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venue, Suite 2 Fort Lauderdale, Florida 33301 Telephon Facsimile E-mail: and Paul G. Cassell Pro Hac Vice S.J. Quinney College of Law at the University of Utah 332 S. 1400 E. Salt Lake City, UT 84112 Attorneys for Jane Doe #1, Z 3, and 4 UNITED STATES ATTORNEY'S OFFICE 500 S. Australian Ave., Suite 400
EIGHTEEN (18) PAGES Alan M. Dershowitz, through undersigned counsel, hereby files this Unopposed Motion for Leave to File a Reply in Support of his Motion for Limited Intervention not to Exceed Eighteen (18) Pages, and in support thereof states as follows: I. On December 30, 2014 Jane Does 3 and 4 filed a Motion for Joinder
and Brad Edwards for Jane Doe #1 and Jane Doe #2 Paul G. Cassell Ronald N. Boyce Presidential Professor of Criminal Law Quinney College of Law at the University of Utah 332 S. 1400 E. , Room 101 Salt Lake City, UT 84112-0730 (phone) (fax) You can access my publications on http://ssrn.com/author=30160 CONFIDENTI
SAFLS) [ Sent: Thursday, Jul 11 2013 11:46 AM To: Brad Edwards' I. (USAFLS) Cc: (USAFLS); Maria Kelljchian; Paul Cassell Subject: RE: Epstein's Motion for Limited Intervention Brad, Can you call me at at 5:00 p.m.? Thanks. From: Brad Edwards [mailto: Sent: Thursda July 11, 2013 1:22 PM To: USAFLS); (USAFLS) Cc: (U
and Brad Edwards for Jane Doe #1 and Jane Doe #2 Paul G. Cassell Ronald N. Boyce Presidential Professor of Criminal Law Quinney College of Law at the University of Utah 332 S. 1400 E. , Room 101 Salt Lake City, UT 84112-0730 You can access my publications on http://ssrn.com/author=30160 CONFIDENTIAL: This electro
SAFLS) [ Sent: Thursday, Jul 11 2013 11:46 AM To: Brad Edwards. I. (USAFLS) Cc: (USAFLS); Maria Kelljchian; Paul Cassell Subject: RE: Epstein's Motion for Limited Intervention Brad, Can you call me at at 5:00 p.m.? Thanks. From: Brad Edwards [mailto ] Sent: Thursda July 11, 2013 1:22 PM To: USAFLS); -,El I. (USAFLS
ad Edwards for Jane Doe #1 and Jane Doe #2 Paul G. Cassell Ronald N. Boyce Presidential Professor of Criminal Law Si. . Quinney College of Law at the University of Utah You can access my publications on http://ssm.com/author=30160 CONFIDENTIAL: This electronic message - along with any/all attachments is confidentia
(USAFLS) [ Sent: Thursday, Jul 11 2013 11:46 AM To: Brad Edwards; (USAFLS) Cc: (USAFLS); Maria Kelljchian; Paul Cassell Subject: RE: Epstein's Motion for Limited Intervention Brad, Can you call me at at 5:00 p.m.? Thanks. From: Brad Edwards [mailto: Sent: Thursda July 11, 2013 1:22 PM To: USAFLS); (USAFLS) Cc: (U
and Brad Edwards for Jane Doe #1 and Jane Doe #2 Paul G. Cassell Ronald N. Boyce Presidential Professor of Criminal Law Quinney College of Law at the University of Utah 332 S. 1400 E. , Room 101 Salt Lake City, UT 84112-0730 EFTA00209891 You can access my publications on http://ssm.com/author=30160 CONFIDENTIAL
sell is admitted to the Utah State Bar, but not the bars of other states. Thank you. Sent: Thursday, July 11, 2013 11:46 AM Subject: RE: Epstein's Motion for Limited Intervention Brad, Can you call me at -at at 5:00 p.m.? Thanks. Dexter en t: fnursaay, July 11, 1013 1: • aria Icelljcn ran; Paul Lassencasse pa aw.0 a .e
MAN, P.L. 425 North Andrews Avenue, Suite 2 Fort Lauderdale, Florida 33301 and Paul G. Cassell Pro Hoc Vice S.J. Quinney College of Law at the University of Utah 332 S. 1400 E. Salt Lake Ci , UT 84112 Attorneys for Jane Doe #1 and Jane Doe #2 41 EFTA00210830 Case 9:08-cv-80736-KAM Document 48 Entered o
