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, 4:01 p.m. (Thereupon, a recess was taken.) THE VIDEOGRAPHER: We are back on the video record, 4:04 p.m. (Thereupon, Kenneth A. Sweder, Esquire, Alan M. Dershowitz and Carolyn Cohen left the proceedings.) ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 420 MR, SCAROLA: The record should reflect that Mr. and Mrs.
fy sealing these presumptively-public documents. L DERSHOWITZ HAS NOT JUSTIFIED SEALING ALLEGED DEFAMATORY RECO
e to speak up. MR. SCOTT: You're going to have to speak up a little bit more, Counsel. MR. INDYKE: Objection. This is Darren Indyke. Anything that Alan might have to say to that, to the extent they are covered under conversations with Jeffrey Epstein, privileged under attorney-client privileges as
UIRE DEPOSITION SOLUTIONS (954) 331-4400 mention Professor Dershowitz's name once. A. I said flight logs. And let's ta
GRAL TO THIS DEFAMATION CASE. In his motion, Dershowitz never recounts the heavy burden that he must carry to seal the records at issue. To be sure, Florida Rule of Judicial Administration 2.420 allows for the sealing of “confidential” materials. But the Rule begins by recounting the overarching principle that “t]he public shall have access t
TEENTH JUDICIAL CIRCUIT, IN AND FOR BROWARD COUNTY, FLORIDA Case No.: CACE 15-000072 EDWARDS, et at, Plaintiffs / Counterclaim Defendants, vs. DERSHOWITZ, Defendant / Counterclaim Plaintiff. DEFENDANT ALAN M. DERSHOWITZ'S OPPOSITION TO EMERGENCY MOTION TO SEAL Defendant Alan M. Dershowitz ("Dershow
A Case No.: CACE 15-000072 EDWARDS, et at, Plaintiffs / Counterclaim Defendants, vs. DERSHOWITZ, Defendant / Counterclaim Plaintiff. DEFENDANT ALAN M. DERSHOWITZ'S OPPOSITION TO EMERGENCY MOTION TO SEAL Defendant Alan M. Dershowitz ("Dershowitz") respectfully files this opposition to non- party ("a") Emergen
, Defendant / Counterclaim Plaintiff. DEFENDANT ALAN M. DERSHOWITZ'S OPPOSITION TO EMERGENCY MOTION T
motion to file under seal allegations that had been stricken by the United States District Court for the Southern District of Florida: To be sure, Florida Rule of Judicial Administration 2.420 allows for the sealing of "confidential" materials. But the Rule begins by recounting the overarching principle that "[t]he public shall have acces
TEENTH JUDICIAL CIRCUIT, IN AND FOR BROWARD COUNTY, FLORIDA Case No.: CACE 15-000072 EDWARDS, et at, Plaintiffs / Counterclaim Defendants, vs. DERSHOWITZ, Defendant / Counterclaim Plaintiff. DEFENDANT ALAN M. DERSHOWITZ'S OPPOSITION TO EMERGENCY MOTION TO SEAL Defendant Alan M. Dershowitz ("Dershow
A Case No.: CACE 15-000072 EDWARDS, et at, Plaintiffs / Counterclaim Defendants, vs. DERSHOWITZ, Defendant / Counterclaim Plaintiff. DEFENDANT ALAN M. DERSHOWITZ'S OPPOSITION TO EMERGENCY MOTION TO SEAL Defendant Alan M. Dershowitz ("Dershowitz") respectfully files this opposition to non- party ("a") Emergen
, Defendant / Counterclaim Plaintiff. DEFENDANT ALAN M. DERSHOWITZ'S OPPOSITION TO EMERGENCY MOTION T
motion to file under seal allegations that had been stricken by the United States District Court for the Southern District of Florida: To be sure, Florida Rule of Judicial Administration 2.420 allows for the sealing of "confidential" materials. But the Rule begins by recounting the overarching principle that "[t]he public shall have acces
nly to see then-State Attorney Barry Krischer kick the case to a grand jury Mr. Krischer backed off when one of Epsteinb gold-plated attor- neys, Alan Dershowitz, announced that some of the victims had posted MySpace comments about their alco- hol and marijuana use. Epsteinb "best" defense has been that he
en one of Epsteinb gold-plated attor- neys, Alan Dershowitz, announced that some of the victims had posted
