From:
```
```markdown
SDNY_00015073
Page 1604
```
Page 065
EFTA00138329
Fwd: Client Jeffrey Epstein
From
Date
Subject:
2019/08/06 15:25
Attachments:
Fwd: Client Jeffrey Epstein
TEXT.htm
```markdown
SDNY_00015074
Page 1607
```
EFTA00138330
Good afternoon all,
Below please find complaints from Epstein's attorneys. Can you check to see if he has toilet paper and that his CPAP is plugged in?
I am less concerned regarding his complaint of having had two calls, but they were on unmonitored lines, so there is no recording of them. Is his phone account set up so he can get a call on the ITS when 30 days has elapsed?
Thank you,
```markdown
Supervisory Staff Attorney
CLC New York
Metropolitan Correctional Center
150 Park Row
New York, New York 10007
p:
f:
Our client, Jeffrey Epstein, has informed us that he has no toilet paper in his cell. His CPap machine was not plugged in last night, so he was unable to use it.
Also, since his arrival at MCC, he has only been able to make two fifteen minute phone calls. Both times, the calls were on speaker phone, with officers present.
Thank you in advance for your help.
Best,
| Mariel Colon Miro, Esq. |
| Law Offices of Michael Lambert |
| 369 Lexington Ave. 2 floor PMB#229 |
| New York, NY 10016 |
| (917) 743-7071 |
NOTICE: This message may contain information that is privileged or confidential. If you receive this transmission in error, please notify the sender by reply e-mail and delete the message and any attachments.
```markdown
SDNY_00015075
Page 1608
```
EFTA00138331
Sent from my Verizon, Samsung Galaxy smartphone
Sent from my Verizon, Samsung Galaxy smartphone
Dear Judge Berman,
I will be happy to do so. Please let me know if I can be of further assistance.
please thank the Warden for his prompt response to my letter.
EFTA00138332
Good afternoon,
Attached please find Warden N'Diaye's response to Your Honor's inquiry. Please let us know if you need further information.
Please see attached letter from Judge Richard M. Berman.
(See attached file: Aug 12 letter.pdf) (See attached file: 2019_08_12_14_31_06.pdf)
<2019_08_12_14_31_06.pdf>
```markdown
SDNY_00015077
Page 1613
```
EFTA00138333
From
```markdown
To
```
**Subject:** Re: Epstein Update
Attachments: TEXT.htm
Can you call when you break free for a moment. Thanks.
```markdown
7/24/2019 10:56 AM >>>
```
Inmate Epstein #76318-054 was removed from Suicide Watch and stepped down to Psychological Observation. He was just escorted to Health Services for a follow-up assessment/evaluation. Once completed, he will be escorted to Attorney Conference to meet with his Attorney.
He has a pending incident report for Self-Mutilation and therefore, he will return to the Special Housing Unit (SHU) and will be celled with inmate Sayoc, Cesar, Register No. 17781-104. Inmate Sayoc Cesar Sayoc pleaded guilty in March to mailing improvised explosive devices to 13 people, including many prominent Democratic figures, among them former President Barack Obama, former Vice President Joe Biden, former Secretary of State Hillary Clinton and Sens. Cory Booker (N.J.) and Kamala D. Harris (Calif.), as well as CNN. He drove around in a van festooned with political stickers and rants, one of them targeting CNN. His case has been highly publicized and he is in SHU because he requested Protective Custody.
Regional Director
Northeast Region
```markdown
SDNY_00015078
Page 1616
```
EFTA00138334
Epstein, Jeffrey Edward, Reg. No. 76318-054
From
```markdown
To
```
Date
2019/07/18 15:02
Subject:
Epstein, Jeffrey Edward, Reg. No. 76318-054
Attachments:
TEXT.htm,
FYI...Epstein was not granted bail. He returned from court wo incident.
Associate Warden (O)
FCI Estill
100 Prison Road
Estill, SC 29918
```markdown
SDNY_00015079
Page 1620
```
EFTA00138335
Subject: Jeffrey Epstein litigation hold
Attachments: TEXT.htm, Mime.822
I’m emailing to let you know that we in our Office are initiating a litigation hold relating to Jeffrey Epstein’s death, likely extending to records pertaining to our investigation and prosecution of him. Our hold will cover only our Office and its employees. You may well have done this already, but if you haven’t, I encourage you to get a hold instituted ASAP over at MCC and BOP.
