Case 1:20-cr-00330-PAE Document 734-1 Filed 07/15/22 Page 1 off&wipiT A UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK wee 4 UNITED STATES OF AMERICA, No. 20 Cr. 330 (AJN) Vv. GHISLAINE MAXWELL, Defendant. wee 4 Declaration of Jordana H. Feldman in support of Motion to Quash Rule 17(c) Subpoena Jordana H. Feldman, pursuant to 28 U.S.C. § 1746, declares under penalty of perjury as follows: 1. I am the independent, neutral third-party administrator of the Epstein Victims’ Compensation Program (“EVCP” or “Program’”’), the litigation-alternative program established to confidentially resolve claims of sexual abuse against Jeffrey Epstein, his Estate, and other related individuals and entities. pn I respectfully submit this declaration in support of the motion to quash a subpoena directed to me by the defendant Ghislaine Maxwell for certain documents submitted to, communications with, and payments issued by the EVCP. I have personal knowledge of the facts set forth in this declaration. 3. I am a professional in the field of independent claims administration. I previously served as the Deputy Special Master of the September 11th Victim Compensation Fund (“9/11 Fund”), a litigation-alternative program administered by the U.S. Department of Justice to compensate victims who became sick or died as a result of their September 1 1th-related DOJ-OGR-00011467