Datasets:
epstein-index / vision-joined /ds10-01 /4c7ff1169f1c549f7e1ffcc36622dc32e5c3c59baef6c897bfe798879409b57d.md
|
Download vision-joined/ds10-01/4c7ff1169f1c549f7e1ffcc36622dc32e5c3c59baef6c897bfe798879409b57d.md from robbd/epstein-index: direct link, hf CLI and curl.
- Browser
- Download file 15.9 kB
-
https://huggingface.co/datasets/robbd/epstein-index/resolve/851a2ef6f6d96dbaa20d0800a19b6cbc3c5a6b4d/vision-joined/ds10-01/4c7ff1169f1c549f7e1ffcc36622dc32e5c3c59baef6c897bfe798879409b57d.md
- Command line
-
hf download hf://datasets/robbd/epstein-index@851a2ef6f6d96dbaa20d0800a19b6cbc3c5a6b4d/vision-joined/ds10-01/4c7ff1169f1c549f7e1ffcc36622dc32e5c3c59baef6c897bfe798879409b57d.md
-
curl -L -o 4c7ff1169f1c549f7e1ffcc36622dc32e5c3c59baef6c897bfe798879409b57d.md https://huggingface.co/datasets/robbd/epstein-index/resolve/851a2ef6f6d96dbaa20d0800a19b6cbc3c5a6b4d/vision-joined/ds10-01/4c7ff1169f1c549f7e1ffcc36622dc32e5c3c59baef6c897bfe798879409b57d.md
15.9 kB
| UNITED STATES DISTRICT COURT | |
| SOUTHERN DISTRICT OF NEW YORK | |
| - - | |
| - - | |
| - X | |
| IN RE APPLICATION TO UNSEAL CIVIL | |
| DISCOVERY MATERIALS, | |
| : SEALED AFFIRMATION AND | |
| APPLICATION | |
| : | |
| USAO Reference No. 2018R01618. | |
| - | |
| : | |
| X | |
| pursuant to Title 28, United States | |
| Code, Section 1746, hereby declares under penalty of perjury: | |
| 1. I am an Assistant United States Attorney in the | |
| office of Geoffrey S. Berman, United | |
| States Attorney for the | |
| Southern District of New York. I make this Affirmation and | |
| Application, pursuant to the All Writs Act, Title 28, United | |
| States Code, Section 1651, for a limited order to unseal | |
| discovery | |
| materials in the possession of Boies Schiller & | |
| Flexner ILP, in connection with the matter of Jane Doe 43 v. | |
| Epstein, et al., 17 Civ. 616 (JGK) (SN) (S.D.N.Y.). As further | |
| discussed below, the materials are currently subject to a | |
| protective order issued by this Court. The Government seeks | |
| these materials in connection with a federal grand jury | |
| investigation. | |
| 2. | |
| On or about January 26, 2017, plaintiff Jane Doe | |
| 43 filed a civil action in this Court against defendants Jeffrey | |
| Epstein, | |
| Ghislaine | |
| SDNY_GM_00000906 | |
| CONFIDENTIAL | |
| EFTA_00114990 | |
| EFTA01263275 | |
| Maxwell, arising from allegations that the defendants | |
| participated in a conspiracy to traffic minors for commercial | |
| sex acts (the "Litigation"). Attorneys for Boies Schiller & | |
| Flexner LLP, among others, represent the plaintiff. On or about | |
| November 29, 2018, this Court issued a protective order (the | |
| "Protective Order") in that action. The Protective Order, | |
| attached hereto as Exhibit A, among other things restricted the | |
| parties from disclosing discovery materials marked | |
| "CONFIDENTIAL" to third parties, absent express permission from | |
| the Court. On or about December 20, 2018, the parties entered | |
| into a settlement agreement, and voluntarily dismissed the civil | |
| action. | |
| 3. I am one of the prosecutors in this district in | |
| charge of an ongoing investigation into JEFFREY EPSTEIN and | |
| others, for possible violations of Title 18, United States Code, | |
| Sections 1591 and 1594(c) (unlawfully trafficking minors) and | |
| Section 2422 (b) (unlawfully enticing minors) (the | |
| "Investigation"). The existence and scope of the Investigation | |
| in this district is not publicly known. As a result, premature | |
| public disclosure of this affirmation or the requested order, | |
| including | |
| to other parties involved in the Litigation, could | |
| alert potential criminal targets that they are under | |
| investigation, causing them to destroy evidence, flee from | |
