(Rev. 06/2005)Seaied Document Tracking Form tre * Unirep States District Court Southern District of Florida Case Number: Fi T 07 -|lo3 (wes) In (2 GY¥and JUCY Bieinser Subpoenas Duces Tecum OLY- 64 SEALED DOCUMENT TRACKING FORM Party Filing Matter Under Seal Name: Roy BLAC ar Le SQ ° Address:__ 201 S. Ly ! Mi ! 13 Telephone: On behalf of (select one): [W4Erve NOY S—Fieeie tet ctretertete, Jeperey & Jager n Date sealed document filed: -14-0 + If sealed pursuant to statute, cite statute: If sealed pursuant to previously entered protective order, date of order and docket entry number: The matter should remain sealed until: © Conclusion of Trial © Arrest of First Defendant O Case Closing © Conclusion of Direct Appeal Orne: _Lovclusio n_ of afjanad jury proceedings. Lf no indichnen @ Permanently. Specify the authorizing law, rule, court order: retun | ie i lease . The moving party requests that when the sealing period expires, the filed matter should be (select one): © Unsealed and placed in the public portion of the court file O Destroyed © Returned to the party or counsel for the party, as identified above ao ——~< For Roy Bla Black. Black, svebnice, kornspan aud stumpt, PA- On behalf o¢ Inttrvenor Jtffrey Epstein EFTA00222955

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cre * UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA IN RE GRAND JURY SUBPOENAS ) DUCES TECUM NUMBERS ) CASE No. FGJ 07-103(WPB) OLY-63 and OLY-64 ) ) UNDER SEAL EFTA00222956

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UNDER SEAL NOTICE OF UNAVAILABILITY OF COUNSEL FOR INTERVENOR_ Jeffrey Epstein has moved to intervene in this matter and to quash grand jury subpoenas to investigator William Riley and his firm, Riley Kiraly. Mr. Epstein is represented by undersigned counsel Roy Black. The issues raised by the motions to intervene and to quash have been briefed and the parties await a hearing date from the Court. Undersigned counsel would like to inform the Court that he is out of the jurisdiction on a family vacation until September 1, 2007. We respectfully request that any hearing the Court may scheduled in this matter be scheduled after September 1, 2007, at the Court’s discretion. Undersigned counsel spoke with the prosecutor, who indicated that the government objects. By: Respectfully Submitted, BLACK, SREBNICK, KORNSPAN & STUMPF, PA. 201 South Biscayne Boulevard Suite 1300 Miami, Florida 33131 DLV _f4 ee ROY BLACK, ESQ. Counsel for Jeffrey Epstein 2 Black. Srebnick. Komspan & Stumpf 201 S. Biscayne Boulevard, Suite 1300 + Miami, Florida 33131 + EE RoyBlack.com EFTA00222957

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CERTIFICATE OF SERVICE I] HEREBY CERTIFY that on hug - 14, 200% a true and correct copy of the forging motion was furnished by email and by U.S. mail to: Fs PO United States Attorney’s Office, 500 South Australian Avenue, Suite 400, West Palm Beach, FL 33401. This pleading was not filed using the CM/ECF system because it pertains toa ~ grand jury investigation and therefore it has been filed under seal. By: soy ie fo _ ROY BLACK, ESQ. Counsel for Jeffrey Epstein 3 Black, Srebnick. Komspan & Stumpf 201 S. Biscayne Boulevard, Suite 1300 - Miami, Florida 33131 - SS - www .RoyBlack.com EFTA00222958