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Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 1 of 33 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE NO.: 08-CIV-80119-MARRA/JOHNSON JANE DOE NO. 2, Plaintiff, vs. JEFFREY EPSTEIN, Defendant. Related cases: 08-80232, 08-08380, 08-80381, 08-80994, 08-80993, 08-80811, 08-80893, 09-80469, 09-80591, 09-80656, 09-80802, 09-81092 FILED D C. NOV 12 2009 STEAM M. LARMORE CLERK U.S. 01ST. CT. 5.0. OF FLA. W.V.B. DEFENDANT EPSTEIN'S EMERGENCY MOTION FOR ORDER FOR THE PRESERVATION OF EVIDENCE, & INCORPORATED MEMORANDUM OF LAW fAS TO JANE DOE v. EPSTEIN, Case No. 08-CIV-80893 Marra/Johnsonl Defendant, Jeffrey Epstein, (hereinafter "Epstein"), by and through his undersigned attorneys, pursuant to Rules 26, 34, and 37, Fed.R.Civ.P. (2009), moves for entry of an order for the preservation of evidence directed to Bradley J. Edwards, a "partner" in Rothstein Rosenfeldt Adler, P.A. ("RRA"); Stuart Rosenfeldt as partner/shareholder and receiver of RRA; and Herbert Stettin, as Court Appointed Receiver for RRA. In support, Epstein states: 1. This motion is being filed as an emergency motion due to the fact that RRA law firm's implosion has been developing over the last six-seven days associated with serious ethical and criminal implications. Various documents and information (written and electronic) could intentionally or inadvertently be destroyed by those who seek to EFTA00726092 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 2 of 33 Jane Doe No .2 v. Epstein Case No. 08-CIV-801189 Epstein's Emergency Motion for Order for the Preservation of Evidence & Incorporated Memorandum of Law Page 2 of 9 protect themselves from potential criminal or bar related violations. Epstein seeks only to preserve the status quo as to the relief sought. 2. Relevant to this motion, Epstein is currently the named Defendant in three civil actions — one of which is filed in federal court (Jane Doe v. Epstein, Case No. 08-CIV- 80893, U.S.D.C. S.D. Fla.), and two of which have been filed in state court in the 15th Judicial Circuit Court, Palm Beach County, State of Florida, (L.M. v. Esptein, Case No. 502008CA028051XXXXMd v. Epstein, Case No. 502008CA028058XXXXMB AB), (hereinafter "civil actions"). 3. In each of these civil actions, each of the Plaintiffs is represented by Bradley J. Edwards, William Berger and the RRA law firm, 1109 NE 2d Street, Hallendale Beach, Florida 33009-8515. Attorneys Russell Alder and Peter Feaman have also appeared for the Plaintiffs. 4. Based upon recent and ongoing media reports, statements of law enforcement personnel (FBI and others), and statements of attorneys for investors (as more fully detailed below herein), RRA and Scott Rothstein and possibly other attorneys and/or members, illegally and unethically solicited investors to invest monies in and/or to buy a financial interest in the potential outcome or settlement of pending or prospective lawsuits, or settled lawsuits and operated a Ponzi scheme. Based upon media reports and statements by persons with knowledge of this investment scam, RRA, by and through its attorneys and members, would seek monies from investors in exchange for a promise of a financial interest in a structured settlement or outcome of potential or pending legal actions, or to purchase an interest therein. EFTA00726093 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 3 of 33 Jane Doe No.2 v. Epstein Case No. 08-CIV-801189 Epstein's Emergency Motion for Order for the Preservation of Evidence & Incorporated Memorandum of Law Page 3 of 9 5. As part of this scheme, RRA, by and through its attorneys and members, may have unethically and illegally: A. Sold an interest in non-settled personal injury lawsuits (which are non- assignable and non-transferable) or sold a non-existent structured settlements (including those cases involving Epstein); B. Reached agreements to share attorneys fees with non-lawyers; C. Used investor money to pay plaintiffs "up front" money such that plaintiffs would refuse to settle; D. Conducted searches, wiretaps or other activities in violation of state or federal laws and Bar rules. 6. Any such actions by RRA, through its attorneys and members, would be a violation of various Florida Bar Rules prohibiting the improper sharing of fees or costs, and various conflict of issues rules to name a few. This of course raises many questions, such as: how can any RRA attorney in these civil actions represent its client's interests and give unbiased legal counsel when an outside investor has been promised a financial interest in the outcome of the action?; if a plaintiff is receiving payments from investment monies while her action is ongoing, this clearly would impact the plaintiff's decision of whether or not to settle the current litigation; are the Plaintiffs motivated to, in essence, commit perjury or shade their testimony to gain the greatest return on the investment? In essence, if RRA was counseling its Plaintiffs to either knowingly or unknowingly participate in an improper and unethical investment scheme and the client was a participant, her case may be subject to dismissal. EFTA00726094 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 4 of 33 Jane Doe No.2 v. Epstein Case No. 08-CIV-801189 Epstein's Emergency Motion for Order for the Preservation of Evidence & Incorporated Memorandum of Law Page 4 of 9 7. Miami attorney and developer, Alan Sakowitz, was quoted in a recent article as saying that he had met with Rothstein as a potential investor in August of 2009, but became suspicious. He stated "I was convinced it was all a Ponzi scheme and I notified the FBI in detail how Scotty was hiding behind a legitimate law firm to peddle fake investments." Attorney Sakowitz was also quoted as saying Rothstein had sophisticated eavesdropping equipment and former law enforcement officers who would sift through a potential defendants' garbage. 8. Respected Ft. Lauderdale attorney William Scherer represents multiple Rothstein related investors. He indicated in an article that RRA/Rothstein had used the "Epstein Ploy ... as a showpiece as bait. That's the way he raised all the money. He would used legitimate cases as bait for luring investors into fictional cases. All the cases he allegedly structured were fictional. I don't believe there was a real one in there." 