Case 1:19-cv-10474-NRB Document 9 Filed 12/06/19 Page 1 of 3 LAW OFFICES OF ARTKA L AIOAL A MARIANNE E ElEP.,UNA HON SARIN' KANN; (RET) JO NT S. DA=. MICKA=. T JACZARINO &IRAN H ANEARI ANDREA. M ARR.** stwocr COC,N3C-LOURS R AioALA an"ste oexecotag-Qratess, n 946 C,7114 AVENUE NEW )4113P. NY 10034 Elle-1SP AVELla BROOKLYN. NEW YORK 11228 TEL; (7 I re 291148911 SAX: (7161921.3292 TELIERNONK (2 (2) 4.80011 FADSPIILK (212) 7504207 Of COUNSEL BARATTA CASSANDRA ALTER W. 1401.P WALam R SANTO PETER 8' _Mt wwwAcm.m.Avecom VIA ECF December 5, 2019 Honorable Naomi Reice Buchwald United States District Court - Southern District of New York 500 Pearl Street New York, NY 10007 Re: 9. Damn K Indyke and Richard D. Kahn, in their capacities as the executors of the Estate OfJeffrey Edward Epstein, Civil Action No. 19-cv-10474 Dear Judge Buchwald, We are counsel to non-party Alan Dershowitz (hereinafter "Dershowitz"). We respectfully submit this letter to request a pre-motion conference in compliance with Rule 2.8 of the Court's Individual Practice Rules, and seek permission to file a motion for limited intervention in order to move to strike redundant, immaterial, impertinent, and scandalous matter contained in (hereinafter "Fanner") complaint pursuant to F.R.C.P. Rule 12 1. and separately, movellei r osion l of sanctions, and an award attorney's fees and costs, against and her attorneys at Boies Schiller Flexner LLP (hereinafter "BSF"). Alternatively, we request that eCourt exercise its authority pursuant to F.RC.P. Rule 12(f)(1) and strike the offending content sua sponte. has gratuitously included an impertinent, irrelevant and false allegation in her Complaint. The offending paragraph (39) reads as follows: Eventually, Epstein modified Maria's job duties to focus on monitoring and keeping records of who entered Epstein's New York mansion. In her position at the front door, she observed that Maxwell was regularly bringing school-aged girls to the mansion and that the