My understanding is that representatives of Mr. Epstein and/or his family already sent us a request that we preserve records, although I haven’t seen it.
Thanks, and let me know if you’d like to discuss.
Deputy Chief, Civil Division
U.S. Attorney’s Office, S.D.N.Y.
New York, NY 10007
```markdown
SDNY_00015080
Page 1627
```
Page 072
EFTA00138336
I'm emailing to let you know that we in our Office are initiating a litigation hold relating to Jeffrey Epstein’s death, likely extending to records pertaining to our investigation and prosecution of him. Our hold will cover only our Office and its employees. You may well have done this already, but if you haven’t, I encourage you to get a hold instituted ASAP over at MCC and BOP.
My understanding is that representatives of Mr. Epstein and/or his family already sent us a request that we preserve records, although I haven’t seen it.
Thanks, and let me know if you’d like to discuss.
Deputy Chief, Civil Division
U.S. Attorney’s Office, S.D.N.Y.
New York, NY 10007
```markdown
SDNY_00015081
```
Page 073
EFTA00138337
Re: Fwd: Client Jeffrey Epstein
From
To
**Subject:** Re: Fwd: Client Jeffrey Epstein
**Attachments:** TEXT.htm
I addressed the phone calls with Lt. . You may want to check in with him regarding that issue.
Chief Psychologist
U. S. Department of Justice/
Federal Bureau of Prisons
Metropolitan Correctional Center
150 Park Row
Good afternoon all,
Below please find concerns raised by Epstein's attorneys with legal visiting. To summarize, they are requesting:
1) greater access for Epstein using the bathroom during legal visits;
2) the 2 social calls he was allegedly promised; and
3) the ability to eat his lunch meal in attorney conference.
Please review and advise so that I can respond. Thank you.
Supervisory Staff Attorney
CLC New York
Metropolitan Correctional Center
150 Park Row
```markdown
New York, New York 10007
```
```markdown
SDNY_00Q15082
```
Page 1633
EFTA00138338
I tried calling you earlier. My client, Jettrey Epstein (76318-054) informed me that he had a meeting last Friday with Dr. , Lieutenant and Mr. , where Mr. told our client that he would be allowed to use the bathroom once every hour on the third floor when meeting his attorneys. Yesterday, Officer told my client and I that he would not be allowed to use the bathroom unless a Liutenant could come or unless he sees a memo from Liutenant or Mr. allowing the staff to allow our client to use the bathroom. Can Mr. or anyone else make this memo available?
Our client also informed us that in that meeting he was told that he was going to have 2 phone calls. So far, no phone calls.
Also, can he be allowed to eat in the client attorney room? He spends all of the day meeting with his legal team and an officer told him that if he wanted to eat, he would have to go back to 9south and then he would not be allowed back downstairs. So for the last few days, he’s been eating snacks from the vending machines and no proper meal.
Thank you in advance for your help.
Sincerely,
| Mariel Colon Miro, Esq. |
| Law Offices of Michael Lambert |
| 369 Lexington Ave. 2 floor PMB#229 |
| New York, NY 10016 |
| (917) 743-7071 |
NOTICE: This message may contain information that is privileged or confidential. If you receive this transmission in error, please notify the sender by reply e-mail and delete the message and any attachments.
```markdown
SDNY_00015083
Page 1634
```
EFTA00138339
From
To
| Date | 2019/07/22 14:46 |
| Subject: | Re: Fwd: Client Jeffrey Epstein |
| Attachments: | TEXT.htm |
## Thanks!
I addressed the phone calls with Lt. . You may want to check in with him regarding that issue.
Chief Psychologist
U.S. Department of Justice/
Federal Bureau of Prisons
Metropolitan Correctional Center
150 Park Row
New York, New York 10007
Office:
Fax:
E-mail:
Below please find concerns raised by Epstein's attorneys with legal visiting. To summarize, they are requesting:
1) greater access for Epstein using the bathroom during legal visits;
2) the 2 social calls he was allegedly promised; and
3) the ability to eat his lunch meal in attorney conference.