| prosecution, | |
| otherwise seriously jeopardize the | |
| 2 | |
| CONFIDENTIAL | |
| SDNY_GM_00000907 | |
| EFTA_00114991 | |
| EFTA01263276 | |
| Investigation. Accordingly, this application is made ex parte | |
| and is requested to be filed under seal. | |
| 1. | |
| Based on publicly available information regarding | |
| the litigation, including the complaint and other docketed | |
| filings that appear to make reference to certain subjects | |
| relating to the Investigation, the litigation files of Sigrid | |
| McCawley, Esq., of Boies Schiller & Flexner LP, in the matter | |
| of Jane Doe 43 v. Jeffrey Epstein, et al., 17 Civ. 616 (JGK) (SN) | |
| (S.D.N.Y.) are believed to contain information relevant to the | |
| ongoing Investigation. | |
| 5. | |
| The Government has served a grand jury subpoena | |
| upon Boies Schiller | |
| & Flexner ILP (the "Subpoena") requiring the | |
| production of copies of discovery and related materials in the | |
| matter of Jane Doe 43 v. Jeffrey Epstein, et al., 17 Civ. 616 | |
| (JGK) (SN) (S.D.N.Y.), solely for purposes of the above- | |
| referenced grand jury Investigation. However, the Government | |
| has been advised that although plaintiff's counsel would not | |
| otherwise contest compliance with the Subpoena, plaintiff's | |
| counsel believes that the Protective Order precludes plaintiff's | |
| counsel from complying. | |
| 6. | |
| Accordingly, the Government respectfully requests | |
| that the Court issue an order permitting Boies Schiller & | |
| Flexner ILP to provide materials to the Government relating to | |
| case Jane Doe 43 v. Jeffrey Epstein, et al., 17 Civ. 616 | |
| 3 | |
| CONFIDENTIAL | |
| SDNY_GM_00000908 | |
| EFTA_00114992 | |
| EFTA01263277 | |
| (JGK) (SN) (S.D.N.Y.), in compliance with grand jury process, | |
| notwithstanding | |
| the Protective Order. Such materials will be | |
| used solely in connection with the above-referenced grand jury | |
| Investigation. | |
| 7. | |
| Because this application pertains to an ongoing | |
| grand jury investigation, the existence of which is not publicly | |
| known, it is requested that this Affidavit and Application, and | |
| any resulting Order except as to the recipients of such Order, | |
| be sealed pending further order of this Court. | |
| WHEREFORE, it is respectfully requested that the Court | |
| grant this Application for an Order permitting Boies Schiller | |
| Flexner LLP to comply with grand jury process to provide | |
| materials to the Government relating to case Jane Doe 43 v. | |
| Jeffrey Epstein, et al., 17 Civ. 616 (JGK) (SN) (S.D.N.Y.), | |
| notwithstanding | |
| the Protective Order. | |
| The foregoing is true under penalty of perjury. | |
| Assistant United States Attorney | |
| Tel. | |
| Dated: New York, New York | |
| February 5, 2019 | |
| 4 | |
| CONFIDENTIAL | |
| SDNY_GM_00000909 | |
| EFTA_00114993 | |
| EFTA01263278 | |
| Exhibit A | |
| CONFIDENTIAL | |
| SDNY_GM_00000910 | |
| EFTA_00114994 | |
| EFTA01263279 | |
| Case 1:17-Cv-00616-JGK-SN Document 177 Filed 11/29USDE SINof 6 | |
| DOCUMENT | |
| ELECTRONICALLY FILED | |
| DOC #: | |
| DATE FILED:_11/29/2018 | |
| United States District Court | |
| Southern Distriet Of New York | |
| Plaintiff, | |
| v. | |
| No. 17 Civ. 0616 (JGK) | |
| Jeffrey Epstein. Ghislaine Maxwell, | |
| Defendants. | |
| PROTECTIVE ORDER | |
| Upon a showing of good cause in support of the entry of a protective order to | |
| protect the discovery and dissemination of confidential information in this case, IT IS | |
| ORDERED: | |
| This Protective Order shall apply to all documents, materials, and information, | |
| including without limitation, documents produced, answers to interrogatories, | |
| responses to requests for admission, deposition testimony, and other | |