ff when one of Epsteinb gold-plated attor- neys, Alan Dershowitz, announced that some of the victims h
endant. MOTION TO MAKE COURT RECORDS CONFIDENTIAL Comes now the Defendant, JEFFREY EPSTEIN, by and through his undersigned attorney's, pursuant to Florida Rule of Judicial Administration 2.420 and the Administrative Orders of this Court , specifically AO 2.303 and moves this Court to treat as confidential the following records. A. A docu
y to see then-State Attorney Barry Krischer kick the case to a grand jury. Mr. Krischer backed off when one of Epstein's gold-plated attor- neys, Alan Dershowitz, announced that some of the victims had posted MySpace comments about their alco- hol and marijuana use. Epstein% "best" defense has been that he
n one of Epstein's gold-plated attor- neys, Alan Dershowitz, announced that some of the victims had posted
f when one of Epstein's gold-plated attor- neys, Alan Dershowitz, announced that some of the victims h
endant. MOTION TO MAKE COURT RECORDS CONFIDENTIAL Comes now the Defendant, JEFFREY EPSTEIN, by and through his undersigned attorney's, pursuant to Florida Rule of Judicial Administration 2.420 and the Administrative Orders of this Court , specifically AO 2.303 and moves this Court to treat as confidential the following records. A. A docu
h Dixie Highway, West Palm Beach, FL 33401; Jack Alan Goldberger, Esq., Atterbury Goldberger, et al., 2
n response to Florida media reports of hidden cases and secret dockets, a process that has come to be known as "super-sealing." In re Amendments to Florida Rule of Judicial Administration 2.420, 954 So. 2d 16 (Fla. 2007). In adopting the interim rule, the Florida Supreme Court confirmed its commitment to safeguarding the public's constitut
Counsel for Defendant Jeffrey Epstein) and Jack Alan Goldberger, Esq. Attesbury Goldberger & Weiss, P
fendant. MOTION TO MAKE COURT RECORDS CONFIDENTIAL Comes now the Defendant, JEFFREY EPSTEIN, by and through his undersigned attorneys, pursuant to Florida Rule of Judicial Administration 2.420 and the Administrative Orders of this Court , specifically AO 2.303 and moves this Court to beat as confidential the following records. A. A docum
xie Highway, West Pahnl3each, EL 3.340 . Ow.: ; I . • • ; .141 1,.0 i • : ., - ' . . i I: ! . - . : • . • - .•:il : r !, .!• . I Alan qoldberger; EN:, Atterbuty Goldberger, et al, 250 S.:AnStrialitair;Aire., Ste; 1400, West IN; ... ': ' Palm Beach, FL 33401..(4a: . ); and Bradley
fendant. MOTION TO MAKE COURT RECORDS CONFIDENTIAL Comes now the Defendant, JEFFREY EPSTEIN, by and through his undersigned attorneys, pursuant to Florida Rule of Judicial Administration 2.420 and the Administrative Orders of this Court , specifically AO 2.303 and moves this Court to treat as confidential the following records. A. A docu
or Defendant Jeffrey Epstein) and on, Jr. Jack Alan Goldberger, Esq. Atterbury Goldberger & Weiss, P
endant. MOTION TO MAKE COURT RECORDS CONFIDENTIAL Comes now the Defendant, JEFFREY EPSTEIN, by and through his undersigned attorney's, pursuant to Florida Rule of Judicial Administration 2.420 and the Administrative Orders of this Court , specifically AO 2.303 and moves this Court to treat as confidential the following records. A. A docu
Entities connected to both Alan Dershowitz and Florida Rule of Judicial Administration 2.420

Jeffrey Epstein
PERSONLeon Black
PERSON
Marc Rich
PERSON
Bradley Edwards
PERSONJack Goldberger
PERSON
Prince Andrew
PERSON
United States
LOCATION
George W. Bush
PERSON
Paul Cassell
PERSONJane Doe
PERSON
Kenneth Marra
PERSON
Donald Trump
PERSON
Bill Clinton
PERSONRobert D. Critton
PERSONMaria Farmer
PERSONSouthern District
LOCATION
Virginia Giuffre
PERSON
Barry Diller
PERSONthe Southern District
LOCATION
Department of Justice
ORGANIZATION