Please review and advise so that I can respond. Thank you.
```markdown
Supervisory Staff Attorney
CLC New York
Metropolitan Correctional Center
150 Park Row
New York, New York 10007
p:
f:
```markdown
SDNY_00015084
Page 1638
```
EFTA00138340
```markdown
>>> Mariel Colon
7/22/2019 12:34 PM >><>
Good morning Mr.
```
I tried calling you earlier. My client, Jeffrey Epstein (76318-054) informed me that he had a meeting last Friday with Dr. , Lieutenant and Mr. where Mr. told our client that he would be allowed to use the bathroom once every hour on the third floor when meeting his attorneys. Yesterday, Officer told my client and I that he would not be allowed to use the bathroom unless a Liutenant could come or unless he sees a memo from Liutenant or Mr. allowing the staff to allow our client to use the bathroom. Can Mr. or anyone else make this memo available?
Our client also informed us that in that meeting he was told that he was going to have 2 phone calls. So far, no phone calls.
Also, can he be allowed to eat in the client attorney room? He spends all of the day meeting with his legal team and an officer told him that if he wanted to eat, he would have to go back to 9south and then he would not be allowed back downstairs. So for the last few days, he’s been eating snacks from the vending machines and no proper meal.
Thank you in advance for your help.
Sincerely,
| Mariel Colon Miro, Esq. |
| Law Offices of Michael Lambert |
| 369 Lexington Ave. 2 floor PMB#229 |
| New York, NY 10016 |
| (917) 743-7071 |
NOTICE: This message may contain information that is privileged or confidential. If you receive this transmission in error, please notify the sender by reply e-mail and delete the message and any attachments.
```markdown
SDNY_00015085
Page 1639
```
EFTA00138341
| Date | 2019/08/12 07:15 |
| Subject: | Fwd: RE: United States v. Jeffrey Epstein |
| Attachments: | TEXT.htm |
Good morning,
Please see the below request for preservation and production of various documents, videos, and other information. Please preserve the material requested below to prevent deletion. We will advise that they need to request production of the requested documentation through FOIA.
Thank you,
Supervisory Staff Attorney
CLC New York
Metropolitan Correctional Center
150 Park Row
New York, New York 10007
```markdown
> 8/11/2019 3:56 PM > > >
```
Mr. , Mr. Epstein's family has asked me to send to you and at the MCC a request for the preservation of any and all documents, records, reports, videos, pictures, physical evidence, electronic communication data, tape recordings, logs, notes, papers, emails and any and all other forms of information that would be in the possession of the MCC, its Warden, their legal counsel, the USMS, the FBI, the Inspector General, the USAO for the SDNY or any other federal or relevant state or city agency that relate to Jeffrey Epstein's imprisonment/detention since July 6, 2019 and that relate particularly but not exclusively to the July 23, 2019 occurrence which was investigated as an attempted suicide by the MCC and the events relating to his death on August 10, 2019. The request encompasses but is not limited to any videos of the 9th floor area in the proximity of his cell during the evening of August 9 through the time Mr. Epstein was taken out of his cell for the last time on August 10, 2019, or videos of the cell itself during that time period, records of the identities of (i.e. MCC employees or independent contractors or anyone else) who were on duty from midnight through 8 AM on August 10, 2019 or otherwise had access to the 9th floor unit where Mr. Epstein was incarcerated during this time period, records of any observations of Mr. Epstein on August 9-10, 2019, any and all photographs of Mr. Epstein or his cell taken on August 10, 2019, any and all electronic or tape recordings or records of any internal communications within the MCC or any external communications by MCC staff on August 9 and August 10, 2019, records of any mental health interviews or assessements of Mr. Epstein at anytime during his detention, records of any decision to put him on or take Mr Epstein off his site.
