Phone: (581) 633-7517 
Far (551)833-797D 
January 10, 2008 
Re: Case Number.-
Deer C
This ease Is currently under Invosegation. This can be a lengthy process end we request your 
continued patience while we conduct a thorough Investigation. 
As a crime victim. you have the folowtng rights under 18 United Stew Code 4 3771: (1) The right to 
be reasonably protected from the accused: (2) The right to reasonable. accurate, and thytely notice of any 
pubic court proceeding, or any parole proceeding, Involving the crime or of any rttioaca or /scope of the 
accused; (3) The right not to be excluded from any such public court procastOng, unless the court, after 
receiving deer and convincing evidence, determines that testimony by de vicam would be matertally mired it 
the victim heard caw tesdmony al that proceeding; (4) The right to be reasonably Heard at any public 
proceeding M the district cost Involving release, plea. sentencing, or any parole crowding; (5) The 
reasonable dget to corder vdth the attorney (or the Government In the rase; (6) The right to full and timely 
restitution as provided In law; (7) The right to proceedings free from unreasonable delay; (0) The right to be 
Coated with fairness end with raged for the victim's Monty and privacy. 
We cell make ow best efforts to ensure you are accorded the rights easorfbed Most of those rights 
porain to events occurring after Za arrest or tract:nen% of an refnrIdual for the alma, and k wilt become the 
responsibility of the prosecuting United States Attorney's Utica to ensure you are ecwded those right'. You 
may also seek the advice of a private attorney with respect to these dohs. 
The Victim Notitcation System (VNS) is desired to provide you with direct infoonnon filefelft9 the 
case es a proceeds through the criminal Sista system. You may obtain Current Irdormalion about this matter 
on the Internet et WWW.NotifyliSLIOJ.QOV or from the Vt4S Call Calder at 1-866-DOJ-4YOU (1466485-
4968) (1DD/TTY: 1.866.2284619) (Intemeticnal: 1402-213-2767). In addidon. you may use me Call 
Center or Internet to Update your contact information and/or change your decision about polcipetlon in the 
neeticabonprogram. If you update your Information to Include a current anal' acteress, VNS wia send 
infontialion to that address. You wit need the Wowing Aden identification Number (vIN) '1941737' and -
Personal identtfloaken Number (PIN) 1550Yanytene you contact the Cot Center and Lie first time you log on to 
VNS on the Internet In add:lion, the tint time you scow the VN6 Internet sire, you wi:t Do prompted to enter 
your last name ;or business name) as currently container] in VNS. The name you should enter is a 
08-80736-CV-MARRA 
000741 
EFTA00230565
Page 73 / 277
... 
Wo3.51%.7:7n,,
07/09/2006 16:14 FAX 5818059846 
OSAO WPB COWRY 
II 027 
Case 9;08-cv-80736-KAM tument 48-6 Entered on FLSD DapeU33/2,1J2.011 Page..3.O 3 
IS yoa have additional questions which InvoNe this matter, please contact the office fisted above. When 
you caa, 011141613 provkie the file number located et the top or lilts letter. Plena rernambor, your participation 
in the notification part of this program is voluntary. In order to continue to receive notification. it is your 
responsibility to keep your cornett irforrnetor. current 
Si ncerely. 
IAA. 
St, 
,T,A3 
Tweet Smith 
%/clan Speoalist 
08-80736-CV-MARRA 
000742 
EFTA00230566
Page 74 / 277
---- 
.1 
en 
Case 9:08-cv-80736-KAM Document 48-7 Entered on FLSD Docket 03/21/2011 Page 1 of 3 
JANE DOE *I AND JANE DOE #2'S MOTION FOR FINDING OF VIOLATIONS OF THE 
CRIME VICTIMS' RIGHTS ACT AND REQUEST FOR A HEAPING ON APPROPRIATE 
REMEDIES 
CASE NO: 08.80736-CivMarra/Jobown 
EXHIBIT G 
08-80736-CV-MARRA 
000743 
EFTA00230567
Page 75 / 277
07/09/2008 15:15 PAI 8818059810 
MAO !PB COMB 
a 028 
Gase 9:08-cv-80736-KAM 
ument 48-7 Entered on FLSD Dilet9,324Ag.j1 Ppapgpf 3 
• 
US. Department of Justice 
Federal. Bureau of Investigeffon 
FBI - West Palm Beach 
State 500 
505 South Flintier Drive 
West Par Beach. FL. 33901 
Phone' (501) 833-7517 
Fax: (581) 833•7970 
.lanualy 10, 2008 
James Eisenberg 
Ons Cieaaake Carter Ste 7C4 Australian South 
West Pam Beach FL 32901 
Re aleallillr 
Dear James Eisenberg. 
