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d-24695House OversightFinancial Record

Defendant acknowledges a single physical visit to Little Saint James Island and promises production of related documents

The passage reveals that a litigant admits to having been on Jeffrey Epstein’s private island and is being asked to produce any documents about that visit. While the identity of the defendant is not d Defendant admits to a single physical presence on Little Saint James Island. The request is tied to a sworn declaration by Alan M. Dershowitz, suggesting potential involvement o Defendant has objecte

Date
November 11, 2025
Source
House Oversight
Reference
House Oversight #014101
Pages
1
Persons
1
Integrity
No Hash Available

Summary

The passage reveals that a litigant admits to having been on Jeffrey Epstein’s private island and is being asked to produce any documents about that visit. While the identity of the defendant is not d Defendant admits to a single physical presence on Little Saint James Island. The request is tied to a sworn declaration by Alan M. Dershowitz, suggesting potential involvement o Defendant has objecte

Persons Referenced (1)

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jeffrey-epsteinfinancial-flowdocument-productionpotential-misconductforeign-influencepotential-sexual-misconductcivil-litigationlegal-exposuremoderate-importancelittle-saint-jameshouse-oversight

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Text extracted via OCR from the original document. May contain errors from the scanning process.
Case 9:08-cv-80736-KAM Document 319-1 Entered on FLSD Docket 03/24/2015 Page 18 of 34 Defendant’s possession, custody, or control; is publicly available; is already in Plaintiffs’ possession, care, custody, or control; or is generally available to Plaintiffs. 6. Defendant generally objects to the Document Requests to the extent that the information sought is not identified with sufficient particularity. Te Defendant objects to the definition of “Documents” to the extent that it seeks the production of things beyond the scope of Rule 1.280 of the Florida Rules of Civil Procedure. Defendant further objects to the definition of “Documents” to the extent that it seeks “electronic data as well as application metadata and system metadata” and “inventories and rosters of your information technology (IT) systems — e.g., hardware, software and data, including but not limited to network drawings, lists of computing devices (servicers, PCs, laptops, PDAs, cell phones, with data storage and/or transmission features), programs, data maps and security tools and protocols” as overly broad and unduly burdensome. RESPONSES TO REQUESTS 1. Copies of any and all documents reflecting or relating to any and all occasions on which you have been physically present on Little Saint James Island including but not limited to your visit to Little Saint James Island, as described in paragraph 3 of the sworn Declaration of Alan M. Dershowitz. RESPONSE: Subject to and without waiving the General Objections, Defendant responds that he wil! produce all responsive, non-privileged documents currently in his possession, custody or control relating to the sole occasion on which Defendant was physically present on Little Saint James Island.

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Case #9:08-CV-80736-KAM
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