EFTA01104662Set 9
2012-05-157p1,209w
KARIMEMMY
Dear Ms. Coleman:
COPJALD WACO H.
'C. CALM VMARINBI •
CE2/5171.
Enclosed please find Defendant/Counterplaintiff's Motion for Clarification, together
TAAL L.co•Nrr.onfr
with a Notice of Hearing ... EDWARDS, individually, and
., individually,
Defendant(s).
MOTION FOR CLARIFICATION OF RECENT DISCOVERY ORDERS
Defendant/Counterplaintiff, BRADLEY J. EDWARDS, moves this Honorable Court to
fy the current status of his discovery obligations ... Palm Beach Lakes Boulevard
West Palm Beach. Florida 33409
Phone:
Fax:
Attorney for Defendant/Counterplaintiff
EFTA01104663
05/15/2012,1 3:36 FAX 5616845816 SEARCY DENNEY x003
1
•
•
arils adv. Epstein
No.: S02009CA040800XXXXMBAG
https://www.justice.gov/epstein/files/DataSet%209/EFTA01104662.pdf
EFTA01120060Set 9
2011-09-146p1,181w
hereby notified that we will be filing
VIRGIN%
. WASTINGICA DC
the enclosed Motion of Defendant/Counterplaintiff, Bradley J. Edwards, for
PARALEGALS. Attorney's Fees pursuant to Florida Statute §57.105 unless, within ... SCOTT ROTHSTEIN, individually,
DRAFT
BRADLEY J. EDWARDS, individually, and
L.M., individually,
Defendant(s).
DEFENDANT/COUNTERPLAINTIFF, BRADLEY J. EDWARDS' MOTION FOR
ATTORNEY'S FEES PURSUANT TO FLA. STAT. O7.105
Defendant/Counterplaintiff, BRADLEY ... offering to pay
hundreds of thousands of dollars to settle that same claim.
WHEREFORE, Defendant/Counterplaintiff, BRADLEY J. EDWARDS, respectfully
requests that his Motion for Attorney's Fees Pursuant
https://www.justice.gov/epstein/files/DataSet%209/EFTA01120060.pdf
EFTA01104682Set 9
2012-07-167p950w
Highway, West Palm Beach, FL 33401
ROOM #: 9-C
SPECIFIC MATTERS TO BE HEARD:
Defendant/Counterplaintiff's Motion to Reschedule Hearing
EFTA01104682
07/11/2012 10:45 FAX 5616845816 SEARCY DENNEY 0002/007
Edwards ... individually,
BRADLEY J. EDWARDS, individually, and
individually,
Defendant(s).
MOTION TO RESCHEDULE HEARING
The Defendant/Counterplaintiff, BRADLEY J. EDWARDS, by and through his
unde rsigned counsel moves this Honorable Court ... Renewed Motion for
Summary Judgment and as grounds therefor would state:
1. Counsel for Defendant/Counterplaintiff has developed a scheduling conflict that
cannot be resolved which requires
https://www.justice.gov/epstein/files/DataSet%209/EFTