16
Total Mentions
16
Documents
59
Connected Entities
Organization referenced in documents
EFTA00221711
rporation et al., 153 Fed.Appx. 80, 2005 WL 2673489 (C.A.3 (P.A.)); Ford Motor Credit Company v. Chiorazzo, 529 F.Supp.2d 535 (D. N.J. 2008). Under Florida Rules of Civil Procedure 42, the decision to consolidate cases for discovery is not mandatory but that decision remains within the sound discretion of the court. I
EFTA00613391
GAINST PLAINTIFFS/COUNTERCLAIM DEFENDANTS EDWARDS AND CASSELL Defendant and Counterclaim Plaintiff, Alan M. Dershowitz ("Dershowitz"), pursuant to Florida Rules of Civil Procedure 1.170(a), 1.170(e), 1.190(a) and 1.190(f) and Florida Statute § 768.72, hereby respectfully moves this Court for entry of an order grantin
EFTA00722736
Comoration et al., 153 Fed.Appx. 80, 2005 WL 2673489 (CA.3 (P.A.)); Ford Motor Credit Company v. Chiorazzo 529 F.Supp.2d 535 (D. N.J. 2008). Under Florida Rules of Civil Procedure 42, the decision to consolidate cases for discovery is not mandatory but that decision remains within the sound discretion of the court. I
EFTA00727957
nts. DEFENDANT. JEFFREY EPSTEIN'S MOTION FOR PROTECTIVE ORDER The Defendant, JEFFREY EPSTEIN, by and through the undersigned attorney pursuant to Florida Rules of Civil Procedure 1.280 ( c) files the following Motion for Protective Order and as grounds therefore states as follows: 1. The undersigned has been retai
EFTA00728324
f, ) CASE NO.: 502008CA0280500001.MB AD ) vs. ) ) JEFFREY EPSTEIN, ) ) Defendant. ) ) NOTICE OF PRODUCTION FROM NON-PARTY Pursuant to Florida Rules of Civil Procedure 1.351 YOU ARE HEREBY NOTIFIED that after ten (10) days from the date of service of this notice, if service is by facsimile, or 15 days fr
EFTA00728326
ff, ) CASE NO.: 502008CA028051XXXXMB AD ) vs. ) ) JEFFREY EPSTEIN, ) ) Defendant. ) ) NOTICE OF PRODUCTION FROM NON-PARTY Pursuant to Florida Rules of Civil Procedure 1.351 YOU ARE HEREBY NOTIFIED that after ten (10) days from the date of service of this notice, if service is by facsimile, or 15 days fr
EFTA00728336
ff, ) CASE NO.: 502008CA028051)(XXXMB AD ) vs. ) ) JEFFREY EPSTEIN, ) ) Defendant. ) ) NOTICE OF PRODUCTION FROM NON-PARTY Pursuant to Florida Rules of Civil Procedure 1.351 YOU ARE HEREBY NOTIFIED that after ten (10) days from the date of service of this notice, if service is by facsimile, or 15 days fr
EFTA00728341
iff, ) CASE NO.: 502008CA028051XXXXMB AD ) vs. ) ) JEFFREY EPSTEIN, ) ) Defendant. ) ) NOTICE OF PRODUCTION FROM NON-PARTY Pursuant to Florida Rules of Civil Procedure 1.351 YOU ARE HEREBY NOTIFIED that after ten (10) days from the date of service of this notice, if service is by facsimile, or 15 days fr
EFTA00728331
ff, ) CASE NO.: 502008CA028051XXXXMB AD ) vs. ) ) JEFFREY EPSTEIN, ) ) Defendant. ) ) NOTICE OF PRODUCTION FROM NON-PARTY Pursuant to Florida Rules of Civil Procedure 1.351 YOU ARE HEREBY NOTIFIED that after ten (10) days from the date of service of this notice, if service is by facsimile, or 15 days fr
EFTA00729278
Corporation et al. 153 Fed.Appx. 80, 2005 WL 2673489 (C.A.3 (P.A.)); Ford Motor Credit Company v. Chiorazzo 529 F.Supp.2d 535 (D. N.J. 2008). Under Florida Rules of Civil Procedure 42, the decision to consolidate cases for discovery is not mandatory but that decision remains within the sound discretion of the court. I
EFTA00729285
Corporation et al. 153 Fed.Appx. 80, 2005 WL 2673489 (C.A.3 (P.A.)); Ford Motor Credit Company v. Chiorazzo 529 F.Supp.2d 535 (D. N.J. 2008). Under Florida Rules of Civil Procedure 42, the decision to consolidate cases for discovery is not mandatory but that decision remains within the sound discretion of the court. I
EFTA00805492
ts. SUPPLEMENT TO MOTION FOR SEPARATE TRIALS OR. IN THE ALTERNATIVE TO ADJUST THE ORDER OF PROOF Counter-Plaintiff Bradley J. Edwards, pursuant to Florida Rules of Civil Procedure 1.270 and 1.440, hereby files this Supplement to Motion for Separate Trials or, in the Alternative, to Adjust the Order of Proof, and as
EFTA00808498
nter-Plaintiff, Bradley J. Edwards, by and through undersigned counsel, hereby propounds the following Requests for Admission pursuant to Rule 1.370 Florida Rules of Civil Procedure, requesting that Counter-Defendant, Jeffrey Epstein, admit the truth of the facts set forth as follows: 1. The printout of your New Yor
EFTA00808515
24 236 So.2d 189 (Fla. 4th DCA 1970) Turner Construction Co. v. ENF Contractors, Inc., 24 939 So.2d 1108 (Fla. 3d DCA 2003) RULES Rule 1.440, Florida Rules of Civil Procedure 17, 18, 19, 20, 21 Rule 1.500(a), Florida Rules of Civil Procedure 15, 19 iv EFTA00808518 THE WRIT OF MANDAMUS "Mandamus is a narro
EFTA00606747
relative nor employee of such attorney or counsel, and who is not financially interested in the action. Said deposition will be taken pursuant to Florida Rules of Civil Procedure in such cases provided. Said oral examination will continue from hour to hour and from day to day until completed. EFTA00606747 CERTIC
EFTA00234108_sub_001 - EFTA00234108_100
s upon Defendant, Jeffrey Epstein, and as grounds therefore states as follows: 1. A complaint n this action was filed on March 6, 2008. Pursuant to Florida Rules of Civil Procedure 1.070(j), Plaintiff has until July 6, 2008 to serve this Defendant. 2. The Complaint includes claims for Sexual Assault, Civil Conspiracy

