Government of the United States Virgin Islands v. JPMorgan Chase Bank, N.A., No. 122-cv-10904 (S.D.N.Y. 2022)/031.pdf
usvi-v-jpmorgan Court Filing 2.4 MB • Feb 12, 2026
Case 1:22-cv-10904-JSR Document 31 Filed 01/25/23 Page 1 of 19
Case 1:22-cv-10904-JSR Document 28 Filed 01/20/23 Page 1 of 3
UNITED STATES DISTRICT COURT FOR THE
SOUTHERN DISTRICT OF NEW YORK
GOVERNMENT OF THE UNITED
STATES VIRGIN ISLANDS
PLAINTIFF,
V.
JPMORGAN CHASE BANK, N.A.
DEFENDANT.
)
)
)
)
)
)
)
)
)
)
Case Number: 1:22-cv-10904-JSR
MOTION FOR ISSUANCE OF LETTER OF REQUEST (LETTER ROGATORY)
NOW COMES, the Plaintiff, in the above referenced action, and moves for the Issuance of
a Letter of Request (Letter Rogatory) pursuant to F.R.C.P. 28 requesting an order requiring Miles
Alexander, located at 7 Harmonie Crescent, Paradise Beach, Jeffreys Bay 6330, South Africa, to
do the following:
(
a) Appear to have his remote deposition taken on a date to be agreed within 30 days of service
of the subpoena at a mutually convenient location in or near Jeffreys Bay; and
(b) Produce all Documents, Communications, and agreements related to his employment
by
Jeffrey Epstein, including:
1. Employment and severance agreements,
2. Non-disclosure agreements,
3. All payments, in any form, received from or on behalf of Jeffrey Epstein, and
4. All Communications with Jeffrey Epstein, Ghislaine Maxwell, Bella Klein, Daphne
Wallace, Harry Beller, Lesley Groff, Sarah Kellen a/ka Sarah Kensington a/k/a
Sarah Vickers, Erika Kellerhals, Richard D. Kahn, and/or Darren
K. Indyke.
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As
grounds
for
this
Motion,
the
Plaintiff
states
the
following:
1.
The
above
captioned
case
is
currently
pending
in
the
United
States
District
Court
for
the
Southern
District
of
New
York.
2.
Plaintiff
alleges
decedent
Jeffrey
E.
Epstein
("Epstein")
engaged
in
a criminal
sexual
trafficking
enterprise
in
the
United
States
Virgin
Islands,
wherein
he
used
his
vast
wealth
and
property
holdings
and
a deliberately
opaque
web
of
corporations
and
companies
to
transport
young
women
and
girls
to
his
privately
owned
islands
where
they
were
held
captive
and
subject
to
severe
and
extensive
sexual
abuse.
Plaintiff
further
alleges
that
Defendant
JPMorgan
Chase
Bank,
N.A.
and
its
affiliates
had
actual
or
constructive
knowledge
of
Epstein's
misconduct
but
nevertheless
violated
their
statutory
duties
to
report
suspicious
transactions
from
accounts
held
by
them.
3.
Upon
information
and
belief,
Miles
Alexander
was
employed
by
decedent
Epstein
as
the
house
manager
for
his
residence
on
Little
St.
James
from
approximately
1999
to
2007,
and,
as
such,
would
have
first-hand
knowledge
of
Epstein's
conduct
and
visitors
at Little
St.
James.
4.
In
order
to
prepare
the
case
for
trial,
Plaintiff
needs
to
the
take
the
deposition
of
Miles
Alexander.
WHEREFORE
Plaintiff
respectfully
requests
that
this
Honorable
Court
allow
this
Motion
and
issue
a Letter
of
Request
(Letter
Rogatory).
A proposed
Letter
of
Request
(Letter
Rogatory)
is attached
to
this
Motion
as
Exhibit
1.
Dated:
January
20,
2023
CAROL
THOMAS-JACOBS,
ESQ.
ACTING
ATTORNEY
GENERAL
ls/Linda
Singer
LINDA
SINGER
(NYS
Bar
#2473403)
2
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Admitted
Pro
Hae
Vice
Motley
Rice
LLC
401
9
th
Street
NW,
Suite
630
Washington,
DC
20004
Tel:
(202)
232-5504
lsinger@motleyrice.com
CAROL
THOMAS-JACOBS
(NYS
Bar
#2941300)
Admitted
Pro
Hae
Vice
Acting
Attorney General
of
the
United
States
Virgin
Islands
Virgin
Islands
Department
of
Justice
34-38
Kronprindsens
Gade
St.
Thomas,
U.S.
Virgin
Islands
00802
Tel.:
(340)
774-5666
ext.
10101
carol.jacobs@doj.vi.gov
DAVID
I.
