📧 Communication

Contact (unspecified)

Communication Details

From
Counsel for Witness Y. Doe Linked to Counsel for Witness Y. Doe
To
["attorneys for the State", "attorneys for Defendant Epstein"] ["attorneys for the State", "attorneys for Defendant Epstein"]
Date
March 31, 2008
Subject
Request to take depositions in criminal and civil cases at the same time.
Message Content

Counsel for Witness Y. Doe contacted attorneys for the State and for Defendant Epstein regarding the request for a joint deposition, but neither party had responded as of the date of this filing.

📄 Source Document

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DOJ Collection
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Document Summary

This legal document, dated March 31, 2008, is a motion for a protective order filed by the law firm Herman & Mermelstein, P.A. on behalf of 'Witness Y. Doe'. The motion requests that the court order the witness's deposition for an unspecified criminal case and the civil case 'Jane Doe No. 3 v. Jeffrey Epstein' to be conducted simultaneously. The stated purpose is to prevent potential harassment of the witness by the defendant, Jeffrey Epstein.

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