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ded). • When questioned about his unequivocal extra-judicial statement to ABC that he and Edwards represented , the woman "was sexually abused by Prince Andrew and Alan Dershowitz" in the same email that the lawyers were "exploring options to tell I ] side of the story," Cassell turned his own words on thei
ented , the woman "was sexually abused by Prince Andrew and Alan Dershowitz" in the same email that the
g had sexual relations with were Prince Andrew, Duke of York ("Prince Andrew"); Ghislaine Maxwell ("Maxwell")
Motion as having had sexual relations with were Prince Andrew, Duke of York ("Prince Andrew"); Ghislaine Maxwell ("Maxwell")
etion for the Court to deny Dershowitz's request. 15 EFTA00613405 Respectfully submitted, s/ Thomas E. Scott Steven R. Safra, FBN 057028 COLE, SCOTT & KISSANE, P.A. Richard A. Simpson (pro hac vice) Ma E. Bo 'a ro hac vice) Ashle E. Filer ro hac vice) Nicole Audet Richardson (pro hac vice) Counsel for
w Albert Christian Edward (a/Icla Prince Andrew, Duke of York); (c) Harvard Law Professor Alan Dershowitz." Wh
. . . (b) Andrew Albert Christian Edward (a/Icla Prince Andrew, Duke of York); (c) Harvard Law Professor Alan Dershowitz." Wh
ined what Ghislaine Maxwell is doing there and who took that picture — while Jane Doe No. 3 has provided a sworn affidavit that the photographer was Prince Andrew's close friend (as well as sex trafficker and now-registered sex offender): Jeffrey Epstein. Jane Doe No. 29 As noted earlier, two other key conspira
lly seeking information about Dershowitz, Prince Andrew, and others. Further efforts from the Government
E-mail: [email protected] E-mail: ann.marie.c.villafana@usdojdzov Attorneys for the Government Thomas Scott [email protected] COLE, SCOTT & KISSANE, P.A. Dadeland Centre H 9150 South Dadeland Boulevard, Suite 1400 Miami, Florida 33156 Telephone: (305) 350-5300 Facsimile: (305) 373-2294 -and
not aware of any. 4 BY MR. EDWARDS: 5 Q. Okay. Do you know which representative 6 which of your representatives communicated with 7 which of Prince Andrew's representatives? 8 A. No. I do remember being told, though, 9 that there was a call from Prince Andrew's people to 10 one of my lawyers, but t
YKE: Same objection, same 17 instruction. 18 SPECIAL MASTER POZZUOLI: Under 19 non-privileged information. 20 A. I have seen a photograph of Prince Andrew 21 and and Ghislaine Maxwell. I have 22 myself met Prince Andrew. He came to my class at 23 Harvard Law School and there was a dinner for him, 24
have 24 nonprivileged information that you can base the 25 answer. www.phi sre orting.com EFTA00615658 538 1 A. Yes. And in a letter that Prince Andrew 2 wrote to me thanking me for inviting him to my class 3 and having the dinner for him at Harvard Law School, 4 he made a reference to Jeffrey Eps
13 15 16 17 18 19 20 21 22 23 24 25 www.phi sre orting.com EFTA00615650 530 12 says that she was paid to have sex with Prince 13 Andrew? 14 A. I have no idea. 15 Q. You have met Prince Andrew, right? 16 A. I have. 17 Q. He sat in the back of your classrooms? 18 MR. SCOTT
1 APPEARANCES: 2 On behalf of Plaintiffs: 3 4 5 SEARCY, DENNEY, SCAROLA BARNHART & SHIPLEY, P.A. 6 7 8 On behalf of Defendant: 9 COLE, SCOTT & KISSANE, P.A. Dadeland Centre II - Suite 1400 10 I II. P IRIR 11 12 : , . (Via phone) il 13 --an -- 14 SWEDER & ROSS, LLP 15 BY: KENNETH A. SWED
was to give the Prince whatever he demanded and required Jane Doe #3 to report back to him on the details of the sexual abuse. Maxwell facilitated Prince Andrew's acts of sexual abuse by acting as a "madame" for Epstein, thereby assisting in internationally trafficking Jane Doe #3 (and numerous other young gir
living in and, in 2011, was contacted by a journalist, who told me she was working for a Britis newspaper. She asked me if I had information about Prince Andrew. When I said that I did, she came out to to meet with me. 40. At this point, since nothing else seemed to be working to get Epstein and his associ
. She asked me if I had information about Prince Andrew. When I said that I did, she came out to to meet
of the British Royal Family, Prince Andrew (a/k/a Duke of York). Jane Doe #3 was forced to have sexual relation
500 S. Australian Ave., Suite 400 West Palm Beach, FL 33401 (561) 820-8711 Fax: 561 820-8777 Attorneys for the Government Thomas Scott ar COLE. SCOTT & KISSANE, P.A. -and- Kendall Coffey Gabriel Groisman Benjamin H. Brodsk n om COFFEY BURLINGTON. P.L. Attorneys for Alan Dershowit: /s/ Bradley J. Edward
LSD Doc. ., 01/21/2015 Page 20 of 40 between May 2007 and September 2008 on behalf of Jeffrey Epstein by . .. (b) Andrew Albert Christian Edward (a/Wa Prince Andrew, Duke of York); (c) Harvard Law Professor Alan Dershowitz." While the Government denied that it had documents reflecting contacts by Prince Andrew,
ement, including efforts on his behalf by Prince Andrew and former Harvard Law Professor Alan Dershowitz.