9. Relevant to Epstein and these three civil actions, the evidence as detailed below herein is required to be preserved to ensure that any and all evidence of (a) improper or illegal payments to the three Plaintiffs, (b) the specific details of the investment scheme (who, what, when, how much), (c) all written agreements between investors, Rothstein, RRA and any Plaintiff, (d) investigator billings and services, and any other evidence relevant to the investment scheme which has been estimated to be in the range of $500 million, according to media reports, is not destroyed by RRA and Bradley Edwards; Stuart Rosenfeldt; Herbert Stettin, as Court Appointed Receiver, in each of their capacities as Records Custodian, employees, agents, associates, partners or other representative for RRA. EFTA00726095 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 5 of 33 Jane Doe No.2 v. Epstein Case No. 08-CIV-801189 Epstein's Emergency Motion for Order for the Preservation of Evidence & Incorporated Memorandum of Law Page 5 of 9 10. Defendant has previously served Subpoenas Duces Tecum for Deposition, dated November 5, 2009, upon Bradley J. Edwards, Esq.; Rothstein Rosenfeldt Adler, PA; Stuart Rosenfeldt, Esq., as Records Custodian For RRA; and Herbert Stettin, as the Court Appointed Receiver for RRA. The Subpoenas, which were filed in the state court action of L.M. v. Epstein, referenced above, are attached as Composite Exhibit A. Epstein believes RRA and the persons identified herein exercise sole custody and control over all the items identified in the subpoenas. The items identified are directly relevant to the impact of the described investment scheme on the civil actions in which Esptein is named as a Defendant. 11. Defendant seeks an Order preserving the items specifically identified in the attached Subpoenas, Composite Exhibit A, and as well any investigators (firm employed or third party) billings and services documents and directing Bradley J. Edwards, Esq.; Rothstein Rosenfeldt Adler, PA; Stuart Rosenfeldt, Esq., as Records Custodian For RRA; and Herbert Stettin as Court Appointed Receiver as receiver for RRA to neither destroy, tamper with, or alter any evidence relevant to the investment scheme described above herein. A proposed order is attached as Exhibit B. 12. When there is a good faith belief that evidence may be lost or destroyed, the Court has the authority to enter an order preserving such evidence. See AT&T Mobility LLC v. Dynamic Cellular Corp. 2008 WL 2139518 (S.D. Fla. May 7, 2008). Tracfone Wireless, Inc. v. King Trading, Inc. 2008 WL 918243, at *1 (N.D. Tex. Mar. 13, 2008) (finding "a legitimate concern for the continuing existence and maintenance of the integrity of the evidence in question absent an order preserving the evidence."). This EFTA00726096 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 6 of 33 Jane Doe No.2 v. Epstein Case No. 08-CIV-801189 Epstein's Emergency Motion for Order for the Preservation of Evidence & Incorporated Memorandum of Law Page 6 of 9 evidence, most of which is in the sole custody, dominion and control of the persons and entity identified herein is critical and indispensable to Epstein's ability to fully defend the actions brought against him and to evaluate and analyze whether the Plaintiffs and their attorney have been acting in good faith and in truthful manner when it comes to discovery and attempts to resolve the actions; and also whether unethical, illegal, or fraudulent conduct has occurred which would preclude Plaintiffs from pursuing their claims, or whether Plaintiffs and their attorneys irresolvable conflicts. Epstein's concerns outweigh any potential harm to the Plaintiffs from the entry of an order preserving the evidence. There is no burden to the Plaintiffs as it the lawyers, law firm and receiver, identified herein that possess and control the items identified in the subpoenas. WHEREFORE, Epstein respectfully requests this Court enter an Order to preserve all evidence relevant to the investment scheme as described herein and to further prohibit the persons and RRA from tampering, destroying or altering any such evidence and to grant any additional relief the Court deems just and proper. Rule 7.1 A. 3. Certification of Pre-Filing Conference Counsel for Defendant in good faith conferred with Plaintiffs counsel, Bradley Edwards, by telephone and Mr. Edwards does not oppose the entry of an order. Counsel for Defendant wrote and enclosed copies of this motion and proposed agreed orders to Kendall Coffey, Esq., counsel for Stuart A. Rosenfeldt, individually, and Rothstein Rosenfeldt Adler, P.A., Coffey Burlington 2699 South Bayshore Drive, Penthouse, Miami, Florida 33133, and Paul Singerman, Esq., counsel for Herbert EFTA00726097 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 7 of 33 Jane Doe No2 v. Epstein Case No. 08-CIV-801189 Epstein's Emergency Motion for Order for the Preservation of Evidence & Incorporated Memorandum of Law Page 7 of 9 Stettin, Esq. as Court Appointed Receiver, Berger Singerman, 2000 South Biscayne Blvd., Suite 1000, Miami, FL 33131. At the time this motion is being filed, the undersigned has not received a response from Mr. Coffey or Mr. Singerm By: s/Robert D. Critton ROBERT D. CRITTON, JR., :SQ. Florida Bar No. 224162 Certificate of Service I HEREBY CERTIFY that a true copy of the foregoing was electronically filed with the Clerk of the Court using CM/ECF. I also certify that the foregoing document is being served this day on all counsel of record identified on the following Service List in the manner specified by CM/ECF on this 12th day of November 2009. A true copy was served by fax and U.S. Mail to Kendall Coffey, Esq., counsel for Stuart A. Rosenfeldt, individually, and Rothstein Rosenfeldt Adler, P.A., Coffey Burlington, 2699 South Bayshore Drive, Penthouse, Miami, Florida 33133, and Paul Singerman, Esq., counsel for Herbert Stettin, Esq. as Court Appointed Receiver, Berger Singerman, 2000 South Biscayne Blvd., Suite 1000, Miami, FL 33131. Respectfully submitted, By: s/Robert D. Critton ROBERT D. CRITTON, JR., Florida Bar No. 224162 MICHAEL J. PIKE, ESQ. Florida Bar #617296 LUTTIER & COLEMAN 303 Banyan Boulevard, Suite 400 min RP FL 33401 P ach, Phone Fax (Counsel for Defendant Jeffrey Epstein) EFTA00726098 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 8 of 33 Jane Doe No.2 v. Epstein Case No. 08-CIV-801189 Epstein's Emergency Motion for Order for the Preservation of Evidence 8 Incorporated Memorandum of Law Page 8 of 9 Certificate of Service Jane Doe No. 2 v. Jeffrey Epstein Case No. 08-CV-80119-MARRA/JOHNSON Stuart S. Mermelstein, Esq. Adam D. Horowitz, Esq. Mermelstein & Horowitz, P.A. 18205 Biscayne Boulevard Suite 2218 Miami, FL 33160 Counsel for Plaintiffs In related Cases Nos. 08-80069, 08- 80119, 08-80232, 08-80380, 08-80381, 08-80993, 08-80994 Richard Horace Willits, Esq. Richard H. Willits, P.A. 2290 10th Avenue North Suite 404 Lake Worth, FL 33461 Counsel for Plaintiff in Related Case No. 08-80811 Jack Scarola, Esq. Jack P. Hill, Esq. Searcy Denney Scarola Barnhart & Shipley, P.A. 2139 Palm Beach Lakes Boulevard Beach FL 33409 Counsel for Plaint' Brad Edwards, Esq. Rothstein Rosenfeldt Adler 401 East Las Olas Boulevard Suite 1650 Fort Lau letdate FL 33301 Phone: Fax: Counsel for Plaintiff in Related Case No. 08-80893 Paul G. Cassell, Esq. Pro Hac Vice 332 South 1400 E, Room 101 Salt Lake City, UT 84112 Co-counsel for Plaintiff Jane Doe Isidro M. Garcia, Esq. Garcia Law Firm, P.A. 224 Datura Street, Suite 900 West Palm Beach, FL 33401 Counsel for Plaintiff in Related Case No. 08-80469 Robert C. Josefsberg, Esq. Katherine W. Ezell, Esq. Pod hurst Orseck, P.A. 25 West Flagler Street, Suite 800 Miami. FL 33130 EFTA00726099 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 9 of 33 Jane Doe No.2 v. Epstein Case No. 08-CIV-801189 Epstein's Emergency Motion for Order for the Preservation of Evidence & Incorporated Memorandum of Law Page 9 of 9 Bruce Reinhart, Esq. Bruce E. Reinhart, P.A. 250 S. Australian Avenue Suite 1400 P Im Beach FL 33401 Counsel for Defendant Theodore J. Leopold, Esq. Spencer T. Kuvin, Esq. Leopold, Kuvin, P.A. 2925 PGA Blvd., Suite 200 Palm Beach Gardens, FL 33410 Counsel for Plaintiff in Related Case No. 08-08804 kezelle.podhurst.com Counsel for Plaintiffs in Related Cases Nos. 09-80591 and 09-80656 Jack Alan Goldberger, Esq. Atterbury Goldberger & Weiss, P.A. 250 Australian Avenue South Suite 1400 West Palm Beach, FL 33401-5012 Counsel for Defendant Jeffrey Epstein EFTA00726100 • Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 10 of 33 Plaintiff, v. JEFFREY EPSTEIN, Defendant. IN THE COURT OF THE FIFTEENTH JUDICIAL CIRCUIT, IN AND FOR PALM BEACH COUNTY, FLORIDA CASE NO. 502008CA028051XXXXMB AD SUBPOENA DUCES TECUM FOR DEPOSITION THE STATE OF FLORIDA TO: Stuart Rosenfeldt, Esq., as Records Custodian For Rothstein Rosenfeldt & Adler, P.A. 401 E. Las Olas Blvd., Suite #1650 Ft. Lauderdale, FL 33301 YOU ARE COMMANDED to appear at Prose Court Reporting, 101 NE 3rd Avenue, Suite #1500, Ft. Lauderdale, FL 33301, on November 19, 2009, 1:00 p.m., bring with you the following: See attached Exhibit A If you fail to appear, you may be in contempt of court. You are subpoenaed by the attorney whose name appears on this subpoena and unless excused from this subpoena by the attorney or the Court, you shall respond to this subpoena as directed. DATED this 5th day of November. 2009. ROBERT D. ITTON, JR. (Attorneys f Defendant Jeffrey Epstein) Burman, Cri ton, Luttier & Coleman 515 N. Flagler Drive, Suite 400 West Palm Beach, FL 33401 BY: ROBERT D CRITTON, JR., ESQ. For the Co rt Nett pie EXHIBIT A EFTA00726101 • Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 11 of 33 EXHIBIT A - RECORDS CUSTODIAN DEFINITIONS AND INSTRUCTIONS A. "Document" means any written or graphic matter or other means of preserving thought or expression, and all tangible things from which information can be processed or transcribed, including the originals and all non-identical copies, whether different from the original by reason of any notation made on such copy or otherwise, including, but not limited to, correspondence, memoranda, notes, messages, letters, purchase orders, telegrams, teletype, telefax bulletins, e-mails, electronic data, meetings, reports, or other communications, interoffice and intro-office telephone calls, diaries, chronological data, minutes, books, reports, charts, ledgers, invoices, worksheets, receipts, returns, trade information regarding fabric, carpets, samples etc..., computer printouts, prospectuses, financial statements, schedules, affidavits, contracts, cancelled checks, transcripts, statistics, surveys, magazine or newspaper articles, releases (and any and all drafts, alterations and modifications, changes and amendments of any of the foregoing), graphs or aural records or representations of any kind, including, without limitation, photographs, charts, graphs, microfiche, microfilm, video tape, recordings, motion pictures and electronic, mechanical or electric recordings or representations of any kind (including, without limitation, tapes, cassettes, discs and recordings), and including the file and file cover. The term "Document" also means any and all computer records, data, files, directories, electronic mail, and information of whatever kind whether printed out or stored on or retrievable from floppy diskette, compact diskette, magnetic tape, optical or magnetic-optical disk, computer memory, hard drive, zip drive, jaz drive, orb drive, microdisk, external memory stick, software, or any other fixed or removable storage media, including without limitation, all back-up copies, EFTA00726102 • Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 12 of 33 dormant or remnant files, and any and all miscellaneous files and/or file fragments, regardless of the media on which they reside and regardless of whether the data consists in an active file, deleted file, or file fragment. B. "Communications" means any oral or written statement, dialogue, colloquialism, discussion, conversation or agreement. C. "Plaintiff' means v. Jeffrey Epstein, Palm Beach County Case #502008O10280512OOOO1B) v. Jeffrey Epstein, Palm Beach County Case #502008CA028058X1OOCMB) v. Jeffrey Epstein, United States District Court Case #08-civ-80893-Marra/Johnson), and any other person who is or was represented by Rothstein Rosenfeldt & Adler that has not yet filed an action against Jeffrey Epstein, and any employee, agent or attorney for any plaintiff and/or any other person acting for or on behalf of any plaintiff, or under her authority and control. D. "RRA" means Rothstein Rosenfeldt & Adler, P.A. E. "Money" means any tangible thing of value. REQUESTED ITEMS 1. For the time period from January 1, 2008, to present, any and all documents reflecting communication between, or on behalf of RRA, its employees or agents or clients, and any third party regarding a purported settlement of any litigation between Jeffrey Epstein and RRA and/or its clients, or the financing of any litigation between Jeffrey Epstein and RRA and/or its clients, including but not limited to: a. Representations that litigation with Jeffrey Epstein has been settled; b. Soliciting or receiving money in return for settlement funds alleged paid or to be paid on behalf of Jeffrey Epstein; c. Soliciting money to help finance ongoing litigation against Jeffrey Epstein; d. Soliciting money to be given to, or used on behalf of, the plaintiffs in litigation against Jeffrey Epstein; EFTA00726103 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 13 of 33 e. Communication between third party investors or potential investors and the plaintiffs or their attorneys involved in litigation against Jeffrey Epstein; f. Payments made by RRA to or on behalf of any plaintiff 2. Any and all fee agreements that exist or have existed between the following: a. Any Plaintiff and Bradley J. Edwards or any entity with which he was associated b. Any Plaintiff and the law firm RRA 3. All documents reflecting the sale, purchase or investment by any person or entity (company, corporation, LLC, etc...) in the prospective settlement or resolution of any plaintiffs case against Jeffrey Epstein. 4. All emails, data, correspondence, memos, or similar documents exchanged between Bradley J. Edwards and Scott W. Rothstein, and/or any attorney or representative of RRA and any investor or third party (person or entity) in any plaintiff's case where the investor provided financing to include, money and/or any other consideration to Bradley J. Edwards, any plaintiff, or RRA with regard to the settlement or potential settlement of any plaintiff's case against Jeffrey Epstein. 5. All agreements or documents of any nature which were entered into by an investor relating to any plaintiff's case with Jeffrey Epstein and any of the following: a. Scott W. Rothstein b. Bradley J. Edwards c. RRA e. any entity formed by RRA or Bradley J. Edwards or Scott W. Rothstein to create investment opportunities for third party investors to invest in any plaintiff's case against Jeffrey Epstein 6. All fee sharing agreements between Bradley J. Edwards, RRA, or Scott W. Rothstein and/or any other attorney or investor relating to any aspect of any plaintiff's case. 7. All investment packages, or information, settlement agreements, and any other documents made available to any investor by Bradley J. Edwards, RRA, Scott W. Rothstein or any of Scott W. Rothstein's entity to solicit "investors" for or in any plaintiff's case. 8. The names and addresses of all individuals or entities who invested in any aspect of any plaintiff's case against Jeffrey Epstein. 9. All assignments or agreements between any investor (person or entity) and any plaintiff and/or her attorneys regarding any plaintiff's case (cause of action) against Jeffrey Epstein. EFTA00726104 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 14 of 33 10. All documents evidencing payment of any bill or costs in each plaintiffs case against Jeffrey Epstein, and the source(s) for said payments of any costs. 11. All press releases, tapes of interviews, transcripts of interviews generated by Bradley J. Edwards or any existing or former RRA attorney, regarding any plaintiff's case against Jeffrey Epstein. EFTA00726105 . Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 15 of 33 Plaintiff, v. JEFFREY EPSTEIN, Defendant. IN THE COURT OF THE FIFTEENTH JUDICIAL CIRCUIT, IN AND FOR PALM BEACH COUNTY, FLORIDA CASE NO. 502008CA028051XXXXMB AD SUBPOENA DUCES TECUM FOR DEPOSITION THE STATE OF FLORIDA TO: Herbert Stettin, as receiver for Rothstein Rosenfeldt Adler, PA 6401 Hammock Drive Coral Gables, FL 33156-2105 YOU ARE COMMANDED to appear at Prose Court Reporting, 101 NE 3rd Avenue, Suite #1500, Ft. Lauderdale, FL 33301, on November 19, 2009, 4:00 p.m., bring with you the following: See attached Exhibit A If you fail to appear, you may be in contempt of court. You are subpoenaed by the attorney whose name appears on this subpoena and unless excused from this subpoena by the attorney or the Court, you shall respond to this subpoena as directed. DATED this 5'h day of November, 2009. BY: ROBERT D. C ITTON, JR. (Attorneys for efendant Jeffrey Epstein) Burman, Critton, Luttier & Coleman 515 N. Flagler Drive, Suite 400 West Palm Beach, FL 33401 ROBERT . CRITTON, JR., ESQ. For the C urt EFTA00726106 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 16 of 33 EXHIBIT A - RECORDS CUSTODIAN DEFINITIONS AND INSTRUCTIONS A. "Document" means any written or graphic matter or other means of preserving thought or expression, and all tangible things from which information can be processed or transcribed, including the originals and all non-identical copies, whether different from the original by reason of any notation made on such copy or otherwise, including, but not limited to, correspondence, memoranda, notes, messages, letters, purchase orders, telegrams, teletype, telefax bulletins, e-mails, electronic data, meetings, reports, or other communications, interoffice and intra-office telephone calls, diaries, chronological data, minutes, books, reports, charts, ledgers, invoices, worksheets, receipts, returns, trade information regarding fabric, carpets, samples etc..., computer printouts, prospectuses, financial statements, schedules, affidavits, contracts, cancelled checks, transcripts, statistics, surveys, magazine or newspaper articles, releases (and any and all drafts, alterations and modifications, changes and amendments of any of the foregoing), graphs or aural records or representations of any kind, including, without limitation, photographs, charts, graphs, microfiche, microfilm, video tape, recordings, motion pictures and electronic, mechanical or electric recordings or representations of any kind (including, without limitation, tapes, cassettes, discs and recordings), and including the file and file cover. The term "Document" also means any and all computer records, data, files, directories, electronic mail, and information of whatever kind whether printed out or stored on or retrievable from floppy diskette, compact diskette, magnetic tape, optical or magnetic-optical disk, computer memory, hard drive, zip drive, jaz drive, orb drive, microdisk, external memory stick, software, or any other fixed or removable storage media, including without limitation, all back-up copies, EFTA00726107 • Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 17 of 33 