EFTA00722577.pdf
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IN
THE
CIRCUIT
COURT
OF
THE
FIFTEENTH JUDICIAL CIRCUIT, N
AND
FOR PALM BEACH COUNTY, FLORIDA
JEFFREY EPSTEIN
Complex Litigation, Fla. R. Civ. Pro.1201
Plaintiff,
Case No. 50 2009CA040800)OOO(MB AG
v.
SCOTT ROTHSTEIN, individually,
BRADLEY J. EDWARDS,
individually, and M., individually,
Defendants.
/
EPSTEIN'S FIRST REQUEST FOR ADMISSIONS TO EDWARDS
Plaintiff, JEFFREY EPSTEIN, pursuant to Ha. R. Civ. P. 1.370, requests that
Defendant, BRADELY J. EDWARDS ("Edwards" and/or "You" and/or "Your") admit or
deny the following:
1.
Admit that You caused to be filed a Complaint (DE #1) on behalf of M. in
the case styled M. v. Jeffrey Epstein, Case No. 09-CV-81092 in the United States District
Court, Southern District of Florida, Miami Division on July 24, 2009. A copy of the
Complaint is attached as Exhibit A.
2.
Admit that a Complaint (DE #1) was filed on behalf of M. in the case styled
MI. v. Jeffrey Epstein, Case No. 09-CV-81092 in the United States District Court, Southern
District of Florida, Miami Division, under your name, Florida Bar number and e-mail
address while you were employed by Rothstein, Rosenfeldt Sr Adler ("RRA").
3.
Admit that the Complaint (DE #1) in Case No. 09-CV-81092 is two hundred
thirty-four (234) pages, contains six hundred forty-four (644) paragraphs and one hundred
fifty-six (156) counts.
EFTA00722577
Epstein v. Rothstein, et al.
Case No. 50 2009CA040800)OCOMB AG
Epstein's First Request for Admissions to Edwards
Page 2 of 6
4.
Admit that in Your March 23, 2010 deposition you testified under oath (at
page 226) that you had no other professional e-mail addresses while at RRA except
5.
Admit that a Motion to Keep True Name Sealed in Envelope (DE #2) was
filed in Case No. 09-CV-81092 under Your name, Florida Bar number and email address.
6.
Admit that a Motion to Proceed Anonymously (DE #3) was filed on behalf of
LM in Case No. 09-CV-81092 under Your name, Florida Bar number and e-mail address.
7.
Admit that the Motion to Proceed Anonymously (DE #3) asserted that LM
"was an identified victim by the FBI and U.S. Attorney's office in a criminal investigation
against the Defendant, Jeffrey Epstein."
8.
Admit that the assertion in Request No. 13 is false.
9.
Admit that in Your March 23, 2010 deposition You testified under oath (at
page 12), there are only three cases in existence against Jeffrey Epstein in which You
represent a plaintiff (Jane Doe,
and M.).
10.
Admit that the testimony described in Request No. 16 is false.
11.
Admit that in Your March 23, 2010 deposition you testified under oath You
only filed three cases against Jeffrey Epstein.
12.
Admit that the testimony described in Request No. 18 is false.
13.
Admit that in paragraph 8 of Your answer to the Complaint in this action,
You asserted that "RRA never filed a lawsuit on behalf of M."
14.
Admit that the assertion described in Request No. 20 is false.
15.
Admit that in paragraph 8 of Your answer to the Complaint in this action,
EFTA00722578
Epstein v. Rothstein, et al.
Case No. 50 2009CA040800XXXXIAB AG
Epstein's First Request for Admissions to Edwards
Page 3 of 6
You asserted that lawsuits filed on behalf of M. and other victims "were filed by
EDWARDS prior to any association with or knowledge of RRA."
16.
Admit that the assertion described in Request No. 22 is false.
17.
Admit that in paragraph 17 of your answer to the Complaint in this action,
You admitted that " [r]elevant to this action, EPSTEIN is currently named as a defendant in
three civil actions alleging, inter alia, sexual assault and battery that were handled by RRA
and its attorneys including EDWARDS prior to its implosion - one of which is filed in
federal court (Jane Doe v. Epstein, Case No. 08-CIV-80893, =I.
Fla.)(Jane Doe is a
named Defendant herein), and two of which have been filed in state court in the 15th
Judicial Circuit Court, Palm Beach County, State of Florida,
a
.
v. Epstein, Case No.
502008CA028051XXXXMB AB;
v. Epstein, Case No. 502008CA028058)OOCXMB AB),
(hereinafter collectively referred to as the "Civil Actions," and IM is a named Defendant
herein). The Civil Actions were all filed in August and September of 2008."
18.
Admit that in Your answer to the Complaint in this action, you never
referenced the Complaint (DE #1) in Case No. 09-CV-81092.
19.
Admit that in Your March 23, 2010 deposition, You never disclosed the
existence of the Complaint (DE #1) in Case No. 09-CV-81092.
20.
