EFTA00622988.pdf
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IN THE CIRCUIT COURT OF THE FIFTEENTH
JUDICIAL CIRCUIT IN AND FOR PALM
BEACH COUNTY, FLORIDA
CASE NO.: 2009 CA 040800 XXXXMB
HONORABLE JUDGE DAVID F. CROW
JEFFREY EPSTEIN,
Plaintiff,
VS.
SCOTT ROTHSTEIN, BRADLEY
J. EDWARDS, and LM,
Defendants.
DEFENDANT SCOTT ROTHSTEIN'S MOTION TO SET ASIDE DEFAULT
Defendant, SCOTT ROTHSTEIN ("Rothstein" or "Defendant"), by and through
•
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undersigned counsel and pursuant to Fla. R. Civ. P. 1.540, hereby moves to set aside the Clerk's
Default entered against Defendant, and alleges and asserts as follows:
1.
On or about December 7, 2009, Plaintiff filed this lawsuit against Rothstein.
2.
Pursuant to the court docket, on or about December 14, 2009, Plaintiff caused the
summons and Complaint to be served upon Rothstein.
3.
Defendant has been housed at the Federal Detention Center, Miami, since
December 1, 2009.
4.
Defendant has been pulled out of his cell many times by Bureau of Prisons staff
since his incarceration to receive service of lawsuits at all hours.
5.
To the best of Defendant's knowledge and belief, he does not recall being served
with this lawsuit. If be was, in fact, properly served with this lawsuit it has been misplaced
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EFTA00622988
within the pile of numerous lawsuits and voluminous amount of other legal papers and has not
been located.
6.
In addition, undersigned counsel was not aware that service had been made or
attempted upon Defendant. Although Defendant is not able to hand any documents to counsel at
the Federal Detention Center pursuant to Bureau of Prison rules and regulations, had the
undersigned had knowledge of this lawsuit, counsel would have contacted Plaintiff's counsel to
obtain a copy of same as has been done with various other suits currently pending against the
Defendant.
7.
Defendant and undersigned counsel only recently learned about the lawsuit and
immediately checked all Court dockets in the tri-county area in an attempt to locate where the
lawsuit was pending and the status thereof.
8.
It was only at that time, through the on-line Clerk Connect docket system that
counsel learned that a Motion for Default was filed on or about December 31, 2009 and a Default
was entered on or about January 21, 2010. Again, to the best of Defendant's knowledge, he was
not served with a copy of the Motion for Default and to date, has not seen a copy of the Motion,
nor has undersigned counsel.
9.
The Defendant would be extremely prejudiced if the court were to disallow the
Defendant's Motion to Set Aside Default and respectfully requests this Court set aside any
default based on excusable neglect.
10.
Complaint.
WHEREFORE, Defendant, Scott Rothstein, respectfully requests that this Court enter an
Order granting Defendant's Motion to Set Aside Default and setting aside the Default.
The Defendant has a viable defense to the allegations contained in the Plaintiffs
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EFTA00622989
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a copy of the foregoing has been famished by U.S. Mail to:
Robert D. Critton, Jr., Esq., Burman Critton Luttier & Coleman, 303 Banyan Boulevard, Suite
400, West Palm Beach, FL 33401 , this // day of February, 2010.
LAW OFFICES OF MARC S. NURIK
Counsel to Scott Rothstein
One East Broward Boulevard, Suite 700
Fort Lauderdale, FL 33301
Tel.: 954-745-5849
Fax: 954-745-3 56
MA
. NURIK
Flo a Bar No. 2'72817
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EFTA00622990
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| Filename | EFTA00622988.pdf |
| File Size | 228.3 KB |
| OCR Confidence | 85.0% |
| Has Readable Text | Yes |
| Text Length | 3,436 characters |
| Indexed | 2026-02-11T23:07:42.654736 |