PANISH SHEA & BOYLE, August 28, 2020 CONFIDENTIAL SETTLEMENT COMMUNICATIONS Epstein Victims' Compensation Program Attn: Jordana H. Feldman, Administrator Washington, D.C. Re: Epstein VCP Claim Submission Claim ID: TM3Q-W2N] ( Dear Ms. Feldman: stein VCP on behalf of We are submitting this confidential letter to the E In 1994, Ms. | sR a 13-year-old girl attending she first met Jeffrey Epstein and Ghislaine Maxwell’. Over the next several years, was sexually abused and raped by Epstein more than 200 times in Palm Beach, New York, New Mexico and Los Angeles. Maxwell also played a major role in this abuse. Maxwell not only assisted in and facilitated Epstein's abuse of [J but she also personally abused HE © numerous occasions as well during this time. HR eventually escaped from Epstein and Maxwell's web of exploitation and abuse. In {J she moved to MMFo pursue a career as an actress. But it was not until approximately early 2002 when she was in her early 20s that she gained the strength and courage to put an end to Epstein's advances. RERwent on to become git After Epstein's arrest in 2008 EE identity was uncovered in documents seized from his home. For more than a decade since that time, she has been relentlessly pursued by attorneys, investigators, journalists and other victims looking for information concerning her connection to Epstein. It was not until recently, however, that she decided to share her story. Along with this letter and claim form, we are providing you with a never before seen video testimonial from HE concerning the horrific abuse she endured and the resulting damages she suffered and will continue to suffer for the remainder of her life with commentary Ponton, professor emeritus of child & adolescent psychiatry at University of California, San I While a rst met them when she was 13, she turned 14 iii Howards the end of the summer camp. The abuse started when 2s 14. a - www peblaw.com EFTA00068552

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PANISH SHEA & BOYLE Epstein Victims' Compensation Program LLP Attn: Jordana H. Feldman, Administrator August 28, 2020 Page 2 Francisco. We are also submitting additional evidence we have obtained thus far concerning Epstein and Maxwell's liability <n camazes. That evidence will be referenced herein by its Bates number. Finally, we would also, of course, welcome the opportunity for you to meet and spend some time with her in any forum you deem appropriate. I would like to first briefly discuss the status i” pending lawsuit against the Epstein Estate and Maxwell. filed the lawsuit under the pseudonym Jane Doe on A copy of the complaint is being submitted along with these materials (see TM3Q-W2N] — 1-10). Limited discovery has taken place so far. And despite our attempts to take depositions, we have been met with strong opposition from the defense and have had to reschedule them to dates in the future. Additionally, every other case against these defendants stemming from the same facts and circumstances has been voluntarily stayed by the parties in those other cases. Accordingly, it is our understanding that we are the only active pending case against these defendants in the SDNY. The defendants have repeatedly urged us to stay the case to pursue this claims process despite the protocols for the VCP explicitly stating: “Individuals who have filed a lawsuit need not agree to a stay of litigation or make any other concession in any pending litigation to be eligible to participate in the Program.” Maxwell also recently filed a motion to stay the case in its entirety. The Estate has joined in the request. I expect that a ruling on that motion will take place after this claim has been submitted. We recently made separate confidential settlement demands under FRE 408 on the Epstein Estate and Maxwell. We demanded $50 million against the Estate and $25 million against Maxwell. We are confident a jury will agree that [Js a very credible and sympathetic witness who has suffered lifelong harm at the hands of a pair of pedophile monsters and the ultimate award in this case will be a reflection of the horrific abuse endured by To be clear, the demands we made on the Estate and Maxwell are what we believe the true verdict value is of this case. In addition i. case, she has been actively involved in NY's pending prosecution against Maxwell. Indeed, the true identity of a. the government's indictment against Maxwell is | (see TM3Q-W2NJ — 108-125). Over the course of the last — and I have met with prosecutors from the SDNY along with FBI agents concerning their investigation and, ultimately, their arrest of Maxwell. I can represent to you that both the AUSAs and FBI agents who have interviewed a: connection with their investigation have found her to be extremely credible, sympathetic and trustworthy. EFTA00068553