dormant or remnant files, and any and all miscellaneous files and/or file fragments, regardless of the media on which they reside and regardless of whether the data consists in an active file, deleted file, or file fragment. B. "Communications" means any oral or written statement, dialogue, colloquialism. discussion, conversation or agreement. C. "Plaintiff" means v. Jeffrey Epstein, Palm Beach County Case 14502008CA02805OOOOO1B) v. Jeffrey Epstein, Palm Beach County Case #502008CA0280.58,000CMB), v. Jeffrey Epstein, United States District Court Case #08-civ-80893-Marra/Johnson), and any other person who is or was represented by Rothstein Rosenfeldt & Adler that has not yet filed an action against Jeffrey Epstein, and any employee, agent or attorney for any plaintiff and/or any other person acting for or on behalf of any plaintiff, or under her authority and control. D. "RRA" means Rothstein Rosenfeldt & Adler, P.A. E. "Money" means any tangible thing of value. REQUESTED ITEMS 1. For the time period from January 1, 2008, to present, any and all documents reflecting communication between, or on behalf of RRA, its employees or agents or clients, and any third party regarding a purported settlement of any litigation between Jeffrey Epstein and RRA and/or its clients, or the financing of any litigation between Jeffrey Epstein and RRA and/or its clients, including but not limited to: a. Representations that litigation with Jeffrey Epstein has been settled; b. Soliciting or receiving money in return for settlement funds alleged paid or to be paid on behalf of Jeffrey Epstein; c. Soliciting money to help finance ongoing litigation against Jeffrey Epstein; d. Soliciting money to be given to, or used on behalf of, the plaintiffs in litigation against Jeffrey Epstein; EFTA00726108 • Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 18 of 33 e. Communication between third party investors or potential investors and the plaintiffs or their attorneys involved in litigation against Jeffrey Epstein; f. Payments made by RRA to or on behalf of any plaintiff 2. Any and all fee agreements that exist or have existed between the following: a. Any Plaintiff and Bradley J. Edwards or any entity with which he was associated b. Any Plaintiff and the law firm RRA 3. All documents reflecting the sale, purchase or investment by any person or entity (company, corporation, LLC, etc...) in the prospective settlement or resolution of any plaintiff's case against Jeffrey Epstein. 4. All emails, data, correspondence, memos, or similar documents exchanged between Bradley J. Edwards and Scott W. Rothstein, and/or any attorney or representative of RRA and any investor or third party (person or entity) in any plaintiff's case where the investor provided financing to include, money and/or any other consideration to Bradley J. Edwards, any plaintiff, or RRA with regard to the settlement or potential settlement of any plaintiff's case against Jeffrey Epstein. 5. All agreements or documents of any nature which were entered into by an investor relating to any plaintiff's case with Jeffrey Epstein and any of the following: a. Scott W. Rothstein b. Bradley J. Edwards c. RRA e. any entity formed by RRA or Bradley J. Edwards or Scott W. Rothstein to create investment opportunities for third party investors to invest in any plaintiff's case against Jeffrey Epstein 6. All fee sharing agreements between Bradley J. Edwards, RRA, or Scott W. Rothstein and/or any other attorney or investor relating to any aspect of any plaintiff's case. 7. All investment packages, or information, settlement agreements, and any other documents made available to any investor by Bradley J. Edwards, RRA, Scott W. Rothstein or any of Scott W. Rothstein's entity to solicit "investors" for or in any plaintiff's case. 8. The names and addresses of all individuals or entities who invested in any aspect of any plaintiff's case against Jeffrey Epstein. 9. All assignments or agreements between any investor (person or entity) and any plaintiff and/or her attorneys regarding any plaintiff's case (cause of action) against Jeffrey Epstein. EFTA00726109 . Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 19 of 33 10. All documents evidencing payment of any bill or costs in each plaintiff's case against Jeffrey Epstein, and the source(s) for said payments of any costs. 11. All press releases, tapes of interviews, transcripts of interviews generated by Bradley J. Edwards or any existing or former RRA attorney, regarding any plaintiff's case against Jeffrey Epstein. EFTA00726110 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 20 of 33 Plaintiff, v. JEFFREY EPSTEIN, Defendant. IN THE COURT OF THE FIFTEENTH JUDICIAL CIRCUIT, IN AND FOR PALM BEACH COUNTY, FLORIDA CASE NO. 502008CA028051)0O(XMB AD SUBPOENA DUCES TECUM FOR DEPOSITION THE STATE OF FLORIDA TO: Bradley J. Edwards, Esq. 1109 NE 2nd Street Hallendale Beach, FL 33009-8515 -or- Rothstein Rosenfeldt Adler, PA 1109 NE 2nd Street Hallendate Beach, FL 33009-8515 YOU ARE COMMANDED to appear at Prose Court Reporting, 101 NE 3rd Avenue, Suite #1600, Ft Lauderdale, FL 33301, on November 19, 2009, 9:00 a.m., bring with you the following: See attached Exhibit A If you fail to appear, you may be in contempt of court. You are subpoenaed by the attorney whose name appears on this subpoena and unless excused from this subpoena by the attorney or the Court, you shall respond to this subpoena as directed. DATED this 5th day of November. 2009. BY: ROBERT D. QRITTON, JR. (Attorneys f Defendant Jeffrey Epstein) Burman, Critton, Luttier & Coleman 515 N. Flagler Drive, Suite 400 Whet palm Renrh, FL 33401 ROBERT /D. CRITTON, JR., ESQ. For the ourt EFTA00726111 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 21 of 33 EXHIBIT A DEFINITIONS AND INSTRUCTIONS A. "Document" means any written or graphic matter or other means of preserving thought or expression, and all tangible things from which information can be processed or transcribed, including the originals and all non-identical copies, whether different from the original by reason of any notation made on such copy or otherwise, including, but not limited to, correspondence, memoranda, notes, messages, letters, purchase orders, telegrams, teletype, telefax bulletins, e-mails, electronic data, meetings, reports, or other communications, interoffice and intra-office telephone calls, diaries, chronological data, minutes, books, reports, charts, ledgers, invoices, worksheets, receipts, returns, trade