063-02.pdf
ia-court-doe-no-4-v-epstein-no-9ː08-cv-80380-(sd-fla-2008) Court Filing 1.2 MB • Feb 13, 2026
EXHIBIT "B"
Case 9:08-cv-80380-KAM Document 63-2 Entered on FLSD Docket 03/02/2009 Page 1 of 24
UNITED
STATES
DISTRICT
COURT
SOUTHERN
DISTRICT
OF
FLORIDA
CASE
NO.:
08-CV-80380-MARRA-JOHNSON
JANE
DOE
NO.
4,
Plaintiff,
v.
JEFFREY
EPSTEIN,
Defendant.
I
--------------
DEFENDANT
JEFFREY
EPSTEIN'S
RESPONSE
& OBJECTIONS
TO
PLAINTIFF'S
AMENDED
FIRST
REQUEST
FOR
PRODUCTION
Defendant,
JEFFREY
EPSTEIN,
by
and
through
his
undersigned
counsel,
serves
his
responses
and
objections
to
Plaintiff's
Amended
First
Request
For
Production
To
Defendant,
dated
December
9,
2008.
Request
No.
1.
The
list
provided
to
you
by
the
U.S.
Attorney
of
individuals
whom
the
U.S.
Attorney
was
prepared
to
name
in
an
Indictment
as
victims
of
an
offense
by
Mr.
Epstein
enumerated
in
18
U.S.C.
§2255.
Response:
Defendant
is
asserting
specific
legal
objections
to
the
production
request
as
well
as
his
U.S.
constitutional
privileges.
I intend
to
produce
all
relevant
documents
regarding
this
lawsuit,
however,
my
attorneys
have
counseled
me
that
at
the
present
time
I cannot
select,
authenticate,
and
produce
documents
relevant
to
this
lawsuit
and
I must
accept
this
advice
or
risk
losing
my
Sixth
Amendment
right
to
effective
representation.
Accordingly,
I assert
my
federal
constitutional
rights
under
the
Fifth,
Sixth,
and
Fourteenth
Amendments
as
guaranteed
by
the
United
States
Constitution.
Drawing
an
adverse
inference
Case 9:08-cv-80380-KAM Document 63-2 Entered on FLSD Docket 03/02/2009 Page 2 of 24
Jane
Doe
No.
4
v.
Epstein
Page
2
under
these
circumstances
would
unconstitutionally
burden
my
exercise
of
my
constitutional
rights,
would
be
unreasonable,
and
would
therefore
violate
the
Constitution.
In
addition
to
and
without
waiving
his
constitutional
privileges,
the
information
sought
is
privileged
and
confidential,
and
inadmissible
pursuant
to
the
terms
of the
deferred
prosecution
agreement,
Fed.
Rule
of
Evidence
410
and
408,
and
§90.410,
Fla.
Stat.
Further,
the
request
is
overly
broad,
work
product,
attorney-client
privileged,
and
confidential.
In
addition,
the
request
seeks
information
concerning
persons,
not
parties
to
this
litigation,
whose
privacy
rights
are
implicated.
Request
No.
2.
All
documents
referring
or
relating
to
the
United
States'
agreement
with
Defendant
to
defer
federal
prosecution
subject
to
certain
conditions,
including
without
limitation,
the
operative
agreement
between
Defendant
and
the
United
States
and
all
amendments,
revisions
and
supplements
thereto.
Response:
Defendant
is
asserting
specific
legal
objections
to
the
production
request
as
well
as
his
U.S.
constitutional
privileges.
I intend
to
produce
all
relevant
documents
regarding
this
lawsuit,
however,
my
attorneys
have
counseled
me
that
at
the
present
time
I cannot
select,
authenticate,
and
produce
documents
relevant
to
this
lawsuit
and
I must
accept
this
advice
or
risk
losing
my
Sixth
Amendment
right
to
effective
representation.
Accordingly, I
assert
my
federal
constitutional
rights
under
the
Fifth,
Sixth,
and
Fourteenth
Amendments
as
guaranteed
by
the
United
States
Constitution.
Drawing
an
adverse
inference
under
these
circumstances
would
unconstitutionally
burden
my
exercise
of
my
Case 9:08-cv-80380-KAM Document 63-2 Entered on FLSD Docket 03/02/2009 Page 3 of 24
Jane
Doe
No.
4
v.
Epstein
Page
3
constitutional
rights,
would
be
unreasonable,
and
would
therefore
violate
the
Constitution.
In
addition
to
and
without
waiving
his
constitutional
privileges, the
information
sought
is
privileged
and
confidential,
and
inadmissible
pursuant
to
the
terms
of
the
deferred
prosecution
agreement,
Fed.
