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ollows: 20 DIRECT EXAMINATION 09:32:47 21 BY MR. SCAROLA: 09:32:54 22 Q. Would you please state your full name, 09:32:55 23 sir? 24 A. Alan Morton Dershowitz. 09:32:57 25 Q. And where did you live? 09:32:59 EFTA00601159 7 1 A. Well, I live in three places. We have a 09:33:00 2 home in Miami B
EOGRAPHER: This is the 15th day of 09:31:40 4 October, 2015. The time is approximately 9:31 5 a.m. This is the videotaped deposition of Alan 6 M. Dershowitz in the matter of Bradley J. 7 Edwards and Paul Cassell versus Alan M. 8 Dershowitz. This deposition is being held at 9 110 Southeast 6th Street
t privilege. 20 We've conferred on a number of occasions about the 21 ethical misconduct of your clients. 22 BY MR. SCAROLA: 10:10:43 23 Q. Rana Dershowitz? 10:10:43 24 A. Rana Dershowitz is my niece and Harvard 10:10:45 25 law school graduate, former chief counsel for the EFTA00601190 38 1 U
I certainly don't regard 9 her as a lawyer in the case. But I regard her as 10 somebody who has been a part of our kind of legal 11 team. 12 Q. Ellen Dershowitz? 10:11:29 13 A. Ellen -- 10:11:32 14 Q. Elon? 10:11:33 15 A. Elon Dershowitz is my oldest son, child, 10:11:34 16 and he has served re
ho has been a part of our kind of legal 11 team. 12 Q. Ellen Dershowitz? 10:11:29 13 A. Ellen -- 10:11:32 14 Q. Elon? 10:11:33 15 A. Elon Dershowitz is my oldest son, child, 10:11:34 16 and he has served repeatedly in a paralegal capacity 17 in this case helping me to gather information and
this case helping me to gather information and 18 evidence and doing some investigative work for me. 19 Q. Nathan Dershowitz? 10:11:52 20 A. Nathan Dershowitz is my brother. He's a 10:11:52 21 distinguished attorney in New York, had his own law 22 firm. And he and I did a lot of our legal cases 23 to
priate. 9 A. Would you like to establish the foundation 11:25:46 10 for why it's not protected? 11 MR. SWEDER: Alan 11:25:50 12 MR. SCOTT: Alan, just let it alone. Let 11:25:51 13 it alone. 14 THE WITNESS: Okay. 11:25:53 15 BY MR. SCAROLA: 11:25:55 16 Q. This second conversation y
:12 EFTA00601158 6 1 behalf of the Defendant Professor Dershowitz. 2 MR. SIMPSON: Richard Simpson on behalf of 0
heduled to be on three 13 television programs. If I'm not mistaken, it was 14 Good Day Show, the evening news, and the show 15 Nightline -- and Nightline. 16 I then was in communication with ABC and 11:19:10 17 helped to persuade them that they would be putting 18 false information on the air if
, once on922 38 personaily -- once here in Florida, and then in oii925 4 my office in -- while in Salt Lake City. Q. And so with respect to Professor Dershowitz's ovte28 § BY MR. SIMPSON: representation of Jeffrey Epstein, he would have been ovis2. §=§ Q. And are you able to place in time when you acting unet
djourned.) ESQUIRE DEPOSITION SOLUTIONS (954) 331-4400 331 DEPOSITION ERRATA SHEET Assignment no: 220190 BRADLEY J. EDWARDS and PAUL G. CASSELL vs. ALAN M. DERSHOWITZ DECLARATION UNDER PENALTY OF PERJURY I declare under penalty of perjury that I have read the entire transcript of my deposition/examination under o
hile in Salt Lake City. Q. And so with respect to Professor Dershowitz's ovte28 § BY MR. SIMPSON: representation of Jeff
ers circled are: Courtney Love, Donald Trump, and Alan Dershowitz, correct? A. Correct, among the other
25 On Oa kh OD = @ 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Page 308 to 311 of 335 310 know -- I can't recall sitting here today whether Nightline, is that an ABC program or NBC or -- or some other network. Q. If you look at the exhibit, the e-mail in the second -- the bottom half of the first
ls with Miss Jesco? ox2z04 16 A. Yes. 032204 17 Q. And Miss Jesko -- who is Miss Jesko? 032208 18 A. She works for -- which -- which -- oh, 032213 19 Nightline. She works for Nightline, yes. os221s 20 Q. So she’s with ABC News? 32217 21 A. I believe that's right, yes. oszt9 22 Q. And -- 032219 23 A. Imean,I-