information regarding fabric, carpets, samples etc..., computer printouts, prospectuses, financial statements, schedules, affidavits, contracts, cancelled checks, transcripts, statistics, surveys, magazine or newspaper articles, releases (and any and all drafts, alterations and modifications, changes and amendments of any of the foregoing), graphs or aural records or representations of any kind, including, without limitation, photographs, charts, graphs, microfiche, microfilm, video tape, recordings, motion pictures and electronic, mechanical or electric recordings or representations of any kind (including, without limitation, tapes, cassettes, discs and recordings), and including the file and file cover. The term "Document" also means any and all computer records, data, files, directories, electronic mail, and information of whatever kind whether printed out or stored on or retrievable from floppy diskette, compact diskette, magnetic tape, optical or magnetic-optical disk, computer memory, hard drive, zip drive, jaz drive, orb drive, microdisk, external memory stick, software, or any other fixed or removable storage media, including without limitation, all back-up copies, EFTA00726112 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 22 of 33 dormant or remnant files, and any and all miscellaneous files and/or file fragments, regardless of the media on which they reside and regardless of whether the data consists in an active file, deleted file, or file fragment. B. "Communications" means any oral or written statement, dialogue, colloquialism, discussion, conversation or agreement. C. "Plaintiff' means NOMa. Jeffrey Epstein, Palm Beach County Case #502008CA028051XXXXMB), #502008CA028058XXXXMB),I v Jeffrey Epstein, Palm Beach County Case v. Jeffrey Epstein, United States District Court Case 1108-civ-80893-Marraflohnson), and any other person who is or was represented by Rothstein Rosenfeldt & Adler that has not yet filed an action against Jeffrey Epstein, and any employee, agent or attorney for any plaintiff and/or any other person acting for or on behalf of any plaintiff, or under her authority and control. D. "RRA" means Rothstein Rosenfeldt & Adler, P.A. E. "Money" means any tangible thing of value. $EOUESTED ITEMS 1. For the time period from January I, 2008, to present, any and all documents reflecting communication between, or on behalf of RRA, its employees or agents or clients, and any third party regarding a purported settlement of any litigation between Jeffrey Epstein and RRA and/or its clients, or the financing of any litigation between Jeffrey Epstein and RRA and/or its clients, including but not limited to: a. Representations that litigation with Jeffrey Epstein has been settled; b. Soliciting or receiving money in return for settlement funds alleged paid or to be paid on behalf of Jeffrey Epstein; c. Soliciting money to help finance ongoing litigation against Jeffrey Epstein; d. Soliciting money to be given to, or used on behalf of, the plaintiffs in litigation against Jeffrey Epstein; EFTA00726113 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 23 of 33 e. Communication between third party investors or potential investors and the plaintiffs or their attorneys involved in litigation against Jeffrey Epstein; f. Payments made by RRA to or on behalf of any plaintiff 2. Any and all fee agreements that exist or have existed between the following: a. Any Plaintiff and Bradley J. Edwards or any entity with which he was associated b. Any Plaintiff and the law firm RRA 3. All documents reflecting the sale, purchase or investment by any person or entity (company, corporation, LLC, etc...) in the prospective settlement or resolution of any plaintiff's case against Jeffrey Epstein. 4. All emails, data, correspondence, memos, or similar documents exchanged between Bradley J. Edwards and Scott W. Rothstein, and/or any attorney or representative of RRA and any investor or third party (person or entity) in any plaintiff's case where the investor provided financing to include, money and/or any other consideration to Bradley J. Edwards, any plaintiff, or RRA with regard to the settlement or potential settlement of any plaintiff's case against Jeffrey Epstein. 5. All agreements or documents of any nature which were entered into by an investor relating to any plaintiff's case with Jeffrey Epstein and any of the following: a. Scott W. Rothstein b. Bradley J. Edwards c. RRA e. any entity formed by RRA or Bradley J. Edwards or Scott W. Rothstein to create investment opportunities for third party investors to invest in any plaintiff's case against Jeffrey Epstein 6. All fee sharing agreements between Bradley J. Edwards, RRA, or Scott W. Rothstein and/or any other attorney or investor relating to any aspect of any plaintiff's case. 7. All investment packages, information, settlement agreements, and any other documents made available to any investor by Bradley J. Edwards, RRA, Scott W. Rothstein or any of Scott W. Rothstein's entity to solicit "investors" for or in any plaintiff's case. 8. The names and addresses of all individuals or entities who invested in any aspect of any plaintiff's case against Jeffrey Epstein. 9. All assignments or agreements between any investor (person or entity) and any plaintiff and/or her attorneys regarding any plaintiff's case (cause of action) against Jeffrey Epstein. EFTA00726114 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 24 of 33 10. All documents evidencing payment of any bill or costs in each plaintiff's case against Jeffrey Epstein, and the source(s) for said payments of any costs. 11. All press releases, tapes of interviews, transcripts of interviews generated by Bradley J. Edwards or any existing or former RRA attorney, regarding any plaintiff's case against Jeffrey Epstein. EFTA00726115 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 25 of 33 Plaintiff, v. JEFFREY EPSTEIN, Defendant. IN THE COURT OF THE FIFTEENTH JUDICIAL CIRCUIT, IN AND FOR PALM BEACH COUNTY, FLORIDA CASE NO. 502008CA028051)OOC(MB AD SUBPOENA DUCES TECUM FOR DEPOSITION THE STATE OF FLORIDA TO: Bradley J. Edwards, Esq. 1109 NE 2n° Street Hallandale Beach, FL 33009.8515 -or- Rothstein Rosenfeidt Adler, PA 1109 NE 2n° Street Hallandale Beach, FL 33009-8515 YOU ARE COMMANDED to appear at Prose Court Reporting, 101 NE 3r' Avenue, Suite #1500, Ft Lauderdale, FL 33301, on November 19, 2009, 9:00 a.m., bring with you the following: See attached Exhibit A If you fail to appear, you may be in contempt of court. You are subpoenaed by the attorney whose name appears on this subpoena and unless excused from this subpoena by the attorney or the Court, you shall respond to this subpoena as directed. DATED this 5th day of November. 