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RELEASE ("Agreement") is entered into as of this 29 day of November, 2018 (the "Effective Date"), by and between Bradley.). Edwards ("Edwards") and Jeffrey Epstein ("Epstein"). Each of Edwards and Epstein is sometimes hereinafter referred to as a "Party", and both of them together are sometimes hereinafter ref
t") is entered into as of this 29 day of November, 2018 (the "Effective Date"), by and between Bradley.). Edwards ("Edwards") and Jeffrey Epstein ("Epstein"). Each of Edwards and Epstein is sometimes hereinafter referred to as a "Party", and both of them together are sometimes hereinafter referred to a
t. IN WITNESS WHEREOF, die panics hereto base executed this Agreement as of the (hue of the day and year first above-written. IIRADLEYJ. IDNVARDS TREY EPSTEIN STATE OF FL( /RIDA COI 'YIN OF On the day of November in ilk. year 2018. before nie. undersigned, personally appeared BRAI)I.EY.J. EDWARDS. per
y and between Bradley.). Edwards ("Edwards") and Jeffrey Epstein ("Epstein"). Each of Edwards and Epstein
wards Releasees, not to sue or initiate, prosecute, participate in or otherwise pursue any claim or cause of action against the Epstein Releasees or the Edwards Releasees, as the case may be, arising out of, relating to or connected with any action, matter or thing as to which a release has been granted pursuant to S
AND RELEASE ("Agreement") is entered into as of this day of November, 2018 (the "Effective Date"), by and among Bradley J. Edwards ("Edwards") and Jeffrey Epstein ("Epstein"). WHEREAS, Edwards is the counter-plaintiff and Epstein is the counter- defendant in connection with a counterclaim Edwards asserted agai
ement") is entered into as of this day of November, 2018 (the "Effective Date"), by and among Bradley J. Edwards ("Edwards") and Jeffrey Epstein ("Epstein"). WHEREAS, Edwards is the counter-plaintiff and Epstein is the counter- defendant in connection with a counterclaim Edwards asserted against Epstei
by and among Bradley J. Edwards ("Edwards") and Jeffrey Epstein ("Epstein"). WHEREAS, Edwards is the cou
ards Releasees, not to sue or initiate, prosecute, participate in or otherwise pursue any claim or cause of action against the Epstein Releasees or the Edwards Releasees, as the case may be, arising out of, relating to or 3 EFTA00788415 connected with any action, matter or thing as to which a release has been gran
AND RELEASE ("Agreement") is entered into as of this day of November, 2018 (the "Effective Date"), by and among Bradley J. Edwards ("Edwards") and Jeffrey Epstein ("Epstein"). WHEREAS, Edwards is the counter-plaintiff and Epstein is the counter- defendant in connection with a counterclaim Edwards asserted agai
ement") is entered into as of this day of November, 2018 (the "Effective Date"), by and among Bradley J. Edwards ("Edwards") and Jeffrey Epstein ("Epstein"). WHEREAS, Edwards is the counter-plaintiff and Epstein is the counter- defendant in connection with a counterclaim Edwards asserted against Epstei
by and among Bradley J. Edwards ("Edwards") and Jeffrey Epstein ("Epstein"). WHEREAS, Edwards is the cou
ards Releasees, not to sue or initiate, prosecute, participate in or otherwise pursue any claim or cause of action against the Epstein Releasees or the Edwards Releasees, as the case may be, arising out of, relating to or 3 EFTA00788406 connected with any action, matter or thing as to which a release has been gran
Entities connected to both Jeffrey Epstein and the Edwards Releasees
Darren Indyke
PERSON
George W. Bush
PERSON
Donald Trump
PERSON
Bradley Edwards
PERSONScott Rothstein
PERSONDonald W. Hafele
PERSONJudicial Circuit Court
ORGANIZATIONthe "Court
ORGANIZATIONthe "Edwards Releasors
ORGANIZATIONthe Settlement Amount of this Agreement
ORGANIZATIONthe Edwards Released Parties
ORGANIZATION