7
Total Mentions
7
Documents
26
Connected Entities
Organization referenced in documents
EFTA00095371
judice," and that each party shall "bear its own attorneys' fees and costs." It also states that "Plaintiff shall provide Ms. Maxwell with a copy of the General Release, with the compensation amount redacted" and that "[t]he parties shall not dispute the authenticity of this copy of the General Release in any futur
EFTA00805051
kell Avenue. 14th Floor I Miami. FL 33131 I EFTA00805051 November 30, 2018 Page 2 Likewise, we disagree entirely regarding the enforceability of the General Release which Mr. Epstein executed with full benefit of legal counsel. The terms are clear and unambiguous. The only specific issue of wrongdoing you have
EFTA00308353
for settlement. See Bd. of Trustees of Florida Ail. Univ. v. Bowman, 853 So. 2d 507, 509 (Fla. 4th DCA 2003) ("In the instant case, the language in the General Release, even though expansive, is typical of other general releases and is clear and unambiguous. The fact that Plaintiffs are required to release Defenda
EFTA00308358
l for settlement. See Bd. of Trustees of Florida Ad Univ. v. Bowman, 853 So. 2d 507, 509 (Fla. 4th DCA 2003) ("In the instant case, the language in the General Release, even though expansive, is typical of other general releases and is clear and unambiguous. The fact that Plaintiffs are required to release Defenda
EFTA00591494
. S. The conditions of this Proposal are: (1) that Plaintiff, MC2 MODEL & TALENT MIAMI, LLC, shall execute and deliver to the undersigned counsel, the General Release, attached hereto, as Exhibit A. and (2) that Plaintiff, MC2 MODEL & TALENT MIAMI, LLC, shall, by and through his attorney, execute and deliver to t
EFTA00599839
of America, paid to him on behalf of JEFFREY EPSTEIN, the receipt whereof is hereby acknowledged, and for and in consideration of the execution of the General Release attached hereto as Exhibit #2 has remised, released, and forever discharged, and by these presents does for himself, as well as his heirs, survivor
EFTA00617978
al for settlement. See Bd of Motets of Florida Ad. Univ. v. Bowman, 853 So. 2d 507, 509 ,(Fla. 4th DCA 2003) ("In the instant case, the language in the General Release, even:though expansive, is typical of other general releases and is clear and unambiguous. The fact „that Plaintiffs are required to release Defend

Jeffrey Epstein
PersonAmerican sex offender and financier (1953–2019)
Scott Rothstein
PersonAmerican criminal

Bradley Edwards
PersonAmerican attorney who represented Epstein victims, author of Relentless Pursuit
Florida Rule of Civil
OrganizationOrganization referenced in documents
the Offer of Judgment
OrganizationOrganization referenced in documents
Alamo Fin
OrganizationOrganization referenced in documents
Marc Nurik
PersonPerson referenced in documents
Mazoff
PersonName reference in documents
Chambers
PersonSurname reference in Epstein documents
Tonja Haddad Coleman
PersonFlorida attorney who represented Jeffrey Epstein in legal proceedings
Fred Haddad
PersonFlorida criminal defense attorney who represented Jeffrey Epstein

Nichols
PersonAmbiguous surname reference in Epstein documents
Bowman
PersonSurname reference in documents
Jack Goldberger
PersonAmerican criminal defense attorney who represented Jeffrey Epstein, partner at Goldberger Weiss P.A. in West Palm Beach, Florida
Jack Scarola
PersonAmerican attorney who represented Jeffrey Epstein victims, partner at Searcy Denney Scarola Barnhart & Shipley

William B. King
PersonPerson referenced in documents
Ziadie
PersonName reference in documents
the Court on Counter-Defendant's
OrganizationOrganization referenced in documents
Defendant's Motion for Fees and Costs
OrganizationOrganization referenced in documents

George W. Bush
PersonPresident of the United States from 2001 to 2009