2009. BY: ROBERT D. TTON, JR. (Attorneys f Defendant Jeffrey Epstein) Burman, Critton, Luttier & Coleman 515 N. Flagler Drive, Suite 400 West Palm Beach, FL 33401 ROBERT/D. CRITTON, JR., ESQ. For the ourt EFTA00726116 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 26 of 33 EXHIBIT A DEFINITIONS AND INSTRUCTIONS A. "Document" means any written or graphic matter or other means of preserving thought or expression, and all tangible things from which information can be processed or transcribed, including the originals and all non-identical copies, whether different from the original by reason of any notation made on such copy or otherwise, including, but not limited to, correspondence, memoranda, notes, messages, letters, purchase orders, telegrams, teletype, telefax bulletins, e-mails, electronic data, meetings, reports, or other communications, interoffice and intra-office telephone calls, diaries, chronological data, minutes, books, reports, charts, ledgers, invoices, worksheets, receipts, returns, trade information regarding fabric, carpets, samples etc..., computer printouts, prospectuses, financial statements, schedules, affidavits, contracts, cancelled checks, transcripts, statistics, surveys, magazine or newspaper articles, releases (and any and all drafts, alterations and modifications, changes and amendments of any of the foregoing), graphs or aural records or representations of any kind, including, without limitation, photographs, charts, graphs, microfiche, microfilm, video tape, recordings, motion pictures and electronic, mechanical or electric recordings or representations of any kind (including, without limitation, tapes, cassettes, discs and recordings), and including the file and file cover. The term "Document" also means any and all computer records, data, files, directories, electronic mail, and information of whatever kind whether printed out or stored on or retrievable from floppy diskette, compact diskette, magnetic tape, optical or magnetic-optical disk, computer memory, hard drive, zip drive, jaz drive, orb drive, microdisk, external memory stick, software, or any other fixed or removable storage media, including without limitation, all back-up copies, EFTA00726117 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 27 of 33 dormant or remnant files, and any and all miscellaneous files and/or file fragments, regardless of the media on which they reside and regardless of whether the data consists in an active file, deleted file, or file fragment. B. "Communications" means any oral or written statement, dialogue, colloquialism, discussion, conversation or agreement. C. "Plaintiff" mean #502008CA0280512OOOO1B), #502008CA028058.1OOOO1B), I Jeffrey Epstein, Palm Beach County Case Jeffrey Epstein, Palm Beach County Case v. Jeffrey Epstein, United States District Court Case #08-civ-80893-Marrallohnson), and any other person who is or was represented by Rothstein Rosenfeldt & Adler that has not yet filed an action against Jeffrey Epstein, and any employee, agent or attorney for any plaintiff and/or any other person acting for or on behalf of any plaintiff, or under her authority and control. D. "RRA" means Rothstein Rosenfeldt & Adler, P.A. E. "Money" means any tangible thing of value. REOUESTED ITEMS 1. For the time period from January 1, 2008, to present, any and all documents reflecting communication between, or on behalf of RRA, its employees or agents or clients, and any third party regarding a purported settlement of any litigation between Jeffrey Epstein and RRA and/or its clients, or the financing of any litigation between Jeffrey Epstein and RRA and/or its clients, including but not limited to: a. Representations that litigation with Jeffrey Epstein has been settled; b. Soliciting or receiving money in return for settlement funds alleged paid or to be paid on behalf of Jeffrey Epstein; c. Soliciting money to help finance ongoing litigation against Jeffrey Epstein; d. Soliciting money to be given to, or used on behalf of, the plaintiffs in litigation against Jeffrey Epstein; EFTA00726118 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 28 of 33 e. Communication between third party investors or potential investors and the plaintiffs or their attorneys involved in litigation against Jeffrey Epstein; 1. Payments made by RRA to or on behalf of any plaintiff 2. Any and all fee agreements that exist or have existed between the following: a. Any Plaintiff and Bradley J. Edwards or any entity with which he was associated b. Any Plaintiff and the law firm RRA 3. All documents reflecting the sale, purchase or investment by any person or entity (company, corporation, LLC, etc...) in the prospective settlement or resolution of any plaintiff's case against Jeffrey Epstein. 4. All emails, data, correspondence, memos, or similar documents exchanged between Bradley J. Edwards and Scott W. Rothstein, and/or any attorney or representative of RRA and any investor or third party (person or entity) in any plaintiff's case where the investor provided financing to include, money and/or any other consideration to Bradley J. Edwards, any plaintiff, or RRA with regard to the settlement or potential settlement of any plaintiffs case against Jeffrey Epstein. 5. All agreements or documents of any nature which were entered into by an investor relating to any plaintiff's case with Jeffrey Epstein and any of the following: a. Scott W. Rothstein b. Bradley J. Edwards c. RRA e. any entity formed by RRA or Bradley J. Edwards or Scott W. Rothstein to create investment opportunities for third party investors to invest in any plaintiffs case against Jeffrey Epstein 6. All fee sharing agreements between Bradley J. Edwards, RRA, or Scott W. Rothstein and/or any other attorney or investor relating to any aspect of any plaintiff's case. 7. All investment packages, information, settlement agreements, and any other documents made available to any investor by Bradley J. Edwards, RRA, Scott W. Rothstein or any of Scott W. Rothstein's entity to solicit "investors" for or in any plaintiff's case. 8. The names and addresses of all individuals or entities who invested in any aspect of any plaintiffs case against Jeffrey Epstein. 