You have requested to MONS notification* for an 
This case is currendy under Investigation. This can be 8 lengthy process and we request your 
continued patience whit we conduct a thorough Investigation. 
As a crime victim, you have the following rights wider 18 United States Codo § 3771: (1) The right to 
be reasonably protected from the eozuSed: (2) The right to reasonable, accurate. and trimly notice of any 
public coint'proceartIng, or any parole proceeding, learnt' the crime or of arty rid.ease or escape of the 
• 
accused: (3) The ngta not to be excluded from any such public court proceeding. union the coml. after - 
receiving c*ear and cornincmg evidence. determines that beetlmony by the Van) would be materially altered If 
the VIZOM heard other testimony et that proceeding: (4) The right to be ressonatoty heard at any public 
proceeding In the district cowl Irrirohring resew, plea, sentendng. Of any parole proceeding; (5) The 
reasonable right to confer with the attorney for the Government in the case; (6) The right to full and timely 
restitution as provided in low; (7) The right to proceedings free horn unreasonable delay: (8) The right to be 
treated with farness and with respect tor the victim's digntty and prvacy. 
We Mt make our best diode to ensure you are accorded the rigida described. Most of these rights 
pertain to events occurring after the weal or Indictment of an individual far the crime, and it will become the 
iszponstbillty of the proseculug Lathed States Attorney's Office to ensure you are accorded those rights. You 
may ebo seek the advice of a private attorney with respect to these rights. 
The Viam NotificaSSA System (VNS) is designed to provide you with direct Information regarding the 
Casa as taro:dads through the afrninal justice system. You may obtain cunt:ft Information about this matter 
on the Internet at WWW.Notily.USOCIJ.GOV or from the VNS Call Center et 1.888.004.4YOU (1.888-365-
4968) (TDO/TTY: 1.860-228.4619) prdarnationa: 1-502-213-2767). In addition, you may use the Cal 
Center or Internet to update your contact Infortraton and/or along, your deoblen about participation in the 
notification prognim. If you update your information to Inbude a current email edemas, VNS will send 
Information to that address. You Ma need Ins thawing Victim IdentiftcatIon Number (ViN) '1941741' and 
Personal Identliketton Number (PiN) 7760' anytime you contact the Can Center and the feat time you km on to 
VNS on the Internet. In *dation. the first time you access the VNS Internet sate, you war be prompted to enter 
your last name (or business name) as currently contained in VNS. The name you should enter is Eisenberg 
08-80736-CV-MARRA 
000744 
EFTA00230568
Page 76 / 277
07/09/2006 15:15 FAX 8618059846 
LIMO IFB COMM 
%029 
case 9;08-cy: 80736-KAM _Moment 48-7 Entered on FLSD Dillet9,3/21/2011 Pale of 3 
r. 
rat 
If you have additional questions width Involve INs matter, *rise canted the office Rated above. When 
you ca a. please provide the fto number bated at the top of this letter. Please remember, your parbdpaSon 
in the notification part of ells program iS voluntary. In Greer to continue to receive notthcatims. it is your 
iesponsiblfity la keep your contact Inirmetion current. 
Sricerely. 
