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09/16/2010 15:13 FAX SEARCY DENNEY lit 001/008 #21874/mep JEFFREY EPSTEIN, Plaintiff, vs. S TT ROTHSTEIN, individually, and BRADLEY J. EDWARDS, individually, Defendants. IN THE CIRCUIT COURT OF THE 15TH JUDICIAL CIRCUIT, IN AND FOR PALM BEACH COUNT
this lawsuit against Bradley J. Edwards, you knew that there was no evidence that he was involved in any &Ise statements that may have been made by Scott Rothstein concerning lawsuits against you. 22. Bradley J. Edwards never made any false statements of fact to you. 23. All attorneys' fees and costs incurre
CIAL CIRCUIT, IN AND FOR PALM BEACH COUNTY, FLORIDA Case No. 502009CA040800XXXXMBAG DEFENDANT/COUNTERPLAINTIFF BRADLEY J. EDWARDS' REQUEST FOR. I ADMISSIONS AND INTERROGATORY TO PLAINTIFF/COUNTERDEFENDANT JEFFREY EPSTEIN COMES NOW, the Defendant/Counterplaintiff, BRADLEY J. EDWARDS, by and thMugh his u
N AND FOR PALM BEACH COUNTY, FLORIDA JEFFREY EPSTEIN Complex Litigation, Fla. R. Civ. Pro.1201 Plaintiff, Case No. 50 2009CA040800XXXXMB AG v. SCOTT ROTHSTEIN, individually, BRADLEY J. EDWARDS, individually, and L M., individually, Defendants. EPSTEIN'S FIRST REOUEST FOR ADMISSIONS TO EDWARDS Plaintiff
tes District Court, Southern District of Florida, Miami Division, under Your name, Florida Bar number and e-mail address while you were employed by Rothstein, Rosenfeldt & Adler ("RRA"). 19. Admit that the Complaint (DE #1) in Case No. 09-CV-81092 is two hundred thirty-four (234) pages, contains six hun
00XXXXMB AG v. SCOTT ROTHSTEIN, individually, BRADLEY J. EDWARDS, individually, and L M., individually, Defendants. EPSTEIN'S FIRST REOUEST FOR ADMISSIONS TO EDWARDS Plaintiff, JEFFREY EPSTEIN, pursuant to Fla. R. Civ. P. 1.370, requests that Defendant, BRADLEY J. EDWARDS ("Edwards" and/or "You" and/o
N AND FOR PALM BEACH COUNTY, FLORIDA JEFFREY EPSTEIN Complex Litigation, Fla. R. Civ. Pro.1201 Plaintiff, Case No. 50 2009CA040800XXXXMB AG v. SCOTT ROTHSTEIN, individually, BRADLEY J. EDWARDS, individually, and •., individually, Defendants. EPSTEIN'S FIRST REQUEST FOR ADMISSIONS TO EDWARDS Plaintiff,
tes District Court, Southern District of Florida, Miami Division, under your name, Florida Bar number and e-mail address while you were employed by Rothstein, Rosenfeldt & Adler ("RRA"). 3. Admit that the Complaint (DE #1) in Case No. 09-CV-81092 is two hundred thirty-four (234) pages, contains six hun
0800XXXXMB AG v. SCOTT ROTHSTEIN, individually, BRADLEY J. EDWARDS, individually, and •., individually, Defendants. EPSTEIN'S FIRST REQUEST FOR ADMISSIONS TO EDWARDS Plaintiff, JEFFREY EPSTEIN, pursuant to Fla. R. Civ. P. 1.370, requests that Defendant, BRADELY J. EDWARDS ("Edwards") admit or deny the
AND FOR PALM BEACH COUNTY, FLORIDA JEFFREY EPSTEIN Complex Litigation, Fla. R. Civ. Pro.1201 Plaintiff, Case No. 50 2009CA040800)OOO(MB AG v. SCOTT ROTHSTEIN, individually, BRADLEY J. EDWARDS, individually, and M., individually, Defendants. / EPSTEIN'S FIRST REQUEST FOR ADMISSIONS TO EDWARDS Plaint
tes District Court, Southern District of Florida, Miami Division, under your name, Florida Bar number and e-mail address while you were employed by Rothstein, Rosenfeldt Sr Adler ("RRA"). 3. Admit that the Complaint (DE #1) in Case No. 09-CV-81092 is two hundred thirty-four (234) pages, contains six hun
OO(MB AG v. SCOTT ROTHSTEIN, individually, BRADLEY J. EDWARDS, individually, and M., individually, Defendants. / EPSTEIN'S FIRST REQUEST FOR ADMISSIONS TO EDWARDS Plaintiff, JEFFREY EPSTEIN, pursuant to Ha. R. Civ. P. 1.370, requests that Defendant, BRADELY J. EDWARDS ("Edwards" and/or "You" and/or
09/16/2010 15:13 FAX 5616845816 SEARCY DENNEY lit 001/008 #21874/mep JEFFREY EPSTEIN, Plaintiff, vs. S TT ROTHSTEIN, individually, and BRADLEY J. EDWARDS, individually, Defendants. IN THE CIRCUIT COURT OF THE 15TH JUDICIAL CIRCUIT, IN AND FOR PALM BEACH COUNT