Admit that in Your March 23, 2010 deposition, You never mentioned a fourth
case, Case No. 09-CV-81092, in responding to numerous questions which referenced that
You only had three pending cases against Epstein. kg 3/23/10 Deposition of Brad
Edwards at 12, 26, 59-60, 71, 80, 83-84,124, 301-03.
21.
Admit that Scott Rothstein was involved in the decision to file the Complaint
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Epstein v. Rothstein, et al.
Case No. 50 2009CA040800)0000a AG
Epstein's First Request for Admissions to Edwards
Page 4 of 6
(DE #1) in Case No. 09-CV-81092.
22.
Admit that Russell Adler was involved in the decision to file the Complaint
(DE #1) in Case No. 09-CV-81092.
23.
Admit that Ken Jenne was involved in the decision to file the Complaint (DE
#1) in Case No. 09-CV-81092.
24.
Admit that Michael Fisten was involved in the decision to file the Complaint
(DE #1) in Case No. 09-CV-81092.
25.
Admit that in paragraph 9 of the Complaint (DE #1) in Case No. 09-CV-81092
it is alleged that Epstein "coerc[ed] or forc[ed] the then-minor M. to perform oral sex on
him."
26.
Admit that in her September 24, 2009 deposition LM testified under oath (at
page 71), that she never had oral sex with Epstein.
27.
Admit that the allegations described in Request No. 34 are false.
28.
Admit that in paragraph 12 of the Complaint (DE #1) in Case No. 09-CV-
81092 it is alleged that Epstein "knowingly transported M. and other minors in interstate
commerce with the intent that the [sic] M. engage in prostitution..."
29.
Admit that in her February 9, 2010 deposition LM testified under oath (at
page 611) she never traveled with Epstein.
30.
Admit that in paragraph 18 of the Complaint (DE #1) in Case No. 09-CV-
81092,
is incorrectly identified as Jane Doe 101.
31.
Admit that
had previously filed an action against Epstein on September
11, 2008 styled M. v. Jeffrey Epstein, Case No. 502008CA028051XXXXMB in the Fifteenth
EFTA00722580
Epstein v. Rothstein, et al.
Case No. 50 2009CAO40800XXXXMB AG
Epstein's First Request for Admissions to Edwards
Page 5 of 6
Judicial Circuit in and for Palm Beach County, Florida.
32.
Admit that the lawsuit described in Request No. 46 was pending in July 2009
when the Complaint (DE #1) in Case No. 09-CV-81092 was filed.
33.
Admit that the lawsuit described in Request No. 46 is still currently pending
and seeks damages based on theories other than exclusive remedies pursuant to 18 U.S.C.
§2255.
34.
Admit that the individual who signed the Complaint (DE #1) in Case No. 09-
CV-81092 is currently a partner at the law firm of Farmer, Jaffe, Weissing, Edwards, Fistos
& Lehrman, PL.
35.
Admit that the individual who signed the Complaint (DE #1) in Case No. 09-
CV-81092 is currently an employee at the law firm of Farmer, Jaffe, Weissing, Edwards,
Fistos Sr Lehrman, PL.
Certificate of Service
I HEREBY CERTIFY that a true copy of the foregoing was sent by fax and U.S. Mail
to the following addressees on this
day of Tune
, 2010:
Gary M. Farmer, Jr., Esq.
Farmer, Jaffe, Weissing, Edwards, Fistos Sr
Lehrman, PL
425 N. Andrews Avenue, Suite 2
Fort Lauderdale, FL 33301
954-524-2822 - fax
Attorneys for Defendant,..
Jack Scarola, Esq.
Searcy Denney Scarola Barnhart Si Shipley,
P.A
Jack Alan Goldberger, Esq.
Atterbury Goldberger & Weiss, P.A.
250 Australian Avenue South
Suite 1400
West Palm Beach, FL 33401-5012
Fax: 561-835-8691
Co-Counsel for Defendant Jeffrey Epstein
MARC S. NURIK, ESQ.
Law Offices of Marc S. Nurik
One East Broward
Boulevard
EFTA00722581
Epstein v. Rothstein, et al.
Case No. 50 2009CAO40800XXXXMB AG
Epstein's First Request for Admissions to Edwards
Page 6 of 6
2139 Palm Beach Lakes Blvd.
West Palm Beach, FL 33409
FL 33301
Suite 700
383-9424F
Attorneys for Defendant Bradley Edwards
Attorneys for Defendant Scott Rothstein
FOWLER WHITE BURNETT, P.A.
Attorneys for Plaintiff, Jeffrey Epstein
Espirito Santo Plaza
1395 Brickell Avenue, 14th Floor
*3131
305.789.9201 fax
By:
Lilly A. Sanchez, Esq.
Florida Bar No. 195677
EFTA00722582
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| Filename | EFTA00722577.pdf |
| File Size | 357.5 KB |
| OCR Confidence | 85.0% |
| Has Readable Text | Yes |
| Text Length | 8,614 characters |
| Indexed | 2026-02-12T13:51:53.782808 |