Rule
of
Evidence
410
and
408,
and
§90.410,
Fla.
Stat.
Further,
the
request
is
overly
broad,
work
product,
attorney-client
privileged,
and
confidential.
In
addition,
the
request
seeks
information
concerning
persons,
not
parties
to
this
litigation,
whose
privacy
rights
are
implicated.
Request
No.
3.
All
documents
referring
or
relating
to
Defendant's
agreement
with
the
State
of
Florida
on
his
plea
of
guilty
to
violations
of
Florida
Criminal
Statutes,
including
without
limitation,
the
operative
plea
agreement
and
any
amendments,
revisions
and
supplements
thereto.
Response:
Defendant
is
asserting
specific
legal
objections
to
the
production
request
as
well
as
his
U.S.
constitutional
privileges.
I intend
to
produce
all
relevant
documents
regarding
this
lawsuit,
however,
my
attorneys
have
counseled
me
that
at
the
present
time
I cannot
select,
authenticate,
and
produce
documents
relevant
to
this
lawsuit
and
I must
accept
this
advice
or
risk
losing
my
Sixth
Amendment
right
to
effective
representation.
Accordingly,
I assert
my
federal
constitutional
rights
under
the
Fifth,
Sixth,
and
Fourteenth
Amendments
as
guaranteed
by
the
United
States
Constitution.
Drawing
an
adverse
inference
under
these
circumstances
would
unconstitutionally
burden
my
exercise
of
my
constitutional
rights,
would
be
unreasonable,
and
would
therefore
violate
the
Constitution.
In
addition
to
and
without
waiving
his
constitutional
privileges, the
Case 9:08-cv-80380-KAM Document 63-2 Entered on FLSD Docket 03/02/2009 Page 4 of 24
Jane
Doe
No.
4
v.
Epstein
Page4
information
sought
is
privileged
and
confidential,
and
inadmissible
pursuant
to
the
terms
of
the
deferred
prosecution
agreement,
Fed.
Rule
of
Evidence
410
and
408,
and
§90.410,
Fla.
Stat.
Further,
the
request
is
overly
broad,
work
product,
attorney-client
privileged,
and
confidential.
In
addition,
the
request
seeks
information
concerning
persons,
not
parties
to
this
litigation,
whose
privacy
rights
are
implicated.
Whatever
public
documents
exist
are
in
the
State
Court
file
and
equally
accessible
to
Plaintiff.
Request
No.4.
All
documents
obtained
in
discovery
or
investigation
relating
to
either
the
Florida
Criminal
Case
or
the
Federal
Criminal
Case,
including
without
limitation,
documents
obtained
from
any
federal,
state,
or
local
law
enforcement
agency,
the
State
Attorney's
office
and
the
United
States
Attorney's
office.
Response:
Defendant
is
asserting
specific
legal
objections
to
the
production
request
as
well
as
his
U.S.
constitutional
privileges.
I intend
to
produce
all
relevant
documents
regarding
this
lawsuit,
however,
my
attorneys
have
counseled
me
that
at
the
present
time
I cannot
select,
authenticate,
and
produce
documents
relevant
to
this
lawsuit
and
I must
accept
this
advice
or
risk
losing
my
Sixth
Amendment
right
to
effective
representation.
Accordingly,
I assert
my
federal
constitutional
rights
under
the
Fifth,
Sixth,
and
Fourteenth
Amendments
as
guaranteed
by
the
United
States
Constitution.
Drawing
an
adverse
inference
under
these
circumstances
would
unconstitutionally
burden
my
exercise
of
my
constitutional
rights,
would
be
unreasonable,
and
would
therefore
violate
the
Constitution.
In
addition
to
and
without
waiving
his
constitutional
privileges,
the
Case 9:08-cv-80380-KAM Document 63-2 Entered on FLSD Docket 03/02/2009 Page 5 of 24
Jane
Doe
No.
4
v.
Epstein
Page
5
information
sought
is
privileged
and
confidential,
and
inadmissible
pursuant
to
the
t
Entities
0 total entities mentioned
No entities found in this document
Document Metadata
- Document ID
- c92ff18f-190a-4496-87fa-91ec09323656
- Storage Key
- court-records/ia-collection/Doe No. 4 v. Epstein, No. 9ː08-cv-80380 (S.D. Fla. 2008)/Doe No. 4 v. Epstein, No. 9ː08-cv-80380 (S.D. Fla. 2008)/063-02.pdf
- Content Hash
- 4548fa895ea4d301624ce45d56cb685f
- Created
- Feb 13, 2026