| information disclosed pursuant to the disclosure or discovery duties created by | |
| the Federal Rules of Civil Procedure. | |
| As used in this Protective Order, "document" is defined as provided in | |
| FED.R.CIV.P. 34(a). A draft or non-identical copy is a separate document | |
| within the meaning of this term. | |
| 1 | |
| CONFIDENTIAL | |
| SDNY_GM_00000911 | |
| EFTA_00114995 | |
| EFTA01263280 | |
| Case 1:17-cv-00616-JGK-SN Document 177 Filed 11/29/18 Page 2 of 6 | |
| Information designated "CONFIDENTIAL" shall be information whose public | |
| release would violate common law and statutory privacy interests, including | |
| information | |
| reflecting medical or psychological conditions, medical or | |
| psychological treatment, prescriptions for controlled substances, non-public | |
| personal financial information, sexual activity or sexual contact, education | |
| records, email addresses, telephone numbers, home addresses, social security | |
| numbers and similarly personally identifying information for parties and third- | |
| party witnesses, any information subject to N.Y. Civil Rights Law § 50 or 51, | |
| or any other information deemed private by a Court of competent jurisdiction | |
| to include the tort of publication of private facts. | |
| CONFIDENTIAL information shall not be disclosed or used for any purpose | |
| except the preparation and trial of this case. | |
| CONFIDENTIAL documents, materials, and/or information (collectively | |
| "CONFIDENTIAL INFORMATION") shall not, without the consent of the | |
| party producing it or further Order of the Court, be disclosed except that such | |
| information may be disclosed to: | |
| a. | |
| attorneys actively working on this case; | |
| b. persons regularly employed or associated with the attorneys actively | |
| working on this case whose assistance is required by said attorneys in the | |
| preparation for trial, at trial, or at other proceedings in this case; | |
| c. the parties; | |
| 2 | |
| CONFIDENTIAL | |
| SDNY_GM_00000912 | |
| EFTA_00114996 | |
| EFTA01263281 | |
| Case 1:17-cv-00616-JGK-SN Document 177 Filed 11/29/18 Page 3 of 6 | |
| 6. | |
| 7. | |
| d. expert witnesses and consultants retained in connection with this | |
| proceeding, to the extent such disclosure is necessary for preparation, trial | |
| or other proceedings in this case; | |
| e. the Court and its employees ("Court Personnel") in this case; | |
| f. stenographic reporters who are engaged in proceedings necessarily incident | |
| to the conduct of this action; | |
| g. deponents, witnesses, or potential witnesses; and | |
| h. other persons by written agreement of the parties. | |
| Prior to disclosing any CONFIDENTIAL INFORMATION to any person | |
| listed above (other than counsel, persons employed by counsel, Court | |
| Personnel and stenographic reporters), counsel shall provide such person with | |
| a copy of this Protective Order and obtain from such person a written | |
| acknowledgment stating that he or she has read this Protective Order and | |
| agrees to be bound by its provisions. | |
| All such acknowledgments shall be | |
| retained by counsel and shall be subject to in camera review by the Court if | |
| good cause for review is demonstrated by opposing counsel. | |
| Documents are designated as CONFIDENTIAL by placing or affixing on them | |
| (in a manner that will not interfere with their legibility) the following or other | |
| appropriate | |
| notice: | |
| "CONFIDENTIAL." Discovery material designated | |
| CONFIDENTIAL shall be identified by Bates number. To the extent practical, | |
| the respective legend shall be placed near the Bates number. | |
| 3 | |
| SDNY_GM_00000913 | |
| CONFIDENTIAL | |
| EFTA_00114997 | |
| EFTA01263282 | |
