Case Document Filed Page of Case Document Filed Page of From Sigrid McCawley Sent Thursday April PM To Martin Weinberg Subject RE Giuffre Maxwell No I can wait until tomorrow Thank you for following up Sigrid Sigrid McCawley Partner BOIES SCHILLER FLEXNER LLP East Las Olas Blvd Suite Fort Lauderdale FL Phone I ext http w.bsfllp.com From Martin Weinberg mailto:owlmgw att.net Sent Thursday April AM To Sigrid McCawley Cc Martin Weinberg Subject Re Giuffre Maxwell Sigrid Do you need an answer today I have several time sensitive conflicts and then afternoon court commitments Sent from my iPhone Case Document Filed Page of On Apr at AM Sigrid McCawley Smccawley BSFLLP.com wrote That works fine thank you Sigrid McCawley Partn.t;t BOIES I-IILLR FLEXNER LLP East Las Olas Blvd Suite Fort La erdale FL Phone ext Fax http://w.bstllp.com From Martin 267weinberg mailto:owlmgw att.net sent:Wednesday April AM To Sigrid McCawley Martin Weinberg SUbject Re Giuffre Maxwell Sigrid understood Subject to reserving my rights to make any all objections I will-let you know on faciJitating service and discussing time and place no later than midday tomorrow in court most of today Let me know if that works Marty Martin Weinberg Esq Park Plaza Suite Boston Office Cell Th Ele.,onr u1 Message contains information from the Law Office of Martin Weinberg P.C and may be privileged The information is intended for the use of the addr9ssee only If you are not the addressee please note that any disclosure copying distribution or use of the contents of this message is prohibited Case Document Filed Page of On Wednesday April AM Sigrid McCawley Smccawley BSFLLP.com wrote Hello Marty Per your inquiry below we are going to need to take a videotaped deposition of Epstein for use at trial Kindly let me know if you are authorized to accept service on his behalf We will be glad to coordinate a location and reasonable date that works for you and your client Thank you Sigrid Sigrid McCawley Partner BOIES SCHILLER FLEXNER LLP East Las Olas Blvd Suite Fort Lauderdale FL Phone ext Fax http://w bsfllp.com From Sigrid McCawley Sent Tuesday March PM To Martin Weinberg Subject RE Giuffre Maxwell Hello Marty thank you for your call back this afternoon understand from our.conversation that you have a preliminary question before you can answer whether or not you are authorized to accept service of a subpoena for Jeffrey Epsteins testimony in the Maxwell action You explained that it would be Epsteins position that he would be invoking his Fifth Amendment privilege as to all questions relating to the Maxwell action so your preliminary question as I understand it is whether the plaintiff would be willing to accept a oim of swam statement in response to questions whereby Epstein invokes his Fifth Amendment privilege in lieu of Epstein having to sit for a formal in-person deposition Case Document Filed Page of I will endeavor to get you a response shortly Thank you for your all Sigrid_ Sigrid McCawley Partner BOIES SCHILLER FLEXNER LLP East Las Olas Blvd Suite Fort Lauderdale FL Phone ext http://w.bsfllp.com From Sigrid McCawley Sent Monday March PM To Martin Weinberg bject RE Giuffre Maxwell That would be fine Thank you Sigrid Mccawley Partner BOIES SCHILLER FLEXNER LLP East Las Olas Blvd Suite Fort Lauderdale FL Phone ext http://w.bsfllp.com From Martin WeiAberg mailto:owlmgw att.net Sent Monday March PM To Sigrid Mccawley Cc Martin Weinberg Subject Re G"iuffre Maxwell Hi.Sigrid Give me a.fewdays check I representhim on certain matters not others but will get back to you no later than Case Document Filed Page of thursday on the service issue Let me know if that works for you Thanks Marty Sent frorn my iPhone On Mar at PM Sigrid Mccawley Smccawley BSFLLP.com wrote Hello Marty I understand that you are one of the lawyer who represent Jeffrey Epstein My firm is representing Virginia Giuffre in her defamation action against Ghislaine Maxwell pending in federal court in New York-case number If I am incorrect in my understanding that you represent Jeffrey Epstein kindly let me know We would like to take the deposition of Jeffrey Epstein and want to confirm whether you will be willing to accept service of a subpoena on his behalf Kindly let me know and we can discuss a date for the deposition If you have any questions I can be reached at I have included a copy of the complaint for your review Thank you Sigrid Sigrid Mccawley Partner BOIE:S SCHILLER FLEXNER LLP East Las Olas Blvd Suite Fort Lauderdale FL Phone ext Case Document Filed Page of http://w.bsfllp.com The information contained in this electronic message is confidential information Intended only for the ise of the named recipient and may contain information that,.among other protections is the subject of attorney-client privilege attorney work product or exempt 1i"om disclosure under applicable law If the of this electronic message is not the named recipient or the employee or agent responsible to deliver it to the named recipient you are hereby notified that.any dissemination distnbution copying or other use of this communication is strictly prohibited and no privilege is waived If you have received this communication in error please immediately notify the sender by replying to this electronic message and then deleting this electronlc message from your computer DE Complaint.pelf The information contained in this electronic message is confidential information intended only for the use of the named recipient and may contain information that among other protections is the subject of attorney-client privilege attorney work product or exempt from disclosure under applicable law If the reader this electronic message is not the named recipient or the employee or agent responsible to deliver it to the named recipient you are hereby notified that any dissemination distribution copying or other use of this communication is strictly prohibited and no privilege is waived If you have received this communication in error please immediately notify the sender by replying to this electronic message and then deleting this electronic message from your computer v.1J The information contained in this electronic message is confidential information intended only for the use of the named recipient and may contain information that am ng other protections is the subject of attorney-client privilege attorney work product or exempt from disclosure under applic-,able law If the reader of this electronic message Is not the named recipient or the employee or agent responsible to deHver it to the named recipient you are hereby notified that any dissemination distributi-On copying or other use of this communication is strictly prohibited and no privilege is waived If you have received this communication error please lmmeaiately notify the sender by replying to this electronic message and then deleting this electronic message from your computer v.1j The information contained in this electronic message is confidential information intended only for the of the named rer.ipient and may contain information that among other protecli-Ons is the subject of attorney-client privilege attorney work product or exempt from disclosure under applicable law tf the reader of this electronie message is not the named recipient or the employee or 267agent responsible to deliver it to the named recipient you are hereby notified that any dissemination distribution copying or other use of this oommunicatlon is strictly prohibited and no privilege is waived you have receiVed this communication in error please immediately notify the sender by replying to ttiis electronic message and then deleting this electronic message from your computer