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ney E-Mail(s): [email protected] 644 Cesery Blvd. #250 Jacksonville, FL 32211 (904) 680-1234 Paul G. Cassell S.J. Quinney College of Law at the University of Utah 332 S. University St. Salt Lake City, UT 84112 (above for address purposes only) Attorney E-Mail: [email protected] Attorneys for L.M., E.W.
11 BRADLEY EDWARDS' SUMMARY OF DAMAGES Bradley J. Edwards, by and through undersigned counsel and pursuant to the Court's Order to Show Cause Why Fowler White and Jeffrey Epstein Should Not Be Held in Contempt and Scheduling Evidentiary Show Cause Hearing, hereby files this Summary of Damages, and states
W., L.M. and Jane Doe Co-Counsel for Plaintiff/Counter- Defendant Jeffrey Epstein VIA U.S. MAIL Paul G. Cassell S.J. Quinney College of Law at the University of Utah 383 S. University St. Salt Lake City, UT 84112 [email protected] The Honorable Donald W. Hafele Palm Beach County Courthouse 205 N. Dixie H
etting out in two affidavits (1) the chain of custody which irrefutably establish that Link & Rockenbach, PA properly obtained the "materials" from Fowler White, Epstein's prior counsel (App. C) and (2) an opinion by ethics expert, Tim Chinaris, who had authored thousands of ethics opinions for over a decad
istos & Lehrman, P.L. Jay Howell Jay Howell & Associates Florida Bar No. Attorney E-Mail(s) Paul G. Cassell S.J. Quinney College of Law at the University of Utah (above for address purposes only) Attorney E-Mail: Attorneys for L.M., E.W., and Jane Doe EFTA00795926
SET FOR AUGUST 23.24, 2018 Bradley J. Edwards ("Edwards"), by and through undersigned counsel and pursuant to the Court's Order to Show Cause Why Fowler White and Jeffrey Epstein Should Not Be Held in Contempt and Scheduling Evidentiary Show Cause Hearing, hereby files this Motion to Reschedule Show Cause
ney E-Mail(s): [email protected] 644 Cesery Blvd. #250 Jacksonville, FL 32211 (904) 680-1234 Paul G. Cassell S.J. Quinney College of Law at the University of Utah 332 S. University St. Salt Lake City, UT 84112 (above for address purposes only) Attorney E-Mail: [email protected] Attorneys for L.M., E.W.
Bradley J. Edwards, through counsel, hereby files this Reply to Jeffrey Epstein'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,
ey is appearing pro hac vice in this matter pursuant to court order dated April 3, 2018. Paul G. Cassell, Esq. S.J. Quinney College of Law at the University of Utah 332 S. University St. Salt Lake City, UT 84112 Telephone: (801) 585-5202 (above for address/contact purposes only, not to imply institutional en
very, to Assess Sanctions and Costs, and for Other Appropriate Relief [DE 6353]. INTRODUCTION In their motion, the Victims sought sanctions against Fowler White and Epstein for illegally retaining copies of materials forbidden to be retained or copied by this Court's November 2010 order — including a disk o
Entities connected to both the University of Utah and Fowler White

Paul Cassell
PERSON
Bradley Edwards
PERSON
Jeffrey Epstein
PERSONJane Doe
PERSON
S.J. Quinney College of Law
ORGANIZATION
Salt Lake City
LOCATIONMaria Farmer
PERSONFISTOS & LEHRMAN
ORGANIZATIONthe Southern District
LOCATIONJack Goldberger
PERSON
George W. Bush
PERSON
Weissing
PERSONJack Scarola
PERSONJaffe
PERSONScott Rothstein
PERSON
Marc Rich
PERSON
Donald Trump
PERSONJoseph L. Ackerman
PERSON
Fowler
PERSON
Jay Howell
PERSON