° JOSEPH R.ATTERBURY 41- JACK A. GOLDBERGER ° JASON S.WEISS • Board Certified Criminal Trial Attorney ii t Member of New Jersey & Florida Bars January 5, 2010 Bruce Bowman, Jr. RE: Albert Hill, Ill v. Tom Hunt, et al Case No. 07-cv-02020-O Dear Mr. Bowman, It was a pleasure talking to you on January 4, 2010 concerning my client, Jeffrey Epstein. Mr. Epstein has been subpoenaed for deposition on January 26, 2010 in Palm Beach County, Florida in the above referenced matter. Initially my client is unavailable on that date. Would you please contact me to arrange another proposed date. Additionally, I have had an opportunity to discuss your lawsuit with my client and have reviewed with him the document production request attached to the subpoena. Mr. Epstein advises me that he has no documents requested in your Exhibit "A" and has no knowledge of any of the issues involved in your lawsuit. As we discussed on the telephone, please contact me closer to the date that you reschedule the deposition so we may discuss this matter and avoid the necessity of the deposi ion, if possible. Very jrNlyJ ours, Jac1 dbld rger JA /slm EFTA01154809