| Case 1:17-cv-00616-JGK-SN Document 177 Filed 11/29/18 Page 4 of 6 | |
| Only the person producing the CONFIDENTIAL INFORMATION or a person | |
| who has a right to have such producing party keep their information | |
| confidential, may designate it as "CONFIDENTIAL." Designation of a | |
| document | |
| CONFIDENTIAL INFORMATION shall constitute a | |
| representation that such document has been reviewed by an unrepresented | |
| person or an attorney for the designating party, that there is a valid and good | |
| faith basis for such designation, made at the time of disclosure or production to | |
| the receiving party, and that disclosure of such information to persons other | |
| than those permitted access to such material would cause a privacy harm to the | |
| designating party. | |
| Whenever a deposition involves the disclosure of CONFIDENTIAL | |
| INFORMATION, the deposition or portions thereof shall be designated as | |
| CONFIDENTIAL and shall be subject to the provisions of this Protective | |
| Order. Such designation shall be made on the record during the deposition | |
| whenever possible, but a party may designate portions of depositions as | |
| CONFIDENTIAL after transcription, provided written notice of the | |
| designation is promptly given to all counsel of record within thirty (30) days | |
| after notice by the court reporter of the completion of the transcript, and until | |
| the expiration of such thirty (30) days after notice by the court reporter of the | |
| completion of the transcript, no party or counsel for any such party may share | |
| the contents of the deposition outside the limitations of this Protective Order. | |
| 4 | |
| SDNY_GM_00000914 | |
| CONFIDENTIAL | |
| EFTA_00114998 | |
| EFTA01263283 | |
| Case 1:17-cv-00616-JGK-SN Document 177 Filed 11/29/18 Page 5 of 6 | |
| 10. | |
| 11. | |
| Whenever a party seeks to file any document or material containing | |
| CONFIDENTIAL INFORMATION with the Court in this matter, it shall be | |
| accompanied by a Motion to Seal pursuant to Section 6.2 of the Electronic | |
| Case Filing Rules & Instructions for the Southern District of New York. | |
| A party may object to the designation of particular CONFIDENTIAL | |
| INFORMATION by giving written notice to the party designating the disputed | |
| information. The written notice shall identify the information to which the | |
| objection is made. If the parties cannot resolve the objection within ten (10) | |
| business days after the time the notice is received, it shall be the obligation of | |
| the party designating the information as CONFIDENTIAL to file an | |
| appropriate motion requesting that the Court determine whether the disputed | |
| information should be subject to the terms of this Protective Order. If such a | |
| motion is timely filed, the disputed information shall be treated as | |
| CONFIDENTIAL under the terms of this Protective Order until the Court rules | |
| on the motion. If the designating party fails to file such a motion within the | |
| prescribed time, the disputed information shall lose its designation as | |
| CONFIDENTIAL and shall not thereafter be treated as CONFIDENTIAL in | |
| accordance with this Protective Order. In connection with a motion filed under | |
| this provision, the party designating the information as CONFIDENTIAL shall | |
| bear the burden of establishing that good cause exists for the disputed | |
| information to be treated as CONFIDENTIAL. | |
| 5 | |
| SDNY_GM_00000915 | |
| CONFIDENTIAL | |
| EFTA_00114999 | |
| EFTA01263284 | |
| Case 1:17-cv-00616-JGK-SN Document 177 Filed 11/29/18 Page 6 of 6 | |
| 12. At the conclusion of this case, unless other arrangements are agreed upon, each | |
| 13. | |
| 14. | |
| 15. | |
