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Case 1:19-cv-10577-LJL-DCF Document 19 Filed 01/10/20 Page 1 of 2 
BOIES 
B SCI-IILLER 
S, F 
I 
FLEXNER 
January 10, 2020 
VIA ECF 
The Honorable Debra Freeman 
Daniel Moynihan 
United States Courthouse 
500 Pearl St. 
New York, NY 10007-1312 
Re: v. Darren K. Indyke and Richard D. Kahn, in their capacities as 
executors of the Estate ofJeffrey Edward Epstein, 19-10479 
Jane Doe 1000 v. Darren K. Indyke and Richard D. Kahn, in their capacities as 
executors of the Estate ofJetey Edward Epstein, 19-10577 
Annie Farmer v. Darren K. Indyke and Richard D. Kahn, in their capacities as 
executors of the Estate of Jeffrey Edward Epstein, and Ghislaine Maxwell, 19-
10475 
v. Darren K Indyke and Richard D. Kahn, in their capacities as 
executors of the Estate of Jeji•ey Edward Epstein, 19-10476 
Dear Judge Freeman: 
Pursuant to the Court's request at the November 21, 2019, Case Management Conference, 
Plaintiffs and Defendants Darren K. Indyke and Richard D. Kahn, Co-Executors of the Estate of 
Jeffrey E. Epstein, jointly submit this letter to provide the Court with an update as to the progress 
of discussions regarding both discovery and settlement. 
The parties have thus far engaged in two productive conferences pursuant to Rule 26(f) of 
the Federal Rules of Civil Procedure. During those conferences, the parties agreed to exchange 
initial disclosures by January 23, 2020, and to exchange discovery plans one week thereafter, on 
January 30, 2020. 
As the Court is aware, Defendants have arranged for a Victims' Compensation Program 
that will be available to Plaintiffs. Plaintiffs' counsel has conferred with the Program's designers 
and administrators, the Program's administrators provided Plaintiffs with a proposed protocol for 
the Program, and Plaintiffs have provided some feedback to the administrators. The motion for 
the Superior Court of the United States Virgin Islands to approve the establishment of the Program 
will be heard on February 4, 2020. 
The parties request a conference with the Court on February 6 or 7, 2020, to resolve any 
potential disagreements as to how these matters should proceed. The parties will provide the Court 
with their proposed discovery plan(s) 48 hours before any such conference. 
BOIES SCHILLER FLEXNER LLP 
SS Hudson Yards, New York. NY 10001 1 (t) [Phone Redacted] 1(0 212 446.23501 www.bsflip corn 
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Case 1:19-cv-10577-LJL-DCF Document 19 Filed 01/10/20 Page 2 of 2 
BSF 
Respectfully submitted, 
/s/ Joshua I. Schiller 
David Boies, Esq. 
Joshua I. Schiller, Esq. 
Sigrid S. McCawley, Esq. 
Boies Schiller Flexner LLP 
/s/ Bennet J. Moskowitz 
Bennet J. Moskowitz, Esq. 
Troutman Sanders LLP 
cc: Counsel of Record (via ECF) 
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