EFTA00030316.pdf
efta-20251231-dataset-8 Court Filing 114.7 KB • Feb 13, 2026
From:
To: Sigrid McCawley
Subject: RE: Deposition Subpoena/Notice
Date: Mon, 13 Apr 2020 19:09:12 +0000
Thank you.
From: Sigrid McCawley
Sent: Monday, April 13, 2020 15:06
To:
Subject: FW: Deposition Subpoena/Notice
Sigrid McCawley
Partner
BOIES SCHILLER FLEXNER LLP
From: Daniel J. Kaiser [mailto
Sent: Monday, April 13, 2020 2:35 PM
To: Sigrid McCawley
Cc: Josh Schiller ; Sabina Mariella Andrew Villacastin
Subject: Re: Deposition Subpoena/Notice
CAUTION: External email. Please do not respond to or click on links/attachments unless you recognize the sender.
Her criminal lawyers have told me that until the criminal proceedings are done she is asserting her fifth amendment
rights. So if you want substantive testimony you will have to wait. Out of curiosity have any of your clients been criminally
pursued for their role in recruiting for Epstein? My client never did any recruiting which is far worst than anything she is
accused of. And in any event, mid-May given the current crisis will not work.
Dan
Daniel J. Kaiser
Kaiser Saurborn &
Mair, P.C.
EFTA00030316
On Apr 13, 2020, at 1:13 PM, Sigrid McCawley wrote:
Hello Daniel,
Thank you for accepting service of the subpoena
for
We will consider any suggestion you have with
respect to date and location of the deposition if you make them promptly, but we do not accept that you have the
unilateral right to dictate anything about the deposition—your client has an obligation to appear unless the Court
decides otherwise in response to a prompt motion by you.
Let me know if you have a different date in early to mid-May that you would like to propose.
Thanks,
Sigrid
Sigrid McCawley
Partner
BOIES SCHILLER FLEXNER LLP
From: Daniel J. Kaiser
[mailto
Sent: Friday, April 10, 2020 5:31 PM
To: Sigrid McCawley
Cc: Josh Schiller Sabina Mariella ; Andrew Villacastin
Subject: Re: Deposition Subpoena/Notice
CAUTION: External email. Please do not respond to or click on links/attachments unless you recognize the sender.
I will accept service subpoena. I take no position at this time regarding the assertion of her Fifth Amendment rights. The
place and timing of any deposition must be coordinated with me and agreed to by me.
Dan
Daniel J. Kaiser
Kaiser Saurborn &
Mair, P.C.
On Apr 10, 2020, at 5:03 PM, Sigrid McCawley < wrote:
EFTA00030317
Hello Daniel,
It is my understanding that you now representand are willing to accept service of a subpoena on her
behalf. If I am incorrect, kindly let me know. It is also my understanding that she will no longer be asserting her
5th
Amendment Privilege. Accordingly, I am attaching a subpoena for her deposition and a Schedule A for documents that
we will need from Ms _in advance of her deposition.
Thank you,
Sigrid
Sigrid McCawley
Partner
BOIES SCHILLER FLEXNER LLP
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08201831BSFI
<2020-04-10 Depo Notice May
<2020-04-10 Subpoena & Schedule A to Subpoena May 7.pdf>
EFTA00030318
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- d688e22e-f244-457d-8618-96628e604244
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- efta-modified/20251231/DataSet 8/VOL00008/IMAGES/0007/EFTA00030316.pdf
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- Feb 13, 2026