rew Albert Christian Edward (a/Wa Prince Andrew, Duke of York); (c) Harvard Law Professor Alan Dershowitz." Wh
by . .. (b) Andrew Albert Christian Edward (a/Wa Prince Andrew, Duke of York); (c) Harvard Law Professor Alan Dershowitz." Wh
Case 9:08-cv-80736-KAM Document 282 Entered on FLSD Docket 01/05/2015 Page 8 of 10 Respectfully submitted, Thomas Scott Fla. Bar No. 149100 COLE, SCOTT & KISSANE, P.A. -and- /s/ Kendall Coffey Kendall Coffey, Fla. Bar No. 259681 Benjamin H. Brodsky, Fla. Bar No. 73748 Counsel for Prof Alan Al. Dershowiiz
D, ¶ 15. The first declaration actually included multiple photographs purportedly of Jane Doe No. 3 as a minor, including one of Jane Doe No. 3 and Prince Andrew. Id. ¶ 32. With respect to Dershowitz, Jane Doe No. 3's first declaration provided gratuitous (and false) details about six specific instances in wh
d the names of prominent people, including Prince Andrew. That the allegations were improper and irrespon
eneral public, even though such secrecy violated the Crime Vietims=Rights-26tetr Id. The Joinder Motion included similar public allegations against Prince Andrew. Edwards and Cassell filed the Joinder Motion on the public docket in the Federal Action, without any accompanying motion to seal. The Joinder Moti
ated: May 2015 Respectfully Submitted, s/ Thomas E. Scott Thomas E. Scott Florida Bar No. 149100 Steven R. Safra Florida Bar No. 057028 COLE, SCOTT & KISSANE, Dadeland Centre II, 14th Floor 9150 South Dadeland Boulevard Miami, Florida 33156 Phone: (305) 350-5300 Fax: (305) 373-2294 Richard A. Simpson
d the names of prominent people, including Prince Andrew. That the allegations were improper and irrespon
views and avoided rather than sought publicity. As to the federal lawsuit, Judge Marra has already held that the allegations against Dershowitz (and Prince Andrew) should never have been included in Jane Doe No. 3's pleadings at all. And, even if those allegations had some legitimate purpose, which Judge Marra
general public, even though such secrecy violated the Crime Victims' Rights Act. Id. The Joinder Motion included similar public allegations against Prince Andrew. Edwards and Cassell filed the Joinder Motion on the public docket in the Federal Action, without any accompanying motion to seal. The Joinder Moti
ated: May 2015 Respectfully Submitted, s/ Thomas E. Scott Thomas E. Scott Florida Bar No. 149100 Steven R. Safra Florida Bar No. 057028 COLE, SCOTT & KISSANE, Dadeland Centre II, 14th Floor 9150 South Dadeland Boulevard Miami, Florida 33156 Phone: (305) 350-5300 Fax: (305) 373-2294 Richard A. Simpson
n this, and then we're done. 19 BY MR. EDWARDS: 20 Q. Okay. The question was: 21 "Do you have any recollection of ■ coming to the house when Prince Andrew was 23 there? 24 "ANSWER: It could have been, but I'm not 25 sure." www.phi sre orting.com EFTA00615755 635 1 MR. INDYKE: Object -- 2 BY
collection of ■ coming to the house when Prince Andrew was 23 there? 24 "ANSWER: It could have been,
the action. Dated this 14th day of January, 2016. KIMBERLY FONTALVO, RPR, CLR www.phi sre orting.com EFTA00615766 646 January 14, 2016 COLE, SCOTT & KISSANE, P.A. 10111111111111 BY: THOMAS EMERSON SCOTT, JR., ESQ. Re: Bradley Edwards, et al., v. Alan M. Dershowitz Please take notice that on the 12th d
rovided specific reasons why Jane Doe No. 3’s participation was relevant to the case, including the pending discovery issues regarding Dershowitz and Prince Andrew. DE 280 at 9-10 (explaining several reasons participation of new victims was relevant to existing issues). After the motion was filed, various news o
lly seeking information about Dershowitz, Prince Andrew, and others. Further efforts from the Government
EY, P.A. 2139 Palm Beach Lakes Boulevard West Palm Beach, Florida 33402-3626 BY: JACK SCAROLA, ESQ. [email protected] On behalf of Defendant: COLE, SCOTT & KISSANE, P.A. Dadeland Centre H - Suite 1400 9150 South Dadeland Boulevard Miami, Florida 33156 BY: THOMAS EMERSON SCOTT, JR., ESQ. [email protected]
60:5 460:22 461:3,4 461:25 Alan's (2) 380:17 Andrew (3) 394:2 397:6 427:11 A a.m (9) 334:15,15
4 - 461) 5 6 6 7 ALAN M. DERSHOWITZ 7 8 Direct (continued) By Mr. Edwards 341 a On behalf of Defendam: 9 Certificate of Oath 459 9 COLE. SCOTT & KISSANE. P.A. Certificate of Reporter 460 10 Read and Sign Letter to Witness 461 10 Errata Sheet (forwarded upon execution) 462 11 BY: THOMAS EMERS
Entities connected to both Prince Andrew and SCOTT & KISSANE

Jeffrey Epstein
PERSON
Ghislaine Maxwell
PERSON
Marc Rich
PERSONSouthern District
LOCATIONLeon Black
PERSON
Department of Justice
ORGANIZATION
Donald Trump
PERSON
Alan Dershowitz
PERSON
Bill Clinton
PERSON
United States
LOCATION
George W. Bush
PERSON
Michael Cohen
PERSONthe Southern District
LOCATIONDarren Indyke
PERSON
Bradley Edwards
PERSON
Virginia Giuffre
PERSON
Prince Charles
PERSON
Joe Biden
PERSON
John F. Kennedy
PERSON
Stephen Hawking
PERSON