PAUL G. CASSELL, Plaintiffs/Counterclaim Defendants, vs. ALAN M. DERSHOWITZ, Defendant/Counterclaim Plaintiff. DEFENDANT/COUNTERCLAIM PLAINTIFF ALAN M. DERSHOWITZ'S MOTION FOR LEAVE TO AMEND COUNTERCLAIM AND FOR LEAVE TO ASSERT CLAIM FOR PUNITIVE DAMAGES AGAINST PLAINTIFFS/COUNTERCLAIM DEFENDANTS EDWARDS AND C
LAIM FOR PUNITIVE DAMAGES AGAINST PLAINTIFFS/COUNTERCLAIM DEFENDANTS EDWARDS AND CASSELL Defendant and Counterclaim Plaintiff, Alan M. Dershowitz ("Dershowitz"), pursuant to Florida Rules of Civil Procedure 1.170(a), 1.170(e), 1.190(a) and 1.190(f) and Florida Statute § 768.72, hereby respectfully moves t
cooperate and give me those names. But I very much believe that there were going to be other girls who would come forward and swear under oath that Alan Ders ' bused them in exactly the same ■ as he had sexually abuse See Cassell Tr. Vol. I, at 36:20-37:1 and 60:5-10 (emphasis added). • When questio
SSELL, Plaintiffs/Counterclaim Defendants, vs. ALAN M. DERSHOWITZ, Defendant/Counterclaim Plaintiff.
o was sexually abused by Prince Andrew and Alan Dershowitz. We are exploring options to tell her side of the story. Could you call me quickly about Nightline or related possibilities? Paul Cassell 801-xxx-xxxx Paul G. Cassell Ronald N. Boyce Presidential Professor of Criminal Law S.J. Quinney College of
ENTEENTH JUDICIAL CIRCUIT IN AND FOR BROWARD COUNTY, FLORIDA CASE NO.: CACE 15-000072 EDWARDS, et al., Plaintiffs / Counterclaim Defendants, v. DERSHOWITZ, Defendant / Counterclaim Plaintiff. DEFENDANT / COUNTERCLAIM PLAINTIFF ALAN DERSHOWITZ'S MEMROANDUM IN OPPOSITION TO JANE DOE NO. 3'S MOTION TO
72 EDWARDS, et al., Plaintiffs / Counterclaim Defendants, v. DERSHOWITZ, Defendant / Counterclaim Plaintiff. DEFENDANT / COUNTERCLAIM PLAINTIFF ALAN DERSHOWITZ'S MEMROANDUM IN OPPOSITION TO JANE DOE NO. 3'S MOTION TO OUASH OR FOR PROTECTIVE ORDER Defendant / Counterclaim Plaintiff Alan Dershowitz ("Dershowi
ena served on Jane Doe No. 3 is intended to accomplish precisely that goal. For example, the subpoena seeks "[a]ll documents that reference by name, Alan M. Dershowitz, which support and/or confirm the allegations set forth in" Jane Doe No. 3's declarations submitted in the Federal Action, as well as "[a]ny documen
im Plaintiff. DEFENDANT / COUNTERCLAIM PLAINTIFF ALAN DERSHOWITZ'S MEMROANDUM IN OPPOSITION TO JANE DO
usations and her interview would be aired on at least three broadcast platforms: Good Morning America, the ABC national and international news, and Nightline. (See Edwards Statement). Her lawyer urged people to watch these interviews, which were scheduled to be seen by tens of millions of people around th
Entities connected to both Alan Dershowitz and Nightline

Jeffrey Epstein
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Marc Rich
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Bradley Edwards
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Prince Andrew
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Ghislaine Maxwell
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United States
LOCATION
Paul Cassell
PERSONJane Doe
PERSON
Kenneth Marra
PERSONMartin Weinberg
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Woody Allen
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Virginia Giuffre
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Scarlett Johansson
PERSONthe Southern District
LOCATION
George Mitchell
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Julie K. Brown
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Stephen Hawking
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Les Wexner
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Harvey Weinstein
PERSONJack Scarola
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