Page 1643
EFTA00138342
watch, photos of his cell taken on or before August 9 or on or after August 10, 2019, memoranda of interviews with any prisoners who were in Mr. Epstein's SHU unit on the 9th floor on or about July 23 or on August 9-10, 2019 relating to Mr. Epstein, the same request for interview memoranda of any MCC employee or independent contractor or any other person in the MCC midnight-8 AM August 10, 2019, any and all medical and EMS and hospital records from July 23 and/or August 10, 2019, and the future pathology and toxicology and medical examiner's reports. Additionally, we would request the preservation of any note or notes found in Mr. Epstein's cell on August 10, 2019, any ligature or other physical evidence related to his cause of death, any bedding, any medication or vitamins, any log showing who entered or were present in the MCC for the 12 hour period before 6:30 AM on August 10, 2019, as well as a list of inmates who were in Mr. Epstein's unit during the evening of August 9 and the morning of August 10, 2019. We would in addition to the preservation request ask for the production of all of the above. We would receive and retain in subject any information received in response to this request subject to the terms and conditions of our Protective Order. In short, the family requests a preservation and production of any and all records and documents relevant to his detention, treatment, and death. I will send an identical request to Mr (as well as to Mark Epstein's personal counsel)
Thank you for your consideration of these requests and your ongoing assistance Martin Weinberg
```markdown
Martin G. Weinberg, Esq.
20 Park Plaza
Suite 1000
Boston, MA 02116
(617) 227-3700 - Office
(617) 901-3472 - Cell
```
```markdown
Martin G. Weinberg, Esq.
20 Park Plaza
Suite 1000
Boston, MA 02116
(617) 227-3700 - Office
(617) 901-3472 - Cell
```
This Electronic Message contains information from the Law Office of Martin G. Weinberg, P.C., and may be privileged. The information is intended for the use of the addressee only. If you are not the addressee, please note that any disclosure, copying, distribution, or use of the contents of this message is prohibited.
Good afternoon,
```markdown
SDNY_00015087
Page 1644
```
EFTA00138343
Enclosed please find official notification from Warden N'Diaye regarding Mr. Epstein's passing. As the investigation is ongoing, we have no further details at this time. We will continue to keep you updated as more information is available.
Thank you,
```markdown
SDNY_00015088
Page 1645
```
EFTA00138344
| Date | 2019/08/12 07:15 |
| Subject: | Fwd: RE: United States v. Jeffrey Epstein |
| Attachments: | TEXT.htm |
Good morning,
Please see the below request for preservation and production of various documents, videos, and other information. Please preserve the material requested below to prevent deletion. We will advise that they need to request production of the requested documentation through FOIA.
Thank you,
Supervisory Staff Attorney
CLC New York
Metropolitan Correctional Center
150 Park Row
New York, New York 10007
```markdown
>>>" Martin G. Weinberg" < > 8/11/2019 3:56 PM >>>>
```
Mr. , Mr. Epstein's family has asked me to send to you and at the MCC a request for the preservation of any and all documents, records, reports, videos, pictures, physical evidence, electronic communication data, tape recordings, logs, notes, papers, emails and any and all other forms of information that would be in the possession of the MCC, its Warden, their legal counsel, the USMS, the FBI, the Inspector General, the USAO for the SDNY or any other federal or relevant state or city agency that relate to Jeffrey Epstein's imprisonment/detention since July 6, 2019 and that relate particularly but not exclusively to the July 23, 2019 occurrence which was investigated as an attempted suicide by the MCC and the events relating to his death on August 10, 2019. The request encompasses but is not limited to any videos of the 9th floor area in the proximity of his cell during the evening of August 9 through the time Mr. Epstein was taken out of his cell for the last time on August 10, 2019, or videos of the cell itself during that time period, records of the identities of (i.e. MCC employees or independent contractors or anyone else) who were on duty from midnight through 8 AM on August 10, 2019 or otherwise had access to the 9th floor unit where Mr. Epstein was incarcerated during this time period, records of any observations of Mr. Epstein on August 9-10, 2019, any and all photographs of Mr. Epstein or his cell taken on August 10, 2019, any and all electronic or tape recordings or records of any internal communications within the MCC or any external communications by MCC staff on August 9 and August 10, 2019, records of any mental health interviews or assessements of Mr. Epstein at anytime during his detention, records of any decision to put him on or take Mr Epstein offside.
