Dear.. You have asked me to provide documents supporting my presentation to the U.S. attorney's office. They are attached, but let me give you a brief road map that you can send on. The basic facts cannot and will not be disputed: 1) lawyers chose to publicly accuse me of heinous crimes thou h the could easil have sealed the documents or redacted m name. 3) At about the same time as I was being publicly accused, and those accusa widely publicized in the media, and his parme secretly reached out to Leslie Wexner and told him that was accusing him of having sex with her on multiple occasions in the same places as she claimed she had sex with m nd met with Wexner's lawyers, John Zieger and his son at New York office and spoke by phone amperous occasions. I corroborated this information with John Zieger, and iimself acknowledged it to me on several occasions as well. I don't think this will be denied. 4) Zieger told me that and also told Zieger that Wexner had asked to wear lingerie of the type sold by Victoria's Secret, a company that Wexner owns. The evidence of a lingerie re uest can be found in n o n case no. hic is current y un er seal, as well as in her deposition ieger also relayed this information to me when we spoke by phone and I doubt he will deny it. 5) Zieger told me that he had told that the accusation was not true and that in any event, any possible suit would be barred by the statute of limitations. Zieger asked me if I knew of any way arotigdothe statute of limitations, and I said no, because was at leasMrears old, and the alle E.2,1 events had taken place fifteen years earlier. Zieger will not deny this. 6) = and fully realize that the statute of limitations bars any lawsuit for these alleged for the underlying torts in 7) later told me that they had decided not to sue Wexner because he was "charitable." What we don't know is whether "resolved" his case against Wexner and whether he now believes or