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, Exhibit "B"; Exhibit "F"; "Exhibit"J"; "N" and See Edwards Affidavit, Exhibit "N" at ¶13. 72. Edwards provided notice that he intended to depose Alan Dershowitz. Edwards possessed a legitimate basis for doing so: (a) Dershowitz is believed to have been friends with Epstein for many years; (b) in one news a
hibit "N" at ¶13. 72. Edwards provided notice that he intended to depose Alan Dershowitz. Edwards possessed a legitimate basis for doing so: (a) Dershowitz is believed to have been friends with Epstein for many years; (b) in one news article Dershowitz comments that, "I'm on my 20th book... The only pe
dwards provided notice that he intended to depose Alan Dershowitz. Edwards possessed a legitimate basi
rying to obtain $50,000 from civil attorneys pursuing civil sexual assault cases against Epstein as payment for producing the book to the attorneys. See Criminal Complaint at 2, U.S. v. Rodriguez, No. 9:10-CR-80015-KAM (S.D. Fla. 2010) (Exhibit "G"). Rodriguez stated he needed money because the journal was his "proper
Exhibit "B"; Exhibit "17"; "Exhibit"J"; "N" and See Edwards Affidavit, Exhibit "N" at 113. 72. Edwards provided notice that he intended to depose Alan Dershowitz. Edwards possessed a legitimate basis for doing so: (a) Dershowitz is believed to have been friends with Epstein for many years; (b) in one news a
hibit "N" at 113. 72. Edwards provided notice that he intended to depose Alan Dershowitz. Edwards possessed a legitimate basis for doing so: (a) Dershowitz is believed to have been friends with Epstein for many years; (b) in one news article Dershowitz comments that, "I'm on my 20th book... The only pe
dwards provided notice that he intended to depose Alan Dershowitz. Edwards possessed a legitimate basi
rying to obtain $50,000 from civil attorneys pursuing civil sexual assault cases against Epstein as payment for producing the book to the attorneys. See Criminal Complaint at 2, U.S. v. Rodriguez, No. 9:10-CR-80015-KAM (S.D. Fla. 2010) (Exhibit "G"). Rodriguez stated be needed money because the journal was his "proper
ctice of law throughout the State of Florida and beyond. 8. Despite having previously been the victim of character assassination by the Defendant, ALAN M. DERSHOWITZ'S associate and client, Jeffrey Epstein, BRADLEY J. EDWARDS enjoys a highly favorable national reputation particularly related to his work in defendi
ims of sexual abuse. 2 EFTA00188846 Case 9:08-cv-80736-KAM uucument 291-10 Entered on FLSD L.....Ket 01/21/2015 Page 4 of 7 Edwards and Cassell. Dershowitz Complaint 9. Before entering the private practice of law, BRADLEY J. EDWARDS was a trial attorney at the Broward County State Attorney's Office r
If you would let me know what non-privileged information you would seek from me, I would then be able to decide whether to cooperate. Sincerely, Alan ershowitz EFTA00188853 EFTA00188854 Case 9:08-cv-80736-KAM Locument 291-12 Entered on FLSD D.—Ket 01/21/2015 Page 1 of 2 EXHIBIT 13 EFTA00188
rying to obtain $50,000 from civil attorneys pursuing civil sexual assault cases against Epstein as payment for producing the book to the attorneys. See Criminal Complaint at 2, U.S. I. Rodriguez, No. 9:10-CR-80015-KAM (S.D. Fla. 2010) (Exhibit "G"). Rodriguez stated he needed money because the journal was his "proper
Entities connected to both Alan Dershowitz and See Criminal Complaint

Jeffrey Epstein
PERSON
Bradley Edwards
PERSONJack Goldberger
PERSON
Prince Andrew
PERSON
Ghislaine Maxwell
PERSON
United States
LOCATION
George W. Bush
PERSONJane Doe
PERSON
Kenneth Marra
PERSON
Donald Trump
PERSON
Bill Clinton
PERSONMaria Farmer
PERSON
Virginia Giuffre
PERSONthe Southern District
LOCATION
Alexander Acosta
PERSON
Les Wexner
PERSONScott Rothstein
PERSON
Alfredo Rodriguez
PERSONJack Scarola
PERSON
Jay Lefkowitz
PERSON