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          Case 1:19-cr-00490-RMB              Document 9         Filed 07/11/19        Page 1 of 2

USDCSDNY
DOCUMENT
ELECTRONICALLY FILED
DOC#:                        ITED STATES DISTRICT COURT
       ----.,,J':-:f'~c-+llQE SOUTHERN DISTRICT OF NEW YORK
D/\ TE FILED:

                                                    )
                                                    )
    UNITED STATES OF AMERICA

                      v.                           )
                                                    )
                                                    )              r~EMO E~JDORSED
                                                   )                CRrf:rfh.L NO. 19-CR-490
   JEFFREY EPSTEIN,                                )
              Defendant                            )
                                                   )


             DEFENDANT JEFFREY EPSTEIN'S MOTION FOR LEA VE TO FILE
                SUPPLEMENTAL FINANCIAL DISCLOSURE UNDER SEAL

           Defendant Jeffrey Epstein, by and through undersigned counsel, hereby respectfully moves

   this Honorable Court for leave to file under seal his supplemental financial disclosure. As noted in

   Mr. Epstein's bail submission, on advice of counsel, he has not yet provided a complete financial

   disclosure. Counsel's advice on this point was motivated by a desire to ensure the accuracy and

   completeness of the infmmation provided to the Comt. Mr. Epstein seeks leave to file his

   fmthcoming supplemental disclosure under seal. As grounds and reasons therefor, Mr. Epstein relies

   on the exceptional amount of publicity that has been generated by this case, much of which relates

   specifically to his finances. Under the Bail Ref01111 Act, financial information provided by a

   defendant to a pretrial services officer "shall be used only for the purposes of a bail determination

   and shall othe1wise be confidential." 18 U.S.C. § 3153(c)(l ). Here, in the event Mr. Epstein is

   req

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