EFTA00608380.pdf
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IN THE CIRCUIT COURT OF THE I-1P I'EENTH
JUDICIAL CIRCUIT IN AND FOR PALM
BEACH COUNTY, FLORIDA
JEFFREY EPSTEIN,
Complex Litigation, Fla. R. Civ. Pro.1201
Plaintiff,
v.
Case No. 50 2009 CA 040800XXXXMB AG
SCOTT ROTHSTEIN, individually, and
BRADLEY J. EDWARDS,
individually,
Defendants.
/
SUBPOENA DUCES TECUM FOR DEPOSITION
THE STATE OF FLORIDA:
Ms.
a
TO:
to appear before a person authorized by law to take depositions
at the law offices of Fowler White Burnett, P.A., 1395 Brickell Ave., 14th Floor, Miami, FL 33131
on the 17'h day of May, 2011, at 10:00 a.m., for the taking of your deposition in this action and to
have with you at that time and place the following:
See Attached Schedule "A"
If you fail to appear, you may be in contempt of court.
You are subpoenaed to appear by the following attorney, and unless excused from this
subpoena by this attorney or the court, you shall respond to this subpoena as directed.
Dated on
, 2011.
Lilly A. Sanchez
For the Court
EFTA00608380
Lilly Ann Sanchez
Fowler White Burnett, P.A.
Attorneys for Plaintiff Jeffrey Epstein
FOWLER WHITE BURNETT P.A.
Espirito Santo Plaza
1395 Brickell Ave.
14th Floor
Miami, FL 33131
Telephone: (305) 789-9200
Fax:
(305) 789-9201
Florida Bar No. 195677
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EFTA00608381
SCHEDULE "A"
I. Definitions
I.
"Document" as used herein means any document known to you and every such
document which can be located or discovered by your reasonably diligent efforts and any original or
copy of such in your custody, possession or control, including, but not limited to:
any printed (whether typed or written by hand), recorded, taped, electronic (e.g., e-mails and
text messages), graphic, or other tangible matter from any source, however produced or
reproduced, whether in draft or otherwise, whether sent or received or neither, including the
original and any copies which contain markings or notations,
all attachments, amendments and addenda of any and all writings,
all correspondence, notes, notations, recordings or other memorials of any type of face to
face or telephone conversations and interviews, meetings or conferences (including, but not
limited to, telephone bills and long distance charge slips), letters, telegrams, facsimiles,
cables, papers, newsletters, memoranda, inter-office communications, releases, agreements,
contracts, books, pamphlets, minutes of meetings, reports, analyses, evaluations, statements,
diaries, calendars, desk pads, appointment books, stenographer's notebooks, transcripts,
worksheets, journals, summaries, lists, tabulations, digests, newspapers, periodical or
magazine materials, and any material underlying, supporting or used in the preparation of
any documents or record whatsoever.
2.
"Written communications" means any Documents evidencing communications
between you and another person or persons of any kind, including but not limited to e-mails and text
messages, transcripts and notes.
3.
"Referring to," "reflecting," "regarding," "supporting," "evidencing" or "relating to"
means in any way directly or indirectly, concerning, disclosing, describing, confirming, or
representing.
4.
"And" and "or" shall be construed in the disjunctive or conjunctive as necessary in
order to bring within the scope of each request all documents which might otherwise be construed to
be outside its scope.
5.
"Epstein" refers to Jeffrey Epstein, the Plaintiff in the captioned lawsuit.
6.
"Sarnoff, "you" or "yours" refers to
7.
"Edwards" means Bradley J. Edwards, a defendant in the captioned lawsuit.
8.
"Rothstein" means Scott W. Rothstein, a defendant in the captioned lawsuit.
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EFTA00608382
9.
"RRA" means the law firm of Rothstein Rosenfeldt & Adler, P.A., and any of its past
or present employees, independent contractors, attorneys, partners, shareholders, investigators,
agents or other representatives and persons purporting to be affiliated with such law firm.
10.
