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ases being litigated against me by Edwards, including Edwards noticing the depositions of famous dignitaries and celebrities such as Bill Clinton, Donald Trump and David Copperfield, who appeared to have no connection whatsoever to any claims of misconduct made by Edwards's clients. Equally consistent wit
ies and celebrities such as Bill Clinton, Donald Trump and David Copperfield, who appeared to have no c
ignitaries and celebrities such as Bill Clinton, Donald Trump and David Copperfield, who appeared to have
d to acquire larger and more elaborate office space and equipment in order to enrich the personal wealth of persons employed by and associated with the RRA Enterprise. Prior to filing the initial Complaint in the Action, consistent with the allegations made by the press, in the Razorback Complaint, and in the Ro
Cases being litigated against me by Edwards, including Edwards noticing the depositions of famous dignitaries and celebrities such as Bill Clinton, Donald Trump and David Copperfield, who appeared to have no connection whatsoever to any claims of misconduct made by Edwards's clients. 12. Equally consistent
ies and celebrities such as Bill Clinton, Donald Trump and David Copperfield, who appeared to have no co
ignitaries and celebrities such as Bill Clinton, Donald Trump and David Copperfield, who appeared to have
d to acquire larger and more elaborate office space and equipment in order to enrich the personal wealth of persons employed by and associated with the RRA Enterprise. 11. Prior to filing the initial Complaint in the Action, consistent with the allegations made by the press, in the Razorback Complaint, and in th
ing eight months, when the cases were not being prosecuted by RRA, may not have even exceeded $25,000. (Ex. 2 at 6; R. 813-14). -14- EFTA00612496 Donald Trump and David Copperfield, who appeared to have no connection whatsoever to any claims of misconduct made by Edwards's clients. Equally consistent wit
. 2 at 6; R. 813-14). -14- EFTA00612496 Donald Trump and David Copperfield, who appeared to have no c
00. (Ex. 2 at 6; R. 813-14). -14- EFTA00612496 Donald Trump and David Copperfield, who appeared to have
d to acquire larger and more elaborate office space and equipment in order to enrich the personal wealth of persons employed by and associated with the RRA Enterprise. Prior to filing the initial Complaint in the Action, consistent with the allegations made by the press, in the Razorback Complaint, and in the Ro
ases where no air travel was alleged by Edwards's clients, and noticing the depositions of famous dignitaries and celebrities, such as Bill Clinton, Donald Trump and David Copperfield, who were not alleged to have had any connection whatsoever to any specific claims of misconduct against the plaintiffs in the
es and celebrities, such as Bill Clinton, Donald Trump and David Copperfield, who were not alleged to ha
ignitaries and celebrities, such as Bill Clinton, Donald Trump and David Copperfield, who were not allege
d to acquire larger and more elaborate office space and equipment in order to enrich the personal wealth of persons employed by and associated with the RRA Enterprise. See Information Charging Scott W. Rothstein in United States of America v. Scott W. Rothstein, 09-60331-CR-COHN. Scott Rothstein, Edwards's partne
Cases being litigated against me by Edwards, including Edwards noticing the depositions of famous dignitaries and celebrities such as Bill Clinton, Donald Trump and David Copperfield, who appeared to have no connection whatsoever to any claims of misconduct made by Edwards's clients. 12. Equally consistent
ies and celebrities such as Bill Clinton, Donald Trump and David Copperfield, who appeared to have no co
ignitaries and celebrities such as Bill Clinton, Donald Trump and David Copperfield, who appeared to have
d to acquire larger and more elaborate office space and equipment in order to enrich the personal wealth of persons employed by and associated with the RRA Enterprise. 11. Prior to filing the initial Complaint in the Action, consistent with the allegations made by the press, in the Razorback Complaint, and in th
Cases being litigated against me by Edwards, including Edwards noticing the depositions of famous dignitaries and celebrities such as Bill Clinton, Donald Trump and David Copperfield, who appeared to have no connection whatsoever to any claims of misconduct made by Edwards's clients. 12. Equally consistent
ies and celebrities such as Bill Clinton, Donald Trump and David Copperfield, who appeared to have no co
ignitaries and celebrities such as Bill Clinton, Donald Trump and David Copperfield, who appeared to have
d to acquire larger and more elaborate office space and equipment in order to enrich the personal wealth of persons employed by and associated with the RRA Enterprise. 3 E FTA_R1_00008497 EFTA01733724 11. Prior to filing the initial Complaint in the Action, consistent with the allegations made by the press,
Entities connected to both Donald Trump and the RRA Enterprise

Jeffrey Epstein
PERSON
George W. Bush
PERSON
Bill Clinton
PERSON
Bradley Edwards
PERSONMaria Farmer
PERSON
Scarlett Johansson
PERSONJack Goldberger
PERSONJane Doe
PERSON
Kenneth Marra
PERSONScott Rothstein
PERSONJack Scarola
PERSON
David Copperfield
PERSONWright
PERSON
Lauderdale
LOCATIONFlorida Bar
ORGANIZATIONFischer
PERSONWolfe
PERSONAtterbury
ORGANIZATIONMeyer
PERSONGoldstein
PERSON