W. CHESTER BREWER, JR., M. ATTORNEY AT LAW SUITE 1400 250 AUSTRALIAN AVENUE SOUTH WEST PALM BEACH, FLORIDA 33401-50M TELEPHONE (561) 6554777 FAX (561) 8354691 June 4, 2014 John R. Beranek, Esquire AUSLEY & McMULLEN, P.A. Post Office Box 391 Tallahassee, FL 32302 Re: Epstein v. Rothstein and Edwards Dear John: Enclosed please find the following: 1. Our Motion for Summary Judgment (w/o attachments) 2. Scarola's Memorandum in Opposition (w/o attachments) 3. Transcript of the hearing on our Motion for Summary Judgment 4. Counter-Plaintiff's two Notices of Supplemental Authority 5. Order Granting our Motion for Summary Judgment 6. Final Judgment Please note that the second "Supplemental Authority" is in reality, Philip Burlington's appellate brief on the identical issues that were raised in our case. You may anticipate that a very, very similar brief will be filed by the appellants in this matter. The client would like to know your hourly rate and retainer requirements. He would also like to explore the possibility of paying you a flat rate for the preparation of the appellee's brief. This fee, of course, would only be applicable for work done at the District Court level. When you have had an opportunity to review these materials, please give me a call. Very truly yours, WCB/cg Enclosure cc: Jeffrey Epstein Darren Indyke, Esquire Jack A. Goldberger, Esquire W. Chester Brewer, Jr. EFTA00611704