ACKERMAN
(NYS
Bar
#4110839)
Motley
Rice
LLC
401
9
th
Street
NW,
Suite
630
Washington,
DC
20004
Tel:
(202)
849-4962
dackerman@motleyrice.com
PAIGE
BOGGS
Admitted
Pro
Hae
Vice
Motley
Rice
LLC
401
9
th
Street
NW,
Suite
630
Washington,
DC
20004
Tel:
(202)
386-9629
pboggs@motleyrice.com
CERTIFICATE
OF
SERVICE
I hereby
certify
that
on
January
20,
2023,
the
foregoing
Plaintiffs
Motion
for
Issuance
of
Letter
of
Request
(Letter
Rogatory)
was
filed
with
the
Clerk's
Office
using
the
CM/ECF
system.
Notice
of
this
filing
will
be
sent
to
all
parties
of
record
by
operation
of,
and
parties
may
access
this
filing
through,
the
Court's
CM/ECF
system.
ls/Linda
Singer
Linda
Singer
3
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EXHIBIT I
Case 1:22-cv-10904-JSR Document 31 Filed 01/25/23 Page 5 of 19
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LETTER
ROGATORY
TO:
Clerk
ofHumansdorp
Magistrate
Court
Humansdorp
Magistrate
Court
Du
Plessis
St.
Humansdorp
6300
South
Africa
RE:
Government
of
the
United
States
Virgin
Islands
v.
JPMorgan
Chase
Bank,
N.A.
In
the
United
States
District
Court
for
the
Southern
District
of
New
York
Civil
Action
No.
1:22-cv-10904-JSR
Dear
Sir/Madam:
The
above-captioned
civil
action
is
pending
before
the
undersigned
Judge
of
the
United
States
District
Court
for
the
Southern
District
of
New
York.
Plaintiff
in
the
action
seeks
to
obtain
the
deposition
of
Miles
Alexander
and
production
of
documents
in
his
possession.
Thank
you
for
your
courtesy
in
this
matter.
BY
THE
COURT
Dated:
/
k1h5
_
______,___,_/
~'-+'7
~-
--
Case 1:22-cv-10904-JSR Document 31 Filed 01/25/23 Page 6 of 19
Case 1:22-cv-10904-JSR Document 28-1 Filed 01/20/23 Page 3 of 5
UNITED STATES DISTRICT COURT FOR THE
SOUTHERN DISTRICT OF NEW
YORK
GOVERNMENT OF THE UNITED
STATES VIRGIN ISLANDS
PLAINTIFF,
V.
JPMORGAN CHASE BANK, N.A.
DEFENDANT.
)
)
)
)
)
)
)
)
)
)
Case Number: 1:22-cv-10904-JSR
ACTION FOR DAMAGES
JURY TRIAL DEMANDED
REQUEST FOR INTERNATIONAL JUDICIAL ASSISTANCE
(LETTERS ROGATORY)
The United States District Court for the Southern District of New York presents its
compliments to the Humansdorp Magistrate Court
of South Africa, and requests international
judicial assistance to obtain evidence to be used in a civil proceeding before this Court in the above
captioned matter.
This Court requests the assistance described herein
as necessary in the interests of justice.
The assistance requested
is that the appropriate judicial authority of South Africa compel the
appearance
of the below named individual to give evidence and produce documents.
The aforesaid mentioned individual:
Miles Alexander
Residing
at:
7 Harmonie Crescent, Paradise Beach, Jeffreys Bay 6330, South Africa
This Court requests Miles Alexander produce all Documents, Communications, and
agreements related to his employment by Jeffrey Epstein, including: employment and severance
1
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agreements;
non-disclosure
agreements;
all
payments,
in
any
form,
received
from
or
on
behalf
of
Jeffrey
E.
Epstein;
and
all
Communications
with
Jeffrey
E.
Epstein,
Ghislaine
Maxwell,
Bella
Klein,
Daphne
Wallace,
Harry
Beller,
Lesley
Groff,
Sarah
Kellen
a/ka
Sarah
Kensington
a/k/a
Sarah
Vickers,
Erika
Kellerhals,
Richard
D.
Kahn,
and/or
Darren
K.
Indyke.
FACTS
1.
The
above-captioned
case
is
currently
pending
in
the
United
States
District
Court
for
the
Southern
District
of
New
York.
2.
Plaintiff
alleges
decedent
Jeffrey
E.
Entities
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- Document ID
- 6c266ff3-2d2d-4770-a5dd-ffb12ed79768
- Storage Key
- court-records/usvi-v-jpmorgan/Government of the United States Virgin Islands v. JPMorgan Chase Bank, N.A., No. 122-cv-10904 (S.D.N.Y. 2022)/031.pdf
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- d2ed649f818268daec5be0e6ec77ffd7
- Created
- Feb 12, 2026