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DICIAL CIRCUIT, IN AND FOR BROWARD COUNTY, FLORIDA BRADLEY J. EDWARDS and PAUL G. CASSELL, CASE NO.: 15-000072 Plaintiff(s), JUDGE: LYNCH v. ALAN M. DERSHOWITZ, Defendant. AFFIDAVIT OF NON-PARTY JEFFREY EPSTEIN The undersigned, Jeffrey E. Epstein, having first been duly sworn, hereby deposes and says: 1
000072 Plaintiff(s), JUDGE: LYNCH v. ALAN M. DERSHOWITZ, Defendant. AFFIDAVIT OF NON-PARTY JEFFREY EPST
NO.: 15-000072 Plaintiff(s), JUDGE: LYNCH v. ALAN M. DERSHOWITZ, Defendant. AFFIDAVIT OF NON-PART
ized representative and had no intention of personally attending mediation or being present in Palm Beach County on September 1, 2015. 8. But for the Court Order obtained by Edwards and his counsel that I personally appear at the mediation, I would not have been in attendance. 9. While sitting in the mediat
DICIAL CIRCUIT, IN AND FOR BROWARD COUNTY, FLORIDA BRADLEY J. EDWARDS and PAUL G. CASSELL, CASE NO.: 15-000072 Plaintiff(s), JUDGE: LYNCH v. ALAN M. DERSHOWITZ, Defendant. AFFIDAVIT OF NON-PARTY JEFFREY EPSTEIN The undersigned, Jeffrey E. Epstein, having first been duly sworn, hereby deposes and says: 1
000072 Plaintiff(s), JUDGE: LYNCH v. ALAN M. DERSHOWITZ, Defendant. AFFIDAVIT OF NON-PARTY JEFFREY EPST
NO.: 15-000072 Plaintiff(s), JUDGE: LYNCH v. ALAN M. DERSHOWITZ, Defendant. AFFIDAVIT OF NON-PART
ized representative and had no intention of personally attending mediation or being present in Palm Beach County on September 1, 2015. 9. But for the Court Order obtained by Edwards and his counsel that I personally appear at the mediation, I would not have been in attendance. 10. While sitting in the media
oulevard Suite 250 Jacksonville, FL 32211 Jack Alan Goldberger, Esq. Atterbury Goldberger et al. 25
EFENDANTS SECOND REQUEST FOR PRODUCTION Plaintiff, M, hereby files her Amended Responses to Defendants Second Request for Production, pursuant to the Court Order modifying same dated October 21, 2009. 1. All documents which relate to your earnings as a prostitute or call girl. None. 2. The book containi
oulevard Suite 250 Jacksonville, FL 32211 Jack Alan Goldberger, Esq. Atterbury Goldberger et al. 25
SPONSE TO DEFENDANTS REQUEST SECOND FOR PRODUCTION Plaintiff, hereby files her Response to Defendant's Second Request for Production, pursuant to the Court Order modifying same dated October 21, 2009. 1. All documents which relate to your earnings as a prostitute or call girl. Objection, irrelevant and no
stee Carroll's claims. Trustee Carroll presented Alan Barbree, a forensic accounting expert, to testify
rital assets. For that reason, the Court cannot find that Mr. Francis excessively spent and wasted marital assets in 2011 and 2012, in violation of the Court Order entered on December 23, 2011. CONCLUSION Based [" 33] on all of the above the Court concludes that both parties individually possess sufficient fi
Entities connected to both Alan Dershowitz and the Court Order

Jeffrey Epstein
PERSON
Bradley Edwards
PERSONJack Goldberger
PERSON
Prince Andrew
PERSON
Ghislaine Maxwell
PERSON
Lesley Groff
PERSON
George W. Bush
PERSON
Paul Cassell
PERSON
Richard Kahn
PERSONJane Doe
PERSONRobert D. Critton
PERSONMaria Farmer
PERSON
Woody Allen
PERSON
Virginia Giuffre
PERSON
Prince Charles
PERSON
John F. Kennedy
PERSONScott Rothstein
PERSON
Eric Trump
PERSON
Harvey Weinstein
PERSON
U.S. Virgin Islands
LOCATION