'f JACK A GOLDBERGER JASON S. WEISS • Board Certified Criminal Tiial Attorney t Heather of New jersey & Florida Bars October 5, 2016 Via Email: [email protected] Honorable Judge Robert W. Sweet District Court Judge United States District Court 500 Pearl Street New York, NY 10007 RE: v. Maxwell Case No. 15-cv-07433-RWS Dear Judge Sweet, This firm represents witness Jeffrey Epstein in the above referenced matter. On September 30, 2016, Defendant Maxwell filed a Motion to Compel Testimony of Jeffrey Epstein. Mr. Epstein's response pursuant to Local Civil Rule 6.1 would be due on October 7, 2016. I have discussed this matter with counsel for Defendant Maxwell, Jeff Pagliuca, who has no objection to the granting of a ten day extension for filing a response to Defendant's Motion to Compel Testimony of Jeffrey Epstein. Accordingly, Mr. Epstein requests that the time period for filing his response be extended until October 17, 2016. Very t yours, Jack A. Goldberger Admitted Pro hac vice JAG/slm cc: Jeff Pagliuca, Esq. One Cleartake Centre, Suite 1400 250 Australian Avenue South West Palm Beach, FL 33401 p 561.659.8300 f 561.835.8691 www.agwpa.com EFTA02801117