EFTA00722929.pdf
dataset_9 pdf 161.4 KB • Feb 3, 2026 • 2 pages
U.S. Department ofJust:lee
UnitedStates Attorney
Southern District ofFlorida
500 South Australian Ave., Suite 400
West Palm Beach, FL 33401
(561) 8204711
Facsimile: (561) 820-8777
August 4, 2009
VIA ELECTRONIC MAIL
Spencer T. Kuvin, Esq.
Leopold—Kuvin, P.A.
2925 PGA Boulevard
Suite 200
Palm Beach Gardens, FL 33410
Re: Jeffrey Enstein/B.B. — Reauested Disclosure of Non-Prosecution Agreement
Dear Mr. Kuvin:
Thank you for your letter regarding the disclosure of the Non-Prosecution Agreement
signed by Jeffrey Epstein. 1 understand that you are asking for a copy of that Agreement in
connection with your representation of "B.B." As you are aware, the Agreement contains a
confidentiality provision. Based upon a lawsuit filed by some of Mr. Epstein's victims, U.S.
District Judge Kenneth Marra has issued a Protective Order requiring the U.S. Attorney's Office
to provide copies of the Agreement to certain individuals under certain circumstances. The
Order states:
If any individuals who have been identified by the USAO [U.S. Attorney's
Office] as victims of Epstein and/or any attomey(s) for those individuals request
the opportunity to review the Agreement, then the USAO shall produce the
Agreement to those individuals, so long as those individuals also agree that they
shall not disclose the Agi =went or its terms to any third party absent further
court order, following notice to and an opportunity for Epstein's counsel to be
heard.. .
(Court File No. 08-CV-80737-MARRA, DE 26, 1 (e).)
The language "individuals who have been identified by the USAO as victims of Epstein"
refers to a specific list of individuals who were the subject of the federal investigation. A list
of those individuals was provided to Mr. Epstein's attorney. Your client, B.B., was not
identified during that investigation, and, therefore was not on the list. By stating this 1 am not,
in any way, denigrating any harm that your client may have suffered. I am simply stating that,
given time and resource limitations that we faced during the investigation, B.B. was not a person
who was positively identified, such that she would have been the subject of charges within a
EFTA00722929
SPENCER T. KUVIN, ESQ.
AuGuST 4,2009
PAGE 2
possible federal indictment.
For this reason, your client is not covered by the Court's Protective Order and the
Agreement's confidentiality provision remains intact. If you are unable to get a copy of the
Agreement via the civil discovery process in the lawsuit that you have filed against Mr. Epstein,
please ask his counsel if they will consent to my production of the Agreement to you and I will send
a copy to you.
Sincerely,
Jeffrey H. Sloman
Acting United States Attorney
By:
rney
cc: Karen Atkinson, Esq.
EFTA00722930
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