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nly in 2014, when her lawyers `pressured' her to do so for financial reasons."2° (u) August 30, 2019, on NewsmaxTV:2' "[A]s soon as [Plaintiff] met David Boies and the other lawyers, suddenly she remembered having had sex with me. It's totally made up. I never met her." (v) October 19, 2019, on Twitter: "
then they meet David Boies, and suddenly they make accusations. There's a term for that, and I want the federal government to be examining whether Boies is guilty of subornation of perjury. I want the federal government to examine whether Boies is guilty of extortion, of trying to get a billion doll
d not claim that Plaintiff's lawyers had told him that they did not believe her. 86. Instead, the morning of December 9, 2015, Defendant pleaded: "David, Have we given up on a mutually acceptable statement from VR or you. Let's keep trying. We are not that far apart." When Plaintiff's lawyer did not
dividual who is a citizen of the State of Colorado. 29. On information and belief, Defendant Alan Dershowitz is an individual who is a citizen of the State of New York and resides in the Southern District of New York at 2 Tudor City Place Apt. 10EN, New York, New York 10017. 15 EFTA00092662 Case 1:19-cv-03377-L
g the true nature of the relationship between Plaintiff and her various "counsel." Specifically, the "contingency arrangement" between Plaintiff and Boies, Shiller & Flexner LLP ("BSF") . Menninger Decl., Ex. K. ("Contingency Engagement").9 Thus, the newly minted engagement letter with Mr. Pottinger
e victims of abuse. Boies Schiller & Flexner LLP took on Ms. Roberts' representation because she was a victim of abuse when she was a minor child." David Boies Is Now Representing Jane Doe #3 (Apr. 26, 2015), http:/hhecareerist.typepad.comithecareerist/ 2016/04/alan•dershowitz•on-the-record.html (last viewe
ege log on which the Motion is based at Menninger Decl. at Ex. A. 6 One does wonder why a New York licensed attorney who claims to be practicing in the State of New York at an address within the Southern District would need to move for Pro Hac Vice admission in the jurisdiction he allegedly practices if he truly doe
behalf of all others similarly situated, Plaintiff, v. JPMorgan Chase Bank, N.A., Defendant. Case No. 1:22-CV-10019 (JSR) JOINT DECLARATION OF DAVID BOIES AND BRADLEY EDWARDS IN SUPPORT OF CLASS REPRESENTATIVE JANE DOE 1'S MOTION FOR PRELIMINARY APPROVAL OF CLASS ACTION SETTLEMENT WITH DEFENDANT JPMO
. 1:22-CV-10019 (JSR) JOINT DECLARATION OF DAVID BOIES AND BRADLEY EDWARDS IN SUPPORT OF CLASS REPRESEN
NT JPMORGAN CHASE BANK N.A. We, David Boies and Bradley Edwards, declare as follows: I. I, David Boies, am a member in good standing of the bar of the State of New York and am admitted to practice before this Court. I am the Chairman and a Managing Partner of Boies Schiller Flexner LLP ("BSF"). I make this declarat
ransfer to the escrow account of attorney, David Boies, Esq. of the law firm Boies Schiller Flexner LLP
um of Five Hundred Thousand Dollars (U.S. $500,000) (the 1 EFTA00283429 "Settlement Amount") by wire transfer to the escrow account of attorney, David Boies, Esq. of the law firm Boies Schiller Flexner LLP (the "Escrow Agent"), in accordance with the wire transfer instructions attached as Exhibit A here
incurred in connection with such enforcement and proceeding. 20. This Agreement shall be governed by and construed in accordance with the laws of the State of New York applicable to agreements entered into and to be performed entirely within the State of New York without regard to the principles of New York law re
following: Sigrid S. McCawley Meridith Schultz BOIES, SCHILLER & FLEXNER, LLP 401 East Las Olas Boule
sitions and Motion for Sanctions for Violations of Rule 45 I, Laura A. Menninger, declare as follows: I. I am an attorney at law duly licensed in the State of New York and admitted to practice in the United States District Court for the Southern District of New York. I am a member of the law firm Haddon, Morgan &
following: Sigrid S. McCawley Meredith Schultz BOIES, SCHILLER & FLEXNER, LLP 401 East Las Olas Boule
Certain Depositions Designated By Plaintiff For Use At Trial I, Laura A. Menninger, declare as follows: 1. I am an attorney at law duly licensed in the State of New York and admitted to practice in the United States District Court for the Southern District of New York. I am a member of the law firm Haddon, Morgan &
Entities connected to both David Boies and the State of New York

Jeffrey Epstein
PERSON
Ghislaine Maxwell
PERSONSigrid McCawley
PERSON
Bradley Edwards
PERSON
JPMorgan Chase
ORGANIZATION
United States
LOCATION
Prince Andrew
PERSON
the Internal Revenue Service
ORGANIZATION
Alan Dershowitz
PERSONDarren Indyke
PERSONthe Southern District
LOCATION
George W. Bush
PERSONLeon Black
PERSONJane Doe
PERSON
Virginia Giuffre
PERSON
Paul Cassell
PERSON
Donald Trump
PERSON
Newark
LOCATION
New York
LOCATIONSouthern District
LOCATION