EPSTEIN
page 8 / 185 . OCR, unverified
to satisfy the United States' interest. Epstein also understands that it is his obligation to use
his best efforts to convince the Judge of the 15th Judicial Circuit to accept Epstein's binding
recommendation regarding the sentence to be imposed. and understands that the failure to
do so will be a breach of the agreement.
In consideration of Epstein's agtmnent to plead guilty and to provide compensation
in the manner described above, if Epstein successfully fulfills all of the terms and conditions
of this agreement, the United States also agrees that it will not institute any criminal charges
against any potential co-conspirators of Epstein, including but not limited to Sarah Kellen,
Adriana Ross, Lesley Groff, or Nadia Marcinkova. Further, upon execution of this
agreement and a plea agreement with the State Attorney's Office, the federal Orand Jwy
investigation will be suspended, and all pending f cderal Grand Jury subpoenas will be held
in abeyance unless and until the defendant violates any tenn of this agreement. The
defendant likewise agrees to withdraw his pending motion to intervene 11J1d to quash certain
grand jury subpoenas. Both parties agree to maintain their evidence, specifically evidence
requested by or directly related to the grand jury subpoenas that have been issued, and
including certain computer equipment, inviolate until all of the terms of this agreement have
been satisfied.
Upon the successful completion of the tenns of this agreement, all
outstanding grand jury subpoenas shall be deemed withdrawn.
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By signing this agreement, Epstein asserts and certifies that each of these terms is
material to this agreement and is supported by independent consideration and that a breach
of any one of these conditions allows the United States to elect to terminate the agreement
and to investigate and prosecute Epstein and any other individual or entity for any and ail
federal offenses.
By signing this agreement, Epstein asserts and certifies that he is aware of the fact that
the Sixth Amendment to the Constitution of the United States provides that in aJI criminal
prosecutions the accused shall enjoy the right to a speedy and public trial. Epstein further
is aw~ that Rule 48(b) of the Federal Rules of Criminal Procedure provides that the Court
may dismiss an indictment, information, or complaint for unnecessary delay in presenting
a charge to the Grand Jury, filing an information, or in bringing a defendant to trial. Epstein
hereby requests that the United States Attorney for the Southern District ofFloridadofer such
prosecution. Epstein agrees and consents that any delay from the date of this Agreement to
the date of initiation of prosecution, as provided for in the terms expressed herein, shall be
deemed to be a necessary delay at his own request, and he hereby waives any defense to such
prosecution on the ground that such delay operated to deny him rights under Rule 48(b) of
the Federal Rules of Criminal ProcedW'e and the Sixth Amendment to the Constitution of the
United States to a speedy trial or to bar the prosecution by reason of the running of the statute
of limitations for a period of months equal to the period between the signing of this
.agreement and the breach of this agreement as to those offenses that were the subject of the
gnmdjury's investigation. Epstein further asserts and certifies that he understands that the
Fifth Amendment and Rule 7(a) of the Federal Rules of Criminal Procedure provide that all
felonies must be charged in an indictment presented to a grand jury. Epstein hereby agrees
and consents that, if a prosecution against him is instituted for any offense that was the
subject of the grand jW')'' s investigation, it may be by way of an Information signed and filed
by the United States Attorney, and hereby waives his right to be indicted by a grand jury as
to any such offense.
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By signing this agreement. Epstein asserts and certifies that the above has been read
aud explained to him. Epstein hereby statos that he Dlderstanm the conditions of this Non-
Prosecution Agreement and agrcea to comply with them.
Dated: ___
_
Dated: ___ _
Dated: ___ _
By:
R. ALEXANDER ACOSTA
UNITED STA TES ATTORNEY
A. MARIE VILLAFAAA
ASSISTANT U.S. A'ITORNEY
OERAID LEFCOURT, ESQ.
COUNSEL TO IBFFREY EPSTEIN
LILLY ANN SANCHEZ. ESQ.
A'ITORNBY FOR JEFFREY EPSTEIN
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