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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")
end, it would be an abuse of discretion 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 Ric
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
sition of Jane Doe No. 3. 21 EFTA00582669 Dated: 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) 35
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
sition of Jane Doe No. 3. 19 EFTA00584080 Dated: 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) 35
15595 --- PAGE BREAK --- Dated: February 3, 2016 Respectfully submitted, s/Thomas E. Scott Thomas E. Scott, FBN 149100 [email protected] Steven R. Safra, FBN 057028 [email protected] COLE, SCOTT & KISSANE, P.A. Dadeland Centre II, 14th Floor 9150 South Dadeland Boulevard Miami, Florida 33156
Page: HOUSE_OVERSIGHT_015596 →BREAK --- media outlet in exchange for your statements (whether "on the record" or "off the record") regarding Jeffrey Epstein, Alan M. Dershowitz, Prince Andrew, Duke of York, and/or being a sex slave.” Whether Jane Doe No. 3 has interacted with the media has nothing to do with the Florida Defamation Action.
Page: HOUSE_OVERSIGHT_015608 →") regarding Jeffrey Epstein, Alan M. Dershowitz, Prince Andrew, Duke of York, and/or being a sex slave.” Whether Jane Doe No.
Page: HOUSE_OVERSIGHT_015608 →d to meet Prince Andrew - Epstein trained her ‘as a prostitute for him and his friends’ As the UK's special representative for international trade, the Duke of York holds an important position, requiring sound judgement and widespread respect. + More Videos But those qualities have been thrown into question sin
Page: HOUSE_OVERSIGHT_015643 →lief from that Confidentiality Order. Respectfully submitted, s/ Thomas E. Scott Thomas E. Scott Florida Bar No. 149100 [email protected] Steven R. Safra Florida Bar No. 057028 [email protected] COLE, SCOTT & KISSANE, P.A. Dadeland Centre II, 14th Floor 9150 South Dadeland Boulevard Miami, Flo
Page: HOUSE_OVERSIGHT_010889 →” He is lying by denying that he had sex with me. That man is the same man that I had sex with at least six times. 32. Epstein made me have sex with Prince Andrew several times. Prince Andrew, Maxwell, and I are shown in the photograph below. I had sex with him three times, including one orgy. I knew he was a
Page: HOUSE_OVERSIGHT_010899 →See 18 U.S.C. 3771 (e) (defining a CVRA “victim”). Jane Doe No. 3 briefly explained that when she was a minor, Jeffrey Epstein had trafficked her to Prince Andrew and Alan Dershowitz (among others) for sexual purposes. The motion also provided specific reasons why Jane Doe No. 3’s participation was relevant to
Page: HOUSE_OVERSIGHT_014092 →) 646-4466 Fax: (617) 646-4470 Respectfully submitted, /s/ Thomas E. Scott Thomas E. Scott, Esq. Florida Bar No. 149100 [email protected] Steven R. Safra, Esq. Florida Bar No. 057028 [email protected] COLE, SCOTT & KISSANE, P.A. Dadeland Centre I], 14th Floor 9150 South Dadeland Boulevard Miam
Page: HOUSE_OVERSIGHT_014111 →Entities connected to both Prince Andrew and Steven R. Safra

Jeffrey Epstein
PERSON
Ghislaine Maxwell
PERSON
Marc Rich
PERSONSouthern District
LOCATION
Donald Trump
PERSON
Bill Clinton
PERSON
Alan Dershowitz
PERSON
United States
LOCATIONthe Southern District
LOCATION
Bradley Edwards
PERSON
Virginia Giuffre
PERSON
Prince Charles
PERSONMaria Farmer
PERSONFBI
ORGANIZATION
Kenneth Marra
PERSONJane Doe
PERSON
Colorado
LOCATION
Scarlett Johansson
PERSON
Paul Cassell
PERSON
Bill Richardson
PERSON