| document and all hard copies thereof which have been designated as | |
| CONFIDENTIAL shall be returned to the party that designated it | |
| CONFIDENTIAL, or the parties may elect to destroy CONFIDENTIAL hard- | |
| copy documents or electronic files. | |
| Where the parties agree to destroy | |
| CONFIDENTIAL hard copy documents and electronic files, the destroying | |
| party shall provide all parties with an affidavit confirming the destruction. As | |
| to all electronic non-file copies such as emails, the party in receipt of the | |
| CONFIDENTIAL document will submit an affidavit attesting that they will | |
| hold as CONFIDENTIAL all such electronic non-file copies and will not | |
| distribute the electronic copies absent an Order of a Court of competent | |
| jurisdiction. For purposes of this Protective Order, an Order of the Court does | |
| not include a subpoena. | |
| In the event that any party who has maintained possession of electronic copies | |
| of information designated CONFIDENTIAL by another person receives a | |
| subpoena for the affected materials, the party-in-possession shall respond that | |
| the materials are not disclosable absent an Order of the Court. | |
| This Protective Order shall have no force and effect on the use of any | |
| CONFIDENTIAL INFORMATION at trial in this matter. | |
| This Protective Order may be modified by the Court at any time for good cause | |
| shown following notice to all parties and an opportunity for them to be heard. | |
| SO ORDEROD. | |
| 6 | |
| 14292018 | |
| CONFIDENTIAL | |
| EFTA_00115000 | |
| EFTA01263285 | |
| UNITED STATES DISTRICT COURT | |
| SOUTHERN DISTRICT OF NEW YORK | |
| -----------X | |
| IN RE APPLICATION IO UNSEAL CIVIL : SEALED ORDER | |
| DISCOVERY MATERIALS, | |
| USAO | |
| Reference No. 2018R01618. | |
| : | |
| - - | |
| : | |
| ----- | |
| ---- | |
| - | |
| - - X | |
| Upon the annexed Affirmation and Application of the | |
| United States Attorney for the Southern District of New York, by | |
| Assistant United States Attorney | |
| • pursuant to | |
| the All Writs Act, Title 28, United States Code, Section 1651, | |
| requesting that an Order be issued relieving Boies Schiller & | |
| Flexner LLP of their obligations under the protective order | |
| issued on November 29, 2018 in case Jane Doe 43 v. Jeffrey | |
| Epstein, et al., 17 Civ. 616 (JGK) (SN) (S.D.N.Y.), for the | |
| limited and exclusive purpose of complying with grand jury | |
| process to provide materials to the Government in connection | |
| with a federal grand jury investigation: | |
| IT IS HEREBY ORDERED, that Boies Schiller & Flexner | |
| LLP is permitted to provide the Government with copies of | |
| materials generated, received, obtained, or otherwise possessed | |
| in connection with case Jane Doe 43 v. Jeffrey Epstein, et al., | |
| 17 Civ. 616 (JGK) (SN) (S.D.N.Y.), including discovery materials | |
| marked "CONFIDENTIAL" pursuant to the protective order dated | |
| November 29, 2018. Boies Schiller & Flexner LLP may provide | |
| SDNY_GM_00000917 | |
| CONFIDENTIAL | |
| EFTA_00115001 | |
| EFTA01263286 | |
| these materials to the Government notwithstanding their | |
| obligations under the November 29, 2018 protective order. | |
| IT IS FURTHER ORDERED that, with the exception of a | |
| copy of this Order to Boies Schiller & Flexner LLP and the clerk | |
| of the court for files and testimony subject to this order, this | |
| Order and the Affirmation and Application in support thereof are | |
| to be sealed pending further order of this Court. | |
| Dated: New York, New York | |
| February _, 2019 | |
| THE HONORABLE SARAH NETBURN | |
| UNITED STATES MAGISTRATE JUDGE | |
| SOUTHERN DISTRICT OF NEW YORK | |
| SDNY_GM_00000918 | |
| CONFIDENTIAL | |
| EFTA_00115002 | |
| EFTA01263287 |