?66c(CA6 giaVr Electronically Filed 10/02/2013 11:09:05 AM ET 1)5 a le289138:1-5e011-K5/41A5 1liccittiment 165 BURMAN CRITT0R LUTTIER Entered on FLSD Docket 06/19/2009 Page 33 gl°4213/°31 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE NO,: 08-CIV- 80893 - MARRA/JOHNSON JANE DOE, Plaintiff, v. JEFFREY EPSTEIN, Defendant DEFENDANT EPSTEIN.8 RESPONSE TO PLAINTIFF JANE DOE'4 FIRST REQUESTR ADMISSIONS Need a3/Z3/491 N, CEPSTEIN"), by and through his undersigned Defendant, JEFFREY attorneys, serves his r88 tq aintiffs First Request for Admission, dated March 23, 2009. 1. In response, Defendant asserts his U.S. constitutional privileges as specified herein. I Intend to respond to all relevant discovery regarding this lawsuit, however, my attorneys have counseled me that I cannot provide answers to any discovery relevant to this lawsuit and I must accept this advice or risk losing my Sixth Amendment right to effective representation. Accordingly, I assert my federal constitutional rights under the Fifth, Sbcth, and Fourteenth Amendments as guaranteed by the United States Drawing an adverse Inference under these circumstances would unconstitutionally burden my exercise of my constitutional rights, would be Constitution. unreasonable, and would therefore violate the Constitution. 2. In response, Defendant asserts his U.S. constitutional privileges as specified herein. I intend to respond to all relevant discovery regarding this lawsuit, however, my DBIBIT EFTA02773713