j
); Lt. -&. :t 
T4nior Smith 
Victim Speciaket 
08-80736-CV-MARRA 
000745 
EFTA00230569
Page 77 / 277
Case 9:08-cv-80736-KAM Document 48-8 Entered on FLSD Docket 03/21/2011 Page 1 of 3 
JANE DOE ID AND JANE DOE NI'S MOTION FOR FINDING OF VIOLATIONS OF THE 
CAM VICTIMS' RIGHTS ACT AND REQUEST FOR A HEARING ON APPROPRIATE 
REMEDIES 
CASE NO: 08-80736•Cir•Marrallohown 
EXHIBIT H 
08-80736-CV-MARRA 
000746 
EFTA00230570
Page 78 / 277
I 
OVim..n 
Case 9:08-cv-80736-KAM Document 48-8 Entered on FLSD Docket 03/21/2011 Page 2 of 3 
4 FD-302 (Rao. 104-951 
-1-
FEDERAL BUREAU OF INVESTIGATION 
Da at trescni400 
02/08/2008
On Thursday, January 31, 2008, CS 
W..met with 
Assistant United States Attorney MARIE VILLAFANA, UNITED STATES 
ATTORNEY'S OFFICE (USAO) and Attorney MYESHA K. BRADEN, UNITED 
STATES DEPARTMENT OF JUSTICE(DOJ), CRIMINAL DIVISION. Also present 
at the meeting were Special Agents E. NESBITT KUYRKENDALL and JASON 
R. RICHARDS, FEDERAL BUREAU OF INVESTIGATION. The meeting was 
arranged pursuant to a federal investigation regarding the sexual 
exploitation of minors. During the course of the meeting, 
provided the following additional or clarifying information not 
previously documented in earlier FD-302s: 
JEFFREY EPSTEIN and his assistants, SARAH and 
-(identified 
as SARAH KELLEN and allaa) 
would 
contact WINIkto set up a pointments for EPSTEIN's massages. 
According to way, 
would call and say that EPSTEIN was on 
a flight and inquire about scheduling work for Millise 
Life was not going well for Wile during the time she was 
providing EPSTEIN with massages. Wawa° buying and taking drugs, 
i.e. Xanax, Lorcets, and Percosets. Wee said that she stayed on 
pills. Weill'explained that she wanted to feel numb. Wiestopped 
attending school at age fifteen. Her parents were addicted to 
crack and cocaine. Prior to her parent's drug use, MIRwas in the 
band, a cheerleader, and a straight "A" student. We played the 
trumpet for the school band. When her parent's drug habits got 
bad, things went downhill, they lost everything. 
wins became a dancer the day before her sixteenth 
birthday at
 
she worked there for six months, 
up suntil the employer found out she was underage. Later, a 
worked for 
which she did for 6 months. We stopped 
seeing EPSTEIN during that time. 
willOstated that she brought up to twenty, twenty-five, 
or thirty different girls. t 
said all of the girls but maybe 
ten of them were underage. Some of the females WINERbrought for 
EPSTEIN were dancers. WIIMMIsaid that EPSTEIN did not care for all 
of the girls she brought to him. Weleexplained that EPSTEIN did 
not care for some of the dancers, the older females, and the 
females with tattoos. 
itrillija100 
on 
01/31/2008 
at West Palm Beach, Florida 
Fat 31E-MN-108062 
SA E. Nesbitt Kuyrkendall 
b) 
SA Jason R. Richards 
Date dimmed 
01/31/2008
This document copulas smith= ICCOOlintailiOnt not conch:wont of the FBL It it the propcm of the FBI and is loaned m you agmcy. 
it and in; contenu are not to be distributed outside your agency 
08-80736-CV-MARRA 
000747 
EFTA00230571
Page 79 / 277
Case 9:08-cv-80736-KAM Document 48-8 
Entered on FLSD Docket 0 3/21/2011 Page 3 of 3
F>30.2. (Rn 1O4-9S) 
31E-MM-100062 
Cootinuatioo o(PD-3O2 of 
.0. :11/24 1/2006  .hgc  2
S 
said that during the massages EPSTEIN4 would push 
further and further regarding the sexual activity. 
According to 
WAIF EPSTEIN never asked, "is this okay," he would just see how 
far one would let him go. 
WIIP 
of pictures of 
neurologist. 
Willi also stated that KELLEN ,has twin, boys .
recalled seeing sculptures of 
kids in the library. 
naked Women and lots 
stated that everybody thought Epsteirt 
SI 
was a 
08-80736-CV-MARRA 
000748' 
EFTA00230572
Page 80 / 277
Case 9:08-cv-80736-KAM Document 48-9 Entered on FLSD Docket 03/21/2011 Page 1 of 3 
JANE DOE #1 AND JANE DOE #2'S MOTION FOR FINDING OF VIOLATIONS OF THE 
CRIME VICTIMS' RIGHTS ACT AND REQUEST FOR A REARING ON APPROPRIATE 
REMEDIES 
CASE NO: 08-80736-Civ-Ma r r a /J0 h ii son 
EXHIBIT I 
08-80736-CV-MARRA 
000749 
EFTA00230573
Pages 61–80 / 277