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iled 04/12/18 Page 12 of 12 Fort Lauderdale, FL 33301 Phone: (954)-524-2820 Fax: (954)-524-2822 Attorneys for Fanner, Jaffe, Weissing, Edwards, Fistos & Lehrman, P.L. Jay Howell Jay Howell & Associates Florida Bar No.: 225657 Attorney E-Mail(s): [email protected] 644 Cesery Blvd. #250 Jacksonville, FL 3
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
l Jeffrey Epstein to Pay for the Production of All Documents in Response to His Request Filed by Interested Party Farmer, Jaffe, Weissing, Edwards, Fistos & Lehrman, P.L. (hereinafter "Agreed Order Cancelling Hearing"). DE 1194. Movants request sanctions against Fowler White, a law firm which withdrew from repr
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
25 N Andrews Avenue, Suite 2 Fort Lauderdale, FL 33301 Phone: (954)-524-2820 Fax: (954)-524-2822 Attorneys for Farmer, Jaffe, Weissing, Edwards, Fistos & Lehrman, P.L. 4 EFTA00795942 Case 09-34791-R BR Doc 6383 Filed 05/14/18 Page 5 of 6 CERTIFICATE OF SERVICE I HEREBY CERTIFY that on May 14, 2018, I
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
HELD IN CONTEMPT OF COURT, TO PERMIT DISCOVERY, TO ASSESS SANCTIONS AND COSTS, AND FOR OTHER APPROPRIATE RELIEF Fanner, Jaffe, Weissing, Edwards, Fistos & Lehrman, P.L. ("Farmer Jaffe"), through counsel, hereby moves this honorable Court for an Order to Show Cause Why Fowler White and Jeffrey Epstein Should N
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
Entities connected to both FISTOS & LEHRMAN and Permit Discovery

Bradley Edwards
PERSONMaria Farmer
PERSON
Jeffrey Epstein
PERSON
Paul Cassell
PERSONJane Doe
PERSON
Weissing
PERSON
S.J. Quinney College of Law
ORGANIZATIONJack Goldberger
PERSONJaffe
PERSON
the University of Utah
ORGANIZATIONthe Southern District
LOCATION
Salt Lake City
LOCATION
George W. Bush
PERSONScott Rothstein
PERSONJack Scarola
PERSONJoseph L. Ackerman
PERSON
Jay Howell
PERSON
Jacksonville
LOCATIONFanner
PERSON
Searcy Denney Scarola Barnhart & Shipley
ORGANIZATION