"Searcy Denny" means the law firm of Searcy, Denney, Scarola, Barnhart & Shipley,
P.A. and any of its past or present employees, independent contractors, attorneys, partners,
shareholders, investigators, agents or other representatives of or persons purporting to be affiliated
with such law firm.
11.
"Farmer Jaffe" means the law firm of Farmer, Jaffe, Weissing, Edwards, Fistos &
Lehrman,■., and any of its past or present employees, independent contractors, attorneys, partners,
shareholders, investigators, agents or other representatives of or persons purporting to be affiliated
with such law firm.
12.
"Person" means any individual natural person, partnership, association, firm
(including law firms), corporation, organization, trust, and any of his/her or its agents, employees,
assigns or representatives.
13.
Unless otherwise stated, the time frame for this Subpoena covers matters and
Documents from January 1, 2008, through the present.
H. Documents Requested
I.
Any and all Documents reflecting or memorializing communications, whether oral or
written, between you and Edwards or any past or present employees, independent contractors,
attorneys, partners, shareholders, agents or other representatives of or persons purporting to be
affiliated with Farmer Jaffe regarding any pending or contemplated litigation, past or settled
litigation, investigations, surveillance, incidents of misconduct or claims in any way involving or
alleged to involve Epstein.
2.
Any and all Documents reflecting or memorializing communications between you
and any of the following persons regarding any pending or contemplated litigation, past or settled
litigation, investigations, surveillance, incidents of misconduct or claims in any way involving or
alleged to involve Epstein:
A.
any past or present employees, independent contractors, attorneys, partners,
shareholders, agents or other representatives of or persons purporting to be affiliated with RRA or
representing themselves to have inside knowledge of RRA or its cases against Epstein at an time,
including, without limitation, Rothstein, Mike Fisten, Ken Jenne, Wayne Black, Patrick
Patrick Diaz, Rick Fandry, Cara Holmes, William Berger, and Russell Adler;
B.
Paul Cassell
C.
Spencer Kuvin;
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EFTA00608383
D.
Stuart Mermelstein;
E.
any past or present employees, independent contractors, attorneys, partners,
shareholders, agents or other representatives of or persons purporting to be affiliated with the law
firm of Podhurst Orseck, P.A., including without limitation, Robert Josefsberg;
F.
any other attorneys who disclosed to you that they represent or represented in
the past clients who had claims against Epstein; and
G.
any past or present employees, independent contractors, attorneys, partners,
shareholders, agents or other representatives of or persons purporting to be affiliated with Searcy
Denney, including without limitation John (Jack) Scarola.
3.
Any and all Documents reflecting or memorializing communications between you
and any of the following persons regarding any pending or contemplated litigation, past or settled
litigation, investigations, surveillance, incidents of misconduct or claims in any way involving or
alleged to involve Epstein, including investments in actual or purported settlements of claims
involving or alleged to involve Epstein:
A.
A.J. Discala; and
B.
any persons who claim to have invested with Rothstein, including, without
limitation, those who invested in Razorback Funding, LLC or D3 Capital Club, LLC.
4.
Any and all Documents that you received from any of the persons (including law
firms) identified in items ## 1-3 above.
5.
Any and all Documents that you sent, delivered or transmitted to any of the persons
or law firms identified in items ## 1-3 above.
6.
Any and all Documents relating to, reflecting or memorializing the substance of
interviews you conducted with, or research, information or materials you obtained from, any person
about Epstein, for the purpose of writing a book.
7.
Any and all Documents relating to, reflecting or memorializing the substance of
interviews you conducted with, or research, information or materials you obtained from, any person
about Epstein, for purposes of selling the information, in the form of an article or otherwise, to any
newspaper or other publisher of news, other than a book publisher.
W:1807431SUBDT305-Coachita - Draft! 4-25-MSG.docx
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EFTA00608384
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| Filename | EFTA00608380.pdf |
| File Size | 264.1 KB |
| OCR Confidence | 85.0% |
| Has Readable Text | Yes |
| Text Length | 8,484 characters |
| Indexed | 2026-02-11T23:02:22.594703 |