Page 1651
EFTA00138345
watch, photos of his cell taken on or before August 9 or on or after August 10, 2019, memoranda of interviews with any prisoners who were in Mr. Epstein's SHU unit on the 9th floor on or about July 23 or on August 9-10, 2019 relating to Mr. Epstein, the same request for interview memoranda of any MCC employee or independent contractor or any other person in the MCC midnight-8 AM August 10, 2019, any and all medical and EMS and hospital records from July 23 and/or August 10, 2019, and the future pathology and toxicology and medical examiner's reports. Additionally, we would request the preservation of any note or notes found in Mr. Epstein's cell on August 10, 2019, any ligature or other physical evidence related to his cause of death, any bedding, any medication or vitamins, any log showing who entered or were present in the MCC for the 12 hour period before 6:30 AM on August 10, 2019, as well as a list of inmates who were in Mr. Epstein's unit during the evening of August 9 and the morning of August 10, 2019. We would in addition to the preservation request ask for the production of all of the above. We would receive and retain in subject any information received in response to this request subject to the terms and conditions of our Protective Order. In short, the family requests a preservation and production of any and all records and documents relevant to his detention, treatment, and death. I will send an identical request to Mr (as well as to Mark Epstein's personal counsel
Thank you for your consideration of these requests and your ongoing assistance Martin Weinberg
```markdown
Martin G. Weinberg, Esq.
20 Park Plaza
Suite 1000
Boston, MA 02116
(617) 227-3700 - Office
(617) 901-3472 - Cell
```
```markdown
Martin G. Weinberg, Esq.
20 Park Plaza
Suite 1000
Boston, MA 02116
(617) 227-3700 - Office
(617) 901-3472 - Cell
```
This Electronic Message contains information from the Law Office of Martin G. Weinberg, P.C., and may be privileged. The information is intended for the use of the addressee only. If you are not the addressee, please note that any disclosure, copying, distribution, or use of the contents of this message is prohibited.
Subject: United States v. Jeffrey Epstein
Good afternoon,
```markdown
SDNY_00015090
Page 1652
```
EFTA00138346
Enclosed please find official notification from Warden N'Diaye regarding Mr. Epstein's passing. As the investigation is ongoing, we have no further details at this time. We will continue to keep you updated as more information is available.
Thank you,
Metropolitan Correctional Center
New York, New York 10007
```markdown
SDNY_00015091
Page 1653
```
EFTA00138347
| RE: United States v. Jeffrey Epstein |
| From | "Martin G. Weinberg" |
```markdown
To
```
| Date | 2019/08/11 15:57 |
| Subject: | RE: United States v. Jeffrey Epstein |
| Attachments: | TEXT.htm, Mime.822 |
Mr. Epstein's family has asked me to send to you and at the MCC a request for the preservation of any and all documents, records, reports, videos, pictures, physical evidence, electronic communication data, tape recordings, logs, notes, papers, emails and any and all other forms of information that would be in the possession of the MCC, its Warden, their legal counsel, the USMS, the FBI, the Inspector General, the USAO for the SDNY or any other federal or relevant state or city agency that relate to Jeffrey Epstein's imprisonment/detention since July 6, 2019 and that relate particularly but not exclusively to the July 23, 2019 occurrence which was investigated as an attempted suicide by the MCC and the events relating to his death on August 10, 2019. The request encompasses but is not limited to any videos of the 9th floor area in the proximity of his cell during the evening of August 9 through the time Mr. Epstein was taken out of his cell for the last time on August 10, 2019, or videos of the cell itself during that time period, records of the identities of (i.e. MCC employees or independent contractors or anyone else) who were on duty from midnight through 8 AM on August 10, 2019 or otherwise had access to the 9th floor unit where Mr. Epstein was incarcerated during this time period, records of any observations of Mr. Epstein on August 9-10, 2019, any and all photographs of Mr. Epstein or his cell taken on August 10, 2019, any and all electronic or tape recordings or records of any internal communications within the MCC or any external communications by MCC staff on August 9 and August 10, 2019, records of any mental health interviews or assessments of Mr. Epstein at anytime during his detention, records of any decision to put him on or take Mr Epstein off suicide watch, photos of his cell taken on or before August 9 or on or after August 10, 2019, memoranda of interviews with any prisoners who were in Mr. Epstein's SHU unit on the 9th floor on or about July 23 or on August 9-10, 2019 relating to Mr. Epstein, the same request for interview memoranda of any MCC employee or independent contractor or any other person in the MCC midnight-8 AM August 10, 2019, any and all medical and EMS and hospital records from July 23 and/or August 10, 2019, and the future pathology and toxicology and medical examiner's reports. Additionally, we would request the preservation of any note or notes found in Mr. Epstein's cell on August 10, 2019, any ligature or other physical evidence related to his cause of death, any bedding, any medication or vitamins, any log showing who entered or were present in the MCC for the 12 hour period before 6:30 AM on August 10, 2019, as well as a list of inmates who were in Mr. Epstein's unit during the evening of August 9 and the morning of August 10, 2019. We would receive and retain in subject any information received in response to this request subject to the terms and conditions of our Protective Order. In short, the family requests a preservation and production of any and all records and documents relevant to his detention, treatment, and death. I will send an identical request to Mr. Epstein's
Thank you for your consideration of these requests and your ongoing assistance Martin Weinberg
```markdown
Martin G. Weinberg, Esq.