ust a few days ago your Office did not oppose a motion to intervene in the case by Alan Dershowitz. See DE 294 ("The Government does not oppose the Motion for Limited Intervention by Alan M. Dershowitz."). If your Office is not going to oppose a motion by a suspected co-conspirator of Epstein's to intervene in the case, we tr
s daytime business address is provided for identification and correspondence purposes only and is not intended to imply institutional endorsement by the University of Utah 2 EFTA00191399 CERTIFICATE OF SERVICE I certify that the foregoing document was served on January 21, 2015, on the following via US Mail: Dext
g "targeted" precisely because his involvement in Epstein's sexual trafficking would help "blow up" the plea agreement: 13 In his Supplement to his Motion for Limited Intervention, Dershowitz claims that only infonnation relevant to this case is information known by the Government before September 24, 2007 — the latest date o
le, Florida 33301 Telephone (954) 524-2820 Facsimile 954 524-2822 E-mail: and Paul G. Cassell Pro Hac Vice S.J. Quinney College of Law at the University of Utah 332 S. 1400 E. Salt Lake City, UT 84112 Telephone: 801-585-5202 Facsimile: 801-585-6833 E-Mail: [email protected] Attorneys for Jane Doe #1
T TO HIS MOTION FOR LIMITED INTERVENTION (DE 282) Alan M. Dershowitz, a nonparty to this litigation, respectfully supplements his previously filed Motion for Limited Intervention (DE 282), as follows': The rights afforded by the Crime Victims' Rights Act, 18 U.S.C. § 3771(a)(5) (hereinafter the "CVRA"), including the right t
s daytime business address is provided for identification and correspondence purposes only and is not intended to imply institutional endorsement by the University of Utah 39 EFTA00188786 Case 9:08-cv-80736-KAM Jcument 291 Entered on FLSD Doc. 01/21/2015 Page 40 of 40 CERTIFICATE OF SERVICE I certify that the fo
g "targeted" precisely because his involvement in Epstein's sexual trafficking would help "blow up" the plea agreement: 13 In his Supplement to his Motion for Limited Intervention, Dershowitz claims that only information relevant to this case is information known by the Government before September 24, 2007 — the latest date o
021826 Oo O DN OO FF WwW NY =| NO RO PO PNP NM NO | S| S| HS SF S| S| S| S| S| non BP WO NO -|- ODO OO WDN OO OT BP WO NYO — became a professor at the University of Utah; is that correct? A. Yeah I was professor -- excuse me -- before I was a professor in the evening hours while I was a judge from 2002 to 2007. And t
BY MR. SIMPSON: Q. Let me identify that for the record. I may want to mark two things. A. Okay. Q. Exhibit 1 is documented Plaintiff's Response to Motion for Limited Intervention by Alan M. Dershowitz, and I'm going to ask the reporter to mark another exhibit at the same time. This will be Exhibit 2, and this is a document ent
Entities connected to both the University of Utah and Motion for Limited Intervention

Paul Cassell
PERSON
Bradley Edwards
PERSON
Jeffrey Epstein
PERSONJane Doe
PERSON
S.J. Quinney College of Law
ORGANIZATION
Kenneth Marra
PERSON
Salt Lake City
LOCATIONMaria Farmer
PERSON
Ronald N. Boyce
PERSONFISTOS & LEHRMAN
ORGANIZATION
United States
LOCATION
Scarlett Johansson
PERSON
Alan Dershowitz
PERSONthe Southern District
LOCATIONLeon Black
PERSON
Dexter Lee
PERSON
Ghislaine Maxwell
PERSON
Department of Justice
ORGANIZATION
A. Marie Villafana
PERSON
Prince Andrew
PERSON