this lawsuit against Bradley J. Edwards, you knew that there was no evidence that he was involved in any &Ise statements that may have been made by Scott Rothstein concerning lawsuits against you. 22. Bradley J. Edwards never made any false statements of fact to you. 23. All attorneys' fees and costs incurre
CIAL CIRCUIT, IN AND FOR PALM BEACH COUNTY, FLORIDA Case No. 502009CA040800XXXXMBAG DEFENDANT/COUNTERPLAINTIFF BRADLEY J. EDWARDS' REQUEST FOR. I ADMISSIONS AND INTERROGATORY TO PLAINTIFF/COUNTERDEFENDANT JEFFREY EPSTEIN COMES NOW, the Defendant/Counterplaintiff, BRADLEY J. EDWARDS, by and thMugh his u
T OF THE FIFTEENTH JUDICIAL CIRCUIT, IN AND FOR PALM BEACH COUNTY, FLORIDA CASE NO.: 502009CA040800XXXXMBAG JEFFREY EPSTEIN, Plaintiff(s), vs. SCOTT ROTHSTEIN, individually, BRADLEY J. EDWARDS, individually, and L.M., individually Defendant(s). REQUEST FOR ADMISSIONS TO JEFFREY EPSTEIN COMES NOW the Co
MBAG JEFFREY EPSTEIN, Plaintiff(s), vs. SCOTT ROTHSTEIN, individually, BRADLEY J. EDWARDS, individually,
Y EPSTEIN, Plaintiff(s), vs. SCOTT ROTHSTEIN, individually, BRADLEY J. EDWARDS, individually, and L.M., individually Defendant(s). REQUEST FOR ADMISSIONS TO JEFFREY EPSTEIN COMES NOW the Counter-Plaintiff, Bradley J. Edwards, by and through his undersigned counsel and propounds the following Request
T OF THE FIFTEENTH JUDICIAL CIRCUIT, IN AND FOR PALM BEACH COUNTY, FLORIDA CASE NO.: 502009CA040800XXXXMBAG JEFFREY EPSTEIN, Plaintiff(s), vs. SCOTT ROTHSTEIN, individually, BRADLEY J. EDWARDS, individually, and L.M., individually, Defendant(s). MOTION TO COMPEL SUBSTANTIVE RESPONSES TO REQUESTS FOR AD
MBAG JEFFREY EPSTEIN, Plaintiff(s), vs. SCOTT ROTHSTEIN, individually, BRADLEY J. EDWARDS, individually,
IN, individually, BRADLEY J. EDWARDS, individually, and L.M., individually, Defendant(s). MOTION TO COMPEL SUBSTANTIVE RESPONSES TO REQUESTS FOR ADMISSIONS SERVED FEBRUARY 26, 2013 Bradley J. Edwards, by and through his undersigned attorneys, moves to compel Jeffrey Epstein's substantive responses to t
tted, s/ Bradley J. Edwards Bradley J. Edwards ROTHSTEIN ROSENFELDT ADLER Las Olas City Centre 401 East
9-CV-80656-MARRA/JOHNSON Plaintiff vs. JEFFREY EPSTEIN, Defendant PLAINTIFF JANE DOE'S MOTION TO COMPEL ANSWERS TO PLAINTFF'S FIRST REQUEST FOR ADMISSIONS TO DEFENDANT Plaintiff Jane Doe, hereby moves this Court for an order compelling defendant, Jeffrey Epstein, to answer her first requests for admis
documents. (See "Subscription for an Interest.") PRIME BROKER: UBS Securities LLC 623 5th Avenue, 31st Floor New York, New York 10022 AUDITOR: Rothstein, Kass & Company, P.C. 4 Becker Farm Road Roseland, New Jersey 07068 ADMINISTRATOR: Opus Fund Services 1812 High Grove Lane Suite 101 Naperville
ome a "Limited Partner" (and together with the General Partner, a "Partner"). INITIAL CAPITAL CONTRIBUTIONS: ADDITIONAL CAPITAL CONTRIBUTIONS; ADMISSIONS: CAPITAL ACCOUNTS: ALLOCATION OF GAINS AND LOSSES: INCENTIVE ALLOCATION AND LOSS RECOVERY ACCOUNT: The Partnership may establish other clas
-582-7600 Fax: 561-588-8819 Brad Edwards, Esq. Rothstein Rosenfeldt Adler 401 East Las Olas Boulevard Su
MOTION FOR EXTENSION OF TIME IN WHICH TO RESPOND TO PLAINTIFF JANE DOE'S MOTIONS TO COMPEL RESPONSES TO REQUEST TO PRODUCE, ANSWERS TO REQUEST FOR ADMISSIONS, AND ANSWERS TO INTERROGATORIES EFTA00599375 Defendant, JEFFREY EPSTEIN, by and through his undersigned counsel, moves this Court for an extensio
Entities connected to both Scott Rothstein and ADMISSIONS

Jeffrey Epstein
PERSON
Bradley Edwards
PERSONJack Goldberger
PERSONJack Scarola
PERSONJane Doe
PERSON
George W. Bush
PERSONMaria Farmer
PERSON
Alan Dershowitz
PERSON
Paul Cassell
PERSON
Kenneth Marra
PERSONPalm Beach Lakes Boulevard
LOCATIONRobert D. Critton
PERSON
Donald Trump
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Searcy Denney Scarola Barnhart & Shipley
ORGANIZATIONSpencer Kuvin
PERSONAtterbury Goldberger & Weiss
ORGANIZATIONMarc S. Nurik
PERSON
Salt Lake City
LOCATIONMichael J. Pike
PERSONGoldberger & Weiss
ORGANIZATION