Court Records
Case 1:19-cv-10577-LJL-DCF Document 59 Filed 06/03/20 Page 1 of 1 Troutman Sanders LLP 875 Third Avenue New York, New York 10022 troutman.com Bennet J. Moskowitz [Email Redacted] June 3, 2020 VIA ECF Hon. Debra . Freeman Daniel Moynihan United States Courthouse 500 Pearl St. New York, NY 10007 troutmar? sanders Re: Katlyn Doe, 1:19-cv-07771-PKC-DCF; Priscilla Doe, 1:19-cv-07772-ALC-DCF; Lisa Doe, 1:19-cv-07773 ER-DCF; VE. 1:19-cv-07625-AJN-DCF; Doe, 1:19-cv-08673-KPF-D 1:19-cv-10475-LGS-DCF; , 1:19-cv-10476-PGG-DCF: 1:19-cv-10479-ALC-DCF; . Jane Doe 1000, 1:19-cv-10577-LGS-D F- Jane Doe 15, 1:19-cv-10653-PAE-DCF; Mary Doe, 1:19-cv-10758-PAE-DCF; • 1:19-cv-10788-GHW-DCF; Anastasia Doe, 1:19-cv-11869-AJN-DCF; Jane Doe, 1:20-cv-00484-JGK-DCF Dear Judge Freeman: We represent Defendants Darren K. Indyke and Richard D. Kahn, Co-Executors of the Estate of Jeffrey E. Epstein (together, the to -Executors"), in the above-referenced actions. We are pleased to inform the Court that, today, the Superior Court of the United States Virgin Islands entered an order granting the Co-Executors' Motion to establish the Epstein Victims' Compensation Program. A copy of the Order is attached hereto. Respectfully submitted, /s/ Bennet J. Moskowitz Bennet J. Moskowitz cc: Counsel of Record (via ECF) EFTA02737881 Case 1:19-cv-10577-LJL-DCF Document 59-1 Filed 06/03/20 Page 1 of 3 EXHIBIT EFTA02737882 Case 1:19-cv-10577-LJL-DCF Document 59-1 Filed 06/03/20 Page 2 of 3 IN THE SUPERIOR COURT VIRGIN ISLANDS District of St. St. John In the Matter of the Estate of JEFFREY E. Case Number: ST-2019-PB-00080 EPSTEIN, deceased. Action: Administration of Testamentary Estates NOTICE of ENTRY of ORDER To:' Kroblin, ESQ. John H. Benham, Esq. Douglas B. Chanco, ESQ. Richard P. Bourne-Vanneck, Esq. John K. Dema Esq. Denise N. E l Esq. Melody D. West all, Esq. Sean E al, Esq. Gaylin Vog , Esq. A. Jeffrey Weiss, Esq. Ariel M. Esq. Kevin F. D'amour, Esq. Kevin Boyle, Esq. Robert Glassman, Esq. Please take notice that on June 3, 2020 a(n) ORDER dated June 2, 2020 was entered by the Clerk in the above -titled matter. Dated: June 03, 2020 Tamara Charles By: Clerk of the Court 44114 Edotcia t=Flodge Court C erk EFTA02737883 Case 1:19-cv-10577-LJL-DCF Document 59-1 Filed 06/03/20 Page 3 of 3 IN THE SUPERIOR COURT HE VIRGIN ISLANDS DIVISION OF ST. AND ST. JOHN IN THE MATTER OF THE ESTATE OF: JEFFREY E. EPSTEIN, PROBATE NO. ST-19-PB-80 ACTION FOR TESTATE deceased. ADMINISTRATION ORDER THIS MATTER is before the Court on the Co-Executors' Status Report on Voluntary Compensation Program and Presentation of Program Protocol filed on June 1, 2020, wherein, in pertinent part, the Co-Executor notify that all interested parties have finalized and are in support of the protocol for the Epstein Victims' Compensation Program (hereinafter "the Program")) The Court having received testimony concerning the Program at the hearing held on February 4, 2020, and having reviewed said Status Report, it is hereby ORDERED that the Expedited Motion for Establishment of a Voluntary Claims Resolution Program filed on November 14, 2019, is GRANTED; and it is further ORDERED that the Co-Executors are AUTHORIZED to commence the Epstein Victims' Compensation Program on or about June 15, 2020. Dated: June , 2020 ATTEST: TAMARA CHARLES Clerk of the Court By: Magistrate EDOTCIA T MAS-HODGE Court Clerk Supervisor 6, / 3 /2t, z1C ROLVN P. HER ON- ERCELL dge off e Superid Court of the Virgin Islands CERTIFIE TR E COPY DATE 0 100A TAMARA CHARLES CLERK VF= BY COURT CLERK 'At the hearing held on February 4. 2020, while the Court did not allow the Attorney General of the U.S. Virgin Islands to intervene, the Court did request the Co-Executors and the Attorney General to resolve their differences concerning the proposed compensation program. which has garnered the support of all interested panics, including claimants' counsel. The Co-Executors now inform that lb)ecause the need for the Program has grown increasingly urgent, and with the support of claimants' counsel and the USVI Attorney General - and because the remaining impediments have been resolved and the interested parties have consented to the Protocol.' they and the Attorney General have reached an agreement in which the latter will promptly lift previously imposed liens to pay amounts owed for the Program and to begin funding the Program's active operations, including payment of compensation determinations to eligible claimants. Co-Executors' Status Report on Voluntary Compensation Program and Presentation of Program Protocol, at 6. June 1. 2020. EFTA02737884