9. All assignments or agreements between any investor (person or entity) and any plaintiff and/or her attorneys regarding any plaintiffs case (cause of action) against Jeffrey Epstein. EFTA00726119 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 29 of 33 10. All documents evidencing payment of any bill or costs in each plaintiffs case against Jeffrey Epstein, and the source(s) for said payments of any costs. 11. All press releases, tapes of interviews, transcripts of interviews generated by Bradley J. Edwards or any existing or former RRA attorney, regarding any plaintiff's case against Jeffrey Epstein. EFTA00726120 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 30 of 33 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE NO.: 08-CIV-80119-MARRA/JOHNSON Plaintiff, vs. JEFFREY EPSTEIN, Defendant. Related cases: 08-80232, 08-08380, 08-80381, 08-80994, 08-80993, 08-80811, 08-80893, 09-80469, 09-80591, 09-80656, 09-80802, 09-81092 ORDER ON DEFENDANT EPSTEIN'S MOTION FOR ORDER FOR THE PRESERVATION OF EVIDENCE This matter came before the Court on Defendant JEFFREY EPSTEIN's Motion for Order for the Preservation of Evidence, & Incorporated Memorandum of Law, dated November 12, 2009. It is HEREBY ORDERED and ADJUDGED that Defendant's motion is GRANTED. Accordingly, Bradley J. Edwards, Stuart Rosenfeldt, as a partner/shareholder in RRA and Receiver of RRA and Herbert Stettin, as Court Appointed Receiver for RRA, are HEREBY ordered and directed to immediately preserve, and neither tamper with or alter the items of evidence identified in the Subpoenas Duces Tecum For Deposition directed to them and attached as Composite Exhibit A to Defendant's motion and also identified below herein absent further order of this Court: EXHIBITS EFTA00726121 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 31 of 33 Jane Doe No.2 v. Epstein Case No. 08-CIV-801189 Order on Epstein's Emergency Motion for Order for the Preservation of Evidence Page 2 of 4 1. For the time period from January 1, 2008, to present, any and all documents reflecting communication between, or on behalf of RRA, its employees or agents or clients, and any third party regarding a purported settlement of any litigation between Jeffrey Epstein and RRA and/or its clients, or the financing of any litigation between Jeffrey Epstein and RRA and/or its clients, including but not limited to: a. Representations that litigation with Jeffrey Epstein has been settled; b. Soliciting or receiving money in return for settlement funds alleged paid or to be paid on behalf of Jeffrey Epstein; c. Soliciting money to help finance ongoing litigation against Jeffrey Epstein; d. Soliciting money to be given to, or used on behalf of, the plaintiffs in litigation against Jeffrey Epstein; e. Communication between third party investors or potential investors and the plaintiffs or their attorneys involved in litigation against Jeffrey Epstein; f. Payments made by RRA to or on behalf of any plaintiff 2. Any and all fee agreements that exist or have existed between the following: a. Any Plaintiff and Bradley J. Edwards or any entity with which he was associated b. Any Plaintiff and the law firm RRA 3. All documents reflecting the sale, purchase or investment by any person or entity (company, corporation, LLC, etc...) in the prospective settlement or resolution of any plaintiffs case against Jeffrey Epstein. 4. All emails, data, correspondence, memos, or similar documents exchanged between Bradley J. Edwards and Scott W. Rothstein, and/or any attorney or representative of RRA and any investor or third party (person or entity) in any plaintiffs case where the investor provided financing to include, money and/or any other consideration to Bradley J. Edwards, any plaintiff, or RRA with regard to the settlement or potential settlement of any plaintiffs case against Jeffrey Epstein. EFTA00726122 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 32 of 33 Jane Poe No.2 v. Epstein Case No. 08-CIV-801189 Order on Epstein's Emergency Motion for Order for the Preservation of Evidence Page 3 of 4 5. All agreements or documents of any nature which were entered into by an investor relating to any plaintiffs case with Jeffrey Epstein and any of the following: a. Scott W. Rothstein b. Bradley J. Edwards c. RRA e. any entity formed by RRA or Bradley J. Edwards or Scott W. Rothstein to create investment opportunities for third party investors to invest in any plaintiffs case against Jeffrey Epstein 6. All fee sharing agreements between Bradley J. Edwards, RRA, or Scott W. Rothstein and/or any other attorney or investor relating to any aspect of any plaintiffs case. 7. All investment packages, information, settlement agreements, and any other documents made available to any investor by Bradley J. Edwards, RRA, Scott W. Rothstein or any of Scott W. Rothstein's entity to solicit "investors" for or in any plaintiffs case. 8. The names and addresses of all individuals or entities who invested in any aspect of any plaintiff's case against Jeffrey Epstein. 9. All assignments or agreements between any investor (person or entity) and any plaintiff and/or her attorneys regarding any plaintiff's case (cause of action) against Jeffrey Epstein. 10. All documents evidencing payment of any bill or costs in each plaintiffs case against Jeffrey Epstein, and the source(s) for said payments of any costs. 11. All press releases, tapes of interviews, transcripts of interviews generated by Bradley J. Edwards or any existing or former RRA attorney, regarding any plaintiffs case against Jeffrey Epstein, and; 12. All investigator (RRA employed and third parties) billing and invoice records reflecting services rendered/performed relating to any case involving Jeffrey Epstein. DONE and ORDERED this day of November, 2009. EFTA00726123 Case 9:08-cv-80119-KAM Document 405 Entered on FLSD Docket 11/12/2009 Page 33 of 33 Jane Doe No.2 v. Epstein Case No. 08-CIV-801189 Order on Epstein's Emergency Motion for Order for the Preservation of Evidence Page 4 of 4 Linnea R. Johnson United States Magistrate Judge Courtesy copies: The Honorable Kenneth A. Marra Counsel of Record Kendall Coffey, Esq. Coffey Burlington Office in the Grove, Penthouse 2699 South Bayshore Drive Miami, FL 33133 Paul Singerman, Esq. Berger Singerman, 2000 South Biscayne Blvd. Suite 1000 Miami, FL 33131 EFTA00726124

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