Jeffrey Epstein
PersonAmerican sex offender and financier (1953–2019)
Jack Goldberger
PersonAmerican criminal defense attorney who represented Jeffrey Epstein, partner at Goldberger Weiss P.A. in West Palm Beach, Florida
Robert D. Critton
PersonIndividual referenced in Epstein legal documents

Alan Dershowitz
PersonAmerican lawyer, author, and art collector (born 1938)

Bradley Edwards
PersonAmerican attorney who represented Epstein victims, author of Relentless Pursuit
Jane Doe
PersonPseudonym for anonymous victims/witnesses in Epstein legal proceedings
Scott Rothstein
PersonAmerican criminal
Burman
PersonRefers to Michael Burman, Epstein defense attorney
Atterbury
OrganizationLocation or entity referenced in documents

Jacksonville
LocationCity in Duval County, and largest city in State of Florida, United States

Jay Howell
PersonAmerican attorney, Jay Howell & Associates, Jacksonville, FL
Atterbury Goldberger & Weiss
OrganizationLaw firm based in Florida
Jay Howell & Assoc
OrganizationLaw firm
Jack Scarola
PersonAmerican attorney who represented Jeffrey Epstein victims, partner at Searcy Denney Scarola Barnhart & Shipley

Adam D. Horowitz
PersonAmerican attorney specializing in sexual abuse cases, represented multiple Epstein victims
Michael Burman
PersonPerson referenced in documents
JUDICIAL CIRCUIT
OrganizationOrganization referenced in documents
U.S. Mail and Facsimile
OrganizationOrganization referenced in documents

Kenneth Marra
PersonAmerican judge
Michael J. Pike
PersonPerson referenced in Epstein-related documents