20 Park Plaza
Suite 1000
Boston, MA 02116
(617) 227-3700 - Office
```
```markdown
SDNY_00015092
Page 1659
```
EFTA00138348
(617) 901-3472 - Cell
```markdown
Martin G. Weinberg, Esq.
20 Park Plaza
Suite 1000
Boston, MA 02116
(617) 227-3700 - Office
(617) 901-3472 - Cell
```
This Electronic Message contains information from the Law Office of Martin G. Weinberg, P.C., and may be privileged. The information is intended for the use of the addressee only. If you are not the addressee, please note that any disclosure, copying, distribution, or use of the contents of this message is prohibited.
Good afternoon,
Enclosed please find official notification from Warden N'Diaye regarding Mr. Epstein's passing. As the investigation is ongoing, we have no further details at this time. We will continue to keep you updated as more information is available.
Thank you,
Supervisory Staff Attorney
CLC New York
Metropolitan Correctional Center
150 Park Row
New York, New York 10007
```markdown
SDNY_00015093
Page 1660
```
EFTA00138349
Mr. [Name], Mr. Epstein’s family has asked me to send to you and [Name] at the MCC a request for the preservation of any and all documents, records, reports, videos, pictures, physical evidence, electronic communication data, tape recordings, logs, notes, papers, emails and any and all other forms of information that would be in the possession of the MCC, its Warden, their legal counsel, the USMS, the FBI, the Inspector General, the USAO for the SDNY or any other federal or relevant state or city agency that relate to Jeffrey Epstein’s imprisonment/detention since July 6, 2019 and that relate particularly but not exclusively to the July 23, 2019 occurrence which was investigated as an attempted suicide by the MCC and the events relating to his death on August 10, 2019. The request encompasses but is not limited to any videos of the 9th floor area in the proximity of his cell during the evening of August 9 through the time Mr. Epstein was taken out of his cell for the last time on August 10, 2019, or videos of the cell itself during that time period, records of the identities of (i.e. MCC employees or independent contractors or anyone else) who were on duty from midnight through 8 AM on August 10, 2019 or otherwise had access to the 9th floor unit where Mr. Epstein was incarcerated during this time period, records of any observations of Mr. Epstein on August 9-10, 2019, any and all photographs of Mr. Epstein or his cell taken on August 10, 2019, any and all electronic or tape recordings or records of any internal communications within the MCC or any external communications by MCC staff on August 9 and August 10, 2019, records of any mental health interviews or assessments of Mr. Epstein at anytime during his detention, records of any decision to put him on or take Mr Epstein off suicide watch, photos of his cell taken on or before August 9 or on or after August 10, 2019, memoranda of interviews with any prisoners who were in Mr. Epstein’s SHU unit on the 9th floor on or about July 23 or on August 9-10, 2019 relating to Mr. Epstein, the same request for interview memoranda of any MCC employee or independent contractor or any other person in the MCC midnight-8 AM August 10, 2019, any and all medical and EMS and hospital records from July 23 and/or August 10, 2019, and the future pathology and toxicology and medical examiner’s reports. Additionally, we would request the preservation of any note or notes found in Mr. Epstein’s cell on August 10, 2019, any ligature or other physical evidence related to his cause of death, any bedding, any medication or vitamins, any log showing who entered or were present in the MCC for the 12 hour period before 6:30 AM on August 10, 2019, as well as a list of inmates who were in Mr. Epstein’s unit during the evening of August 9 and the morning of August 10, 2019. We would in addition to the preservation request ask for the production of all of the above. We would receive and retain in subject any information received in response to this request subject to the terms and conditions of our Protective Order. In short, the family requests a preservation and production of any and all records and documents relevant to his detention, treatment, and death. I will send an identical request to Mr. [Name] (as well as to Mark Epstein’s personal counsel)
