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ently exists with regards to the g issue whether the litigation privilege bars a 9 malicious prosecution claim. And I have cited to 10 the case Olson vs. Johnson, 961 Sold. 356, the 11 Second DCA's opinion in 2007, after both Levin and 12 Echevarria. And it holds that malicious 13 prosecution
licious prosecution or abuse of process; 19 rather, it would be through the court with 20 contempt proceedings, perhaps. It would be 21 through the Florida Bar for, you know, 22 inappropriate actions taken by an attorney. It 23 could be perjury for a litigant which would be 24 handled by the state. 25
privilege. Acts committed prior to the filing of the complaint may not, in some cases, enjoy the broad protection of the privilege. For example, in Olson v. Johnson, 961 So.2d 356, 360 (Fla. 2d DCA 2007), the court found that the litigation privilege did not protect the three women who allegedly fil
PHERD, C.J., specially concurring. The only remarkable thing about this case is its existence. As the managing attorney of the Miami office of The Florida Bar explained to Mr. Wolfe (himself a licensed Florida attorney), when he refused to accept staff counsel's initial rejection of his Bar complaint agai
ently exists with regards to the 8 issue whether the litigation privilege bars a 9 malicious prosecution claim. And 2 have cited to 10 the case Olson vs. Johnson, 961 So2d. 356, the 11 Second DCA's opinion in 2007, after both Levin and 12 Echevarria. And it holds that malicious 13 prosecution
licious prosecution or abuse of process; 19 rather, it would be through the court with 20 contempt proceedings, perhaps. It would be 21 through the Florida Bar for, you know, 22 inappropriate actions taken by an attorney. It 23 could be perjury for a litigant which would be 24 handled by the state. 25
ovide. general testimony that would assist Plaintiff. ° __ AFFIDAVIT OF BRADLEYJAMESEDWARDS == i (ssw | 1. - od ainan attorney in good standing with the Florida Bar and admitted to: practice in the - Southern District of Fieri, Jam a PARee in ee law firm of Farmer Jaffe Weissing Edwards Fistos Hd . Lehrman. ee o
Page: HOUSE_OVERSIGHT_013463 →pectfully submitied, . By: _/s/ Robert D. Critton, Jr. ROBERT D. CRITTON, JR., ESQ. Florida Bar No. 224162 [email protected] MICHAEL J. PIKE, ESQ. Florida Bar #617296 [email protected] BURMAN, CRITTON, LUTTIER & COLEMAN, LLP 303 Banyan Boulevard, Suite 400 West Palm Beach, FL 33401 561/842-2820 Phone 561
Page: HOUSE_OVERSIGHT_013480 →EPOSITION of SCOTT ROTHSTEIN (Via Video Conference) Taken on behalf of the Trustee pursuant to a notice of taking deposition FRIEDMAN, LOMBARDI & OLSON 305-371-6677 [of (28 HOUSE_OVERSIGHT_013480 --- PAGE BREAK --- Page 1 IN THE CIRCUIT COURT OF THE FIFTEENTH JUDICIAL CIRCUIT IN AND FOR PALM BEA
Page: HOUSE_OVERSIGHT_013481 →ician against his patients and an expert after he successfully defended a malpractice claim. Also of significance is the Second District’s opinion in Olson v. Johnson, 961 So. 2d 351 (Fla. 2d DCA 2007). In that case, the court observed that the litigation (or judicial) privilege would not apply to bar a
Page: HOUSE_OVERSIGHT_013311 →nformed about subsequent developments in Rothstein’s prosecution. See Letter attached hereto as Exhibit | 92. Jeffrey Epstein filed a-complaint with the Florida Bar against Bradley Edwards, Esa, raising allegations that Edwards and others were involved in the wrongdoing of Scott Rothstein. After investigating the
Page: HOUSE_OVERSIGHT_013357 →Entities connected to both Olson and Florida Bar

Jeffrey Epstein
PERSON
Bradley Edwards
PERSONJack Goldberger
PERSONJane Doe
PERSON
George W. Bush
PERSON
United States
LOCATION
Alan Dershowitz
PERSON
Kenneth Marra
PERSONScott Rothstein
PERSONLeon Black
PERSON
Department of Justice
ORGANIZATION
Donald Trump
PERSON
Prince Andrew
PERSONthe Southern District
LOCATION
Alexander Acosta
PERSON
Paul Cassell
PERSON
Bill Clinton
PERSONMaria Farmer
PERSON
Scarlett Johansson
PERSON
Virginia Giuffre
PERSON