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and other documents in the Trustee's possession, respecting the subject matter of the subpoena previously served upon the Trustee related to L.M., Scott Rothstein, Brad Edwards and Jeffrey Epstein. . . Contemporaneous with the service and filing of the privilege log, Fanner Jaffe shall provide to a reputable
RICT OF FLORIDA Fort Lauderdale Division In re ROTHSTEIN ROSENFELDT ADLER, P.A. Debtor. Chapter 11 Case
nds to Farmer Jaffe's Motion for Issuance of an Order to Show Cause Why Fowler White and Jeffrey Epstein Should Not Be Held in Contempt of Court, to Permit Discovery, to Assess Sanctions and Costs, and for Other Relief (DE 6323; re-docketed as DE 6326) and Bradley Edwards' Joinder in Motion for Issuance of an Or
UDERDALE DIVISION www.flsb.uscourts.gov IN RE: ROTHSTEIN ROSENFELDT ADLER, P.A., Debtor. CASE NO.: 09-34
lief, and as grounds therefore states as follows: Jeffrey Epstein issued a subpoena, through the Palm Beach State Court case of Jeffrey Epstein v. Scott Rothstein, Bradley J. Edwards, and L.M., Fifteenth Judicial Circuit, in and for Palm Beach County, Florida Case No. 50-2009 CA 040800XXXX MB AG (hereinafter
ummary of Damages in Support of Farmer Jaffe's Motion to Show Cause Why Fowler White and Jeffrey Epstein Should Not Be Held in Contempt of Court, to Permit Discovery, to Assess Sanctions and Costs, and for Other Appropriate Relief, and as grounds therefore states as follows: Jeffrey Epstein issued a subpoena, t
3. In late 2009, Epstein sued Edwards for purportedly improperly representing his clients who were Epstein's sex abuse victims. Jeffrey Epstein v. Scott Rothstein, Bradley J. Edwards, and LM., Fifteenth Judicial Circuit, in and for Palm Beach County, Florida Case No. 50-2009 CA 040800XXXX MB AG (hereinafter "
e No. 50-2009 CA 040800XXXX MB AG (hereinafter "the Epstein lawsuit"). 4. On April 17, 2010, Epstein served a subpoena in the Epstein lawsuit upon Rothstein Rosenfeldt Adler, PA ("RRA") Bankruptcy Trustee Howard Stettin, seeking to obtain documents from the Trustee, which included documents from attorne
unsel, hereby moves this honorable Court for an Order to Show Cause Why Fowler White and Jeffrey Epstein Should Not Be Held in Contempt of Court, to Permit Discovery, to Assess Sanctions and Costs, and for Other Appropriate Relief, and as grounds therefore states as follows: INTRODUCTION As the Court will recal
ail in Farmer Jaffe's underlying motion [DE 6326] and joined by Mr. Edwards [DE 6325], Epstein sued one of his own child victims, L.M., Edwards, and Rothstein alleging that each had committed a series of criminal acts against him and caused him damages. The lawsuit read as a whole was intended to convey t
in's Response in Opposition to Farmer Jaffe's Motion to Show Cause Why Fowler White and Jeffrey Epstein Should Not Be Held in Contempt of Court, to Permit Discovery, to Assess Sanctions and Costs, and for Other Appropriate Relief, and as grounds therefore states as follows: INTRODUCTION Jeffrey Epstein's Motio
Entities connected to both Scott Rothstein and Permit Discovery

Jeffrey Epstein
PERSON
Bradley Edwards
PERSONJack Goldberger
PERSONJack Scarola
PERSONJane Doe
PERSON
George W. Bush
PERSONMaria Farmer
PERSON
Paul Cassell
PERSONPalm Beach Lakes Boulevard
LOCATION
Searcy Denney Scarola Barnhart & Shipley
ORGANIZATIONAtterbury Goldberger & Weiss
ORGANIZATION
Salt Lake City
LOCATION
Weissing
PERSONJaffe
PERSONthe Southern District
LOCATION
Scott J. Link
PERSON
Jay Howell
PERSONE.W.
PERSONJoseph L. Ackerman
PERSONFISTOS & LEHRMAN
ORGANIZATION