Thank you for your consideration of these requests and your ongoing assistance Martin Weinberg
| Information |
| :--- |
| Martin G. Weinberg, Esq. |
| 20 Park Plaza |
| Suite 1000 |
| Boston, MA 02116 |
| (617) 227-3700 - Office |
| (617) 901-3472 - Cell |
| Information |
| :--- |
| Martin G. Weinberg, Esq. |
| 20 Park Plaza |
| Suite 1000 |
| Boston, MA 02116 |
| (617) 227-3700 - Office |
| (617) 901-3472 - Cell |
This Electronic Message contains information from the Law Office of Martin G. Weinberg, P.C., and may be privileged. The information is intended for the use of the addressee only. If you are not the addressee, please note that any disclosure, copying, distribution, or use of the contents of this message is prohibited. SDNY_00015094
EFTA00138350
Good afternoon,
Enclosed please find official notification from Warden N'Diaye regarding Mr. Epstein's passing. As the investigation is ongoing, we have no further details at this time. We will continue to keep you updated as more information is available.
Thank you,
Supervisory Staff Attorney
CLC New York
Metropolitan Correctional Center
150 Park Row
New York, New York 10007
```markdown
SDNY_00015095
```
EFTA00138351
Subject: Re: Epstein, Jeffrey, Register No. 76318-
Subject: 054
Attachments: TEXT.htm
I can get it for you.
Sent from my Verizon, Samsung Galaxy smartphone
Subject: Epstein, Jeffrey, Register No. 76318-054
- See below for possible media attention. Claims, prior to last night, he advised his attorneys that his cell mate was attempting to harass/harm/kill him. Institution Currently on suicide watch. Thanks.
Sent from my Verizon, Samsung Galaxy smartphone
If you need additional information, please let me know. Thanks
Synopsis: On July 23, 2019, at 1:27 a.m., staff responded to a call for assistance in the Special Housing Unit (SHU). Upon arrival, the Operations Lieutenant found inmate E 054, lying on the floor in a fetal position. The Lieutenant called out to the inmate; however, he did not respond and she noticed red marks on his neck. The inmate was pl
Medical Assessment: The inmate was medically assessed at 6:30 a.m., by the Physician Assistant and his findings were as follows:
He is ambulatory, oriented x 3. In no apparent distress, smiling during this clinical encounter. Alleges, that he does not know what happened. Cannot explain the marks on He does not want to talk of the events leading to the marks on his neck.
He does not look in any distress or pain.
Has a circular line of erythema at the base of the neck. Reaching 2/3 of the neck circumference, 2 inches wide, sparing the back of the neck. Has one section of this erythem. No inflammation, no deformities, no hematomas, no lacerations, no tenderness. Patient moving his neck without any restriction. Denies having any pain or discomfort. De Has another small erythema on left knee about 2cm in diameter (mild).
Psychologist Assessment: He was evaluated on today at 9:10 a.m, and it has been determined he will remain on Suicide Watch for further observation.
Current Status: At this time, we are reviewing his case for placement in the general population in Unit 7 South. We are currently looking for the appropriate cell mate.
```markdown
SDNY_00015096
Page 1667
```
EFTA00138352
Sent from my Verizon, Samsung Galaxy smartphone
Date: 7/23/19 11:46 AM (GMT-05:00)
To: Lamine N'Diaye <
Subject: Re: Epstein
Lamine - The memo is very confusing. Please draft an email of his actions and current status. Also include what plans were in motion to move him to a GP unit. It will need