EFTA00725494.pdf
dataset_9 pdf 108.5 KB • Feb 3, 2026 • 2 pages
2-17-2010
AUSA
Etc
Dea
Thank you for your letter of February 11, 2010. We write to update you on
ongoing efforts to reach an agreement with Robert Josefsberg regarding the
amount of fees owed to him by Mr. Epstein pursuant to the NPA.
On February 16, 2010 Mr. Epstein's principal civil counsel Bob Critton
advised Mr. Josefsberg in writing that he and Mr. Epstein would meet with
him on two occasions between now and March 1 to review Mr. Josefsberg's
outstanding bills on a line by line basis and attempt to reach a non-
adversarial resolution of all outstanding fee issues. Mr. Critton also
transmitted to Mr. Josefsberg a Special Master Agreement, signed by Mr.
Epstein, containing terms and conditions previously agreed to by Mr.
Josefsberg, which would mandate binding mediation before a neutral third
party in the event the proposed settlement discussions did not resolve all
outstanding issues in an expeditious manner.
We want to assure you that Mr. Epstein fully intends to fulfill his
obligations under the NPA. We regret that issues remain unresolved
regarding whether all of the fees being sought by the attorney representative
- which now total $1,947,000 exclusive of the $526,466 already paid — meet
the criteria set forth by the NPA. We assure you that both his prior civil
counsel, Jay Lefkowitz, who, with you, was a primary negotiator of the NPA
language, and Mr. Critton each strongly believe that signficant amounts of
the fees billed by Mr. Josefsberg are outside the scope of Mr. Epstein's NPA
obligations. We hope that the fee-related issues can be resolved by further
settlement discussions or by relying on the Special Master Agreement signed
today by Mr. Epstein. Mr. Epstein and his counsel believe that each of these
options are consistent with the NPA, are good faith alternatives to contested
litigation, and are reasonable given the unexpected magnitude of the bills
and their inclusion of charges for legal work that was clearly related to the
preparation of litigation thus outside Par 7C of the Addendum.
Mr. Josefsberg previously advocated for settling outstanding issues
through a Special Master Agreement nearly identical to the one executed
EFTA00725494
today by Mr. Epstein. In fact, Mr. Jofesberg and Mr. Epstein had each
agreed in the past to a specific Master as a third party neutral to conduct
proceedings to resolve the fee issues however the selected Master withdrew.
We hope that this Agreement will provide a basis for a prompt resolution of
any issue not resolved by the parties through further discussions.
YT
RB
MGW
CC US Atty Jeffrey Sloman
CC AUSA Robert Senior
EFTA00725495
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