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PANISH SHEA & BOYLE Epstein Victims' Compensation Program CLP Attn: Jordana H. Feldman, Administrator August 28, 2020 Page 3 ae i: not coming forward now to become famous. She is not seeking attention and she is not seeking headlines. She refuses to let what Epstein and Maxwell did to her define who she is to the world. BH ow recognizes, however, that she must confront the years of abuse she endured if she is to continue with her own life. This is why she is cooperating with the government in their case against Maxwell. This is why she has filed the lawsuit against the Epstein Estate and Maxwell. And what she seeks is what any victim who files suit against her abusers would want under our system of justice—fair and just compensation, based on the evidence, for the lifelong harm she has suffered. As stated above, Jeffrey Epstein and Ghislaine well met BE when she was a 13-year-old girl attending sitting around a picnic table with other campers. As discussed in the video, Epstein and Maxwell ingratiated themselves into life pretending to know he’ . Around this same time, oa father ied of cancer (something both Epstein and Maxwell were aware of) which, in addition to her young age, made her particularly susceptible and vulnerable. a: with her siblings and mother deeply grieved over the death of her father. Over the next several years, Epstein and Maxwell, while knowing TE 2s just a child, preyed on this vulnerability by first buying her presents, pretending to care about her, acting as mentors to her and then sexually abusing her. Indeed, over those next several years ex S , Epstein on over 200 occasions. The abuse started off with Eps advanced to engaging . stimates that Epstein (EE her on over 200 occasions between the ages of 14 and 18. Maxwell, however, also abused on numerous occasions during this time. Indeed, Maxwell attempted to normalize such behavior by being naked in front a and a and other parts of her body. She was also physically present while Epstein engaged in sexual abuse of Band would participate in such abuse. The aforementioned abuse first started in Palm Beach at Epstein's home and then in New York City at Epstein's Manhattan townhouse as well as at his Zorro Ranch located south of Santa Fe in New Mexico and, finally, in Los Angeles after Jjmoved there in 1999. Based on information we have learned from the US government, FY is likely the first known sex abuse minor victim of Epstein and Maxwell. Accordingly, we contend that Epstein and Maxwell's system of abuse all started with them exploiting and abusing who they used as a guinea pig to refine their criminal enterprise and widen their network of additional sex abuse victims. For more details concerning the abuse she suffered, please refer to the civil complaint (see TM3Q-W2NJ — 1-10), the criminal indictment (see TM3Q-W2NJ — 108- 125) and the video testimonial. EFTA00068554

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PANISH SHEA & BOYLE Epstein Victims' Compensation Program LE Attn: Jordana H. Feldman, Administrator August 28, 2020 Page 4 Before Epstein committed suicide in his jail cell on August 10, 2019, he was facing federal charges for sex trafficking of minors for this very same despicable conduct. Maxwell is now in jail and facing federal charges for recruiting and enticing minors to travel to engage in illegal sex acts for this very same despicable conduct. To corroborate our claims, we have sought out several of Epstein's former employees who have all attested under oath that they remembe being with Epstein during this timeframe. For instance, worked for Epstein between 1991 and 2002. (see TM3Q- W2NJ — 25). Part of his duties included managing Epstein's Palm Beach estate. Mr. stated in his sworn declaration that he recalls ER: cin: at Epstein's house with her mother on several occasions and even remembers picking her up; from her home and taking her to Epstein's Palm Beach estate on El Brillo Way. (/d.). “fe testified in a 2009 deposition that "was a girl that was very, very talented. Mr. Epstein help her become an actress. Now she's She came with her mother to the house. And she -- he help her come up with her career." (see TM3Q-W2NJ - 131- 133). Mr. Alessi also testified in that deposition that a very young because she was in high school. And sometimes either I pick her mother and herself from her house or I pick her fron I can't remember exactly what that place is, the name of the place." (Id). He went on to testify that "/t/he only girl that I picked up from the school was ' (d.). is another person who worked for Epstein. Mr. || worked as a for Epstein starting in 1991. M stated in his sworn declaration that through for Epstein he remembers meeting in the mid to late 1990s. (see TM3Q-W2NJ —26-27). Mr. || also provided flight logs that contain [J name as a passenger on Epstein's plane in 1996 and 1997. (see TM3Q-W2NJ — 28-56). [was between 16 and 17 years old while she was on these flights. We have also obtained a flight log from Mr. reflecting that was a passenger on Epstein's plane on March 31, 2001 from Santa Fe to Palm Beach. (see TM3Q-W2NJ — 130). Epstein, Maxwell and others were also on board. is another || who worked for Epstein starting in 1991. Nie has also declared under penalty of perjury that he recalls meeting in the early 1990s in connection with his employment with Epstein. (see TM3Q-W2N] — 57). In addition to the above witnesses, there are several others who can attest to seeing vith Epstein and Maxwell during this timeframe. These individuals include: Darren EFTA00068555

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PANISH SHEA & BOYLE Epstein Victims' Compensation Program CLP Attn: Jordana H. Feldman, Administrator August 28, 2020 Page 5 pstein. oe | oho os siblings and mother, all knew about Epstein and Maxwell's grooming and pursuit of her and, later, of their abuse to her. Furthermore, in response to a Tou/ry request, we received documents from the SDNY obtained during their investigation of Epstein and Maxwell. Because of their ongoing case against Maxwell, however, they were limited in what they could provide to us. What they did provide sheds additional light on Epstein's manipulation and exploitation of In order to kee under his control, Epstein exploited her youth and modest circumstances in life by showering her with presents. For instance, in early August of 2000, after she moved to LA, we know that Epstein sent [J a Fedex package containing a birthday present (her birthday is J. (see TM3Q-W2NJ- 70, 75). Later that year in December, he also sent her a Christmas present via Fedex. (see TM3Q-W2NJ — 83). And then in the following year, on February 13, 2001, Epstein sent her another Fedex package containing a sift for Valentine's Day. (see TM3Q-W2NJ — 95). It was not until later that year, though, that a who had now been living across the country from Epstein for a couple of years, was finally able to mentally break free from his control and manipulation and worked up the courage and strength to stop returning his calls. That is when Epstein's advances ceased. But then, on October 20, 2003, Epstein had his attorney Darren Indyke send Fedex envelope containing a letter from his office in New York to her home in Newport Beach, CA. (see TM3Q-W2NJ - 61). a :: a strong recollection that this was the correspondence from Mr. Indyke demanding that she repay Epstein for back rent for her old apartment in New York. At this point, Epstein was clearly upset that [Jad stopped communicating with him and instructed his attorney to send the threatening letter demanding money. The FBI also seized a framed photograph ‘iim from = home that he kept on a bookcase. (see TM3Q-W2NJ — 126). This framed photograph of vas taken by “ “ first met Mr. Indyke at Epstein's office in New York City when she was 15 years old. After moved to Los Angeles and stopped returning Epstein's calls, Mr. Indyke personally demanded that she pay back rent (approximately $10,000) to Epstein for her apartment in New York that was paid for by Epstein. Mr. Indyke made a number of threats to BE ce carcins paying back this rent. [was frightened and believed Mr. Indyke was doing this to retaliate against her for shutting down contact and communication with Epstein. Mr. Indyke eventually stopped pursuing her. EFTA00068556

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PANISH SHEA & BOYLE Epstein Victims' Compensation Program LLP Attn: Jordana H. Feldman, Administrator August 28, 2020 Page 6 a professional photographer in Miami that was paid for by Epstein. a is only 14 years old in that picture. The other photograph you see that Epstein kept in front of the framed photo is a headshot of hat was taken 5 years later in LA when she was 19 years old. At that time, es now understands as an adult, she was still brainwashed by Epstein into thinking he had helped her and was looking out for her best interests. As a result of Epstein and Maxwell's horrific and depraved behavior and conduct, | has suffered and continues to suffer tremendously. As discussed by a. her brother and Dr. Ponton in the video, the unimaginable abuse extended for more than 6 years and started in J adolescence when she was only 14. In particular, the sexual and emotional abuse took away important developmental milestones for during her adolescence including developing normal friendships and relationships with her peers. The abuse resulted in a permanent loss of JM ability to experience pleasure and comfort in her own life, including her inability to take pleasure in her own family. In addition to the actual sexual abuse she sultered, ER as routinely ridiculed and humiliated by Epstein and Maxwell for gaining too much weight or not dressing in a certain way or not having sex with boys yet. This shame and humiliation robbed her of self-confidence and destroyed her adolescent sense of strength. It made her self-isolate and fear others. In fact, the sexual and emotional abuse by Epstein and Maxwell made a fearful and hunted her entire life. The abuse has resulted in chronic, on-going post-traumatic stress disorder and intermittent depression. What Jeffrey Epstein and Ghislaine Maxwell did to a. and other minor victims, is grievously wrong. Epstein and Maxwell are unsympathetic child abusers who never showed remorse. The lifelong harm they have caused our client cannot be undone. Her damages are significant and are commensurate with the setthkement demands we previously made in her case. Thank you for your consideration of RE claim. We hope you find the video testimonial along with the other materials submitted in support of her claim helpful for your evaluation. We also look forward to you meeting with [J at your convenience. Very truly yours, PANISH SHEA & BOYLE LLP Robert Glassman EFTA00068557