DOJ-OGR-00001033.pdf
epstein-pdf-nov2025 PDF 640.4 KB • Feb 4, 2026
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**Case 21-770, Document 20-2, 04/01/2021, 3068530, Page92 of 200**
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**1** simply implausible that the defendant simply has a lump set of assets and no other stream of income, especially given the lifestyle that she has been living and as detailed in the Pretrial Services report. It just doesn't make sense. Either there are other assets or there is other income. We can't make sense of this lifestyle and this set of financial disclosures. This just doesn't make sense. And as I will detail in a moment, your Honor, it is inconsistent with the limited reference we have been able to obtain as we have been making an effort to trace the defendant's finances.
**11** On that subject, your Honor, the report does raise concerns about whether the defendant has been fully transparent about her finances. As one example, the defendant told Pretrial Services that the New Hampshire property was owned by a corporation, that she does not know the name of the corporation, but that she was just permitted to stay in the house. It is difficult to believe that that was a forthcoming answer because it is implausible on its face and very confusing, but the government has continued to investigate the circumstances surrounding the purchase of that New Hampshire property.
**22** This morning, your Honor, I spoke with an F.B.I. agent who recently interviewed a real estate agent involved in that transaction in New Hampshire. The real estate agent told the F.B.I. that the buyers to the house introduced themselves to SOUTHERN DISTRICT REPORTERS, P.C. (212) 805-0300
**DOJ-OGR-00001033**
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