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Document DOJ-OGR-00025174

AI Analysis

Summary: The document is a request from Epstein's family, through their attorney, to preserve and produce a wide range of documents and evidence related to Epstein's detention and death at the MCC. The request includes specific items such as videos, photographs, logs, and medical records. The attorney is seeking to gather all relevant information related to Epstein's imprisonment and death.
Significance: This document is potentially important because it reveals the extensive efforts made by Epstein's family to gather evidence related to his detention and death, and may be relevant to investigations or litigation surrounding his case.
Key Topics: Preservation of documents related to Jeffrey Epstein's imprisonment and death Request for production of records and evidence related to Epstein's detention and death Specific evidence and records requested, including videos, photographs, and logs
Key People:
  • Jeffrey Epstein - The individual whose detention and death are the subject of the request
  • [Redacted] Esq. - The attorney making the request on behalf of Epstein's family

Full Text

Page 876 for the preservation of any and all documents, records, reports, videos, pictures, physical evidence, electronic communication data, tape recordings, logs, notes, papers, emails and any and all other forms of information that would be in the possession of the MCC, its Warden, their legal counsel, the USMS, the FBI, the Inspector General, the USAO for the SDNY or any other federal or relevant state or city agency that relate to Jeffrey Epstein's imprisonment/detention since July 6, 2019 and that relate particularly but not exclusively to the July 23, 2019 occurrence which was investigated as an attempted suicide by the MCC and the events relating to his death on August 10, 2019. The request encompasses but is not limited to any videos of the 9th floor area in the proximity of his cell during the evening of August 9 through the time Mr. Epstein was taken out of his cell for the last time on August 10, 2019, or videos of the cell itself during that time period, records of the identities of (i.e. MCC employees or independent contractors or anyone else) who were on duty from midnight through 8 AM on August 10, 2019 or otherwise had access to the 9th floor unit where Mr. Epstein was incarcerated during this time period, records of any observations of Mr. Epstein on August 9-10, 2019, any and all photographs of Mr. Epstein or his cell taken on August 10, 2019, any and all electronic or tape recordings or records of any internal communications within the MCC or any external communications by MCC staff on August 9 and August 10, 2019, records of any mental health interviews or assessments of Mr. Epstein at anytime during his detention, records of any decision to put him on or take Mr Epstein off suicide watch, photos of his cell taken on or before August 9 or on or after August 10, 2019, memoranda of interviews with any prisoners who were in Mr. Epstein's SHU unit on the 9th floor on or about July 23 or on August 9-10, 2019 relating to Mr. Epstein, the same request for interview memoranda of any MCC employee or independent contractor or any other person in the MCC midnight-8 AM August 10, 2019, any and all medical and EMS and hospital records from July 23 and/or August 10, 2019, and the future pathology and toxicology and medical examiner's reports. Additionally, we would request the preservation of any note or notes found in Mr. Epstein's cell on August 10, 2019, any ligature or other physical evidence related to his cause of death, any bedding, any medication or vitamins, any log showing who entered or were present in the MCC for the 12 hour period before 6:30 AM on August 10, 2019, as well as a list of inmates who were in Mr. Epstein's unit during the evening of August 9 and the morning of August 10, 2019. We would in addition to the preservation request ask for the production of all of the above. We would receive and retain in subject any information received in response to this request subject to the terms and conditions of our Protective Order. In short, the family requests a preservation and production of any and all records and documents relevant to his detention, treatment, and death. I will send an identical request to [redacted] as well as to [redacted] personal counsel Thank you for your consideration of these requests and your ongoing assistance [redacted] Esq. 20 Park Plaza Suite 1000 Boston, MA 02116 (617) 227-[redacted] Office (617) 901-[redacted] Cell [redacted] Esq. 20 Park Plaza Suite 1000 Boston, MA 02116 (617) 227-[redacted] Office (617) 901-[redacted] Cell ==========================This Electronic Message contains information from Page 1706 DOJ-OGR-00025174