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"Epstein Answer"
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EFTA00207121
Dataset 9
2010-03-12
2p
270w
Subject:
Activity in Case 9:08-cv-80893-KAM Doe v.
Epstein Answer
to Amended Complaint
From: To: Subject: Activity in Case 9:08-cv-80893-KAM Doe v.
Epstein Answer
to Amended Complaint Date: Fri, 12 Mar 2010 20:39:49 +0000 Importance: Normal This is an automatic e-mail message generated by the CMIECF system. Please DO NOT RESPOND to this e-mail because the mail box is unattended. ***NOTE TO PUBLIC ACCESS USERS*** Judicial Conference of the United States policy permits attorneys of record and parties in a case (including pro se litigants…
https://www.justice.gov/epstein/files/DataSet%209/EFTA00207121.pdf
EFTA00216309
Dataset 9
2009-04-02
2p
273w
Subject:
Activity in Case 9:08-cv-80119-ICAM Doe I.
Epstein Answer
to Amended Complaint
From: To: Subject: Activity in Case 9:08-cv-80119-ICAM Doe I.
Epstein Answer
to Amended Complaint Date: Thu, 02 Apr 2009 21:45:47 +0000 Importance: Normal This is an automatic e-mail message generated by the CM/ECF system. Please DO NOT RESPOND to this e-mail because the mail box is unattended. ***NOTE TO PUBLIC ACCESS USERS*** Judicial Conference of the United States policy permits attorneys of record and parties in a case (including pro se…
https://www.justice.gov/epstein/files/DataSet%209/EFTA00216309.pdf
EFTA02728376
Dataset 11
2009-01-16
7p
1,160w
…memorandums, notes, depositions, and all other materials reflecting statements made by the Defendant, Mr.
Epstein. ANSWER
Please see attached Probable Cause Affidavit. 7. Legible copies of the front and back of any and all insurance identification cards, union employment identification cards which would depict the name, address, policy number, claim number, identification number of any insurance companies and/or employers which may provide you with any benefits to compensate you for any of the damages that you are alleging as…
https://www.justice.gov/epstein/files/DataSet%2011/EFTA02728376.pdf
EFTA01087251
Dataset 9
2011-12-09
24p
4,673w
…was never to recover monetary damages, that PlaintilMounterdefendant Jeffrey Epstein knew he never suffered monetary damages, that he knowingly asserted baseless and unsupportable claims, etc. ANSWER: See Bradley Edwards' Motion for Summary Judgment and attachments. 30. Identify all clients and list all payments made to clients in connection with their cases against the Plaintiff/Counter-Defendant Jeffrey
Epstein. ANSWER
: Objection. Irrelevant, immaterial and not reasonably calculated to lead to the discovery of admissible evidence. However, to the extent deemed relevant…
https://www.justice.gov/epstein/files/DataSet%209/EFTA01087251.pdf
EFTA01143024
Dataset 9
2011-12-09
24p
4,729w
…was never to recover monetary damages, that PlaintilMounterdefendant Jeffrey Epstein knew he never suffered monetary damages, that he knowingly asserted baseless and unsupportable claims, etc. ANSWER: See Bradley Edwards' Motion for Summary Judgment and attachments. 30. Identify all clients and list all payments made to clients in connection with their cases against the Plaintiff/Counter-Defendant Jeffrey
Epstein. ANSWER
: Objection. Irrelevant, immaterial and not reasonably calculated to lead to the discovery of admissible evidence. However, to the extent deemed relevant…
https://www.justice.gov/epstein/files/DataSet%209/EFTA01143024.pdf
EFTA01082029
Dataset 9
2011-12-09
24p
4,405w
…was never to recover monetary damages, that PlaintilMounterdefendant Jeffrey Epstein knew he never suffered monetary damages, that he knowingly asserted baseless and unsupportable claims, etc. ANSWER: See Bradley Edwards' Motion for Summary Judgment and attachments. 30. Identify all clients and list all payments made to clients in connection with their cases against the Plaintiff/Counter-Defendant Jeffrey
Epstein. ANSWER
: Objection. Irrelevant, immaterial and not reasonably calculated to lead to the discovery of admissible evidence. However, to the extent deemed relevant…
https://www.justice.gov/epstein/files/DataSet%209/EFTA01082029.pdf
EFTA00798039
Dataset 9
2017-07-12
21p
4,034w
…to which element(s) of your claim for MaliciousProsecution this witness's testimony is applicable: ANSWER: See response to number 1. 3. A detailed description of the testimony expected to be presented at trial by the witness as to each contested factual issue and clement of your claim against
Epstein: ANSWER
: See response to number 1. 4. A description of the Trial Exhibit List number of each exhibit expected to be introduced into evidence by the witness: ANSWER: Unknown at…
https://www.justice.gov/epstein/files/DataSet%209/EFTA00798039.pdf
EFTA00091333
Dataset 9
20p
3,118w
…to the person who gave the massage, conversing with the person who gave the massage, staffing the person who gave the massage, or otherwise facilitating that person giving a massage to Jeffrey
Epstein. ANSWER
: 9. Identify all efforts undertaken by you to ascertain the age o from 2000-2002. ANSWER: 10 EFTA00091342 10. Identify all efforts undertaken by you to ascertain the age and professional qualifications of any individual in your answer to Interrogatory number 9. ANSWER: II. Have you…
https://www.justice.gov/epstein/files/DataSet%209/EFTA00091333.pdf
EFTA00582893
Dataset 9
2017-07-12
4p
303w
…the witness, including identifying with particularity as to which element(s) of your claim for Malicious Prosecution this witness's testimony is applicable: ANSWER: 3. A detailed description of the testimony expected to be presented at trial by the witness as to each contested factual issue and element of your claim against
Epstein: ANSWER
: 4. A description of the Trial Exhibit List number of each exhibit expected to be introduced into evidence by the witness: ANSWER: EFTA00582894 5. A description…
https://www.justice.gov/epstein/files/DataSet%209/EFTA00582893.pdf
EFTA01172598
Dataset 9
2015-02-11
22p
7,150w
…the date of the communication; (b) state the participants in the communication; and (c) describe the contents of the communication. ANSWER: Objection, not reasonably calculated to lead to the discovery of admissible evidence; vague, harassing, work-product 16. Describe in detail All facts Concerning any assertion that Dershowitz was a "coconspirator" with
Epstein. ANSWER
: See answers to interrogatory number 5 above, as well as answers to interrogatories numbers 1, 6, 8, 9, 10 above. In addition, factual information is found…
https://www.justice.gov/epstein/files/DataSet%209/EFTA01172598.pdf
Corpus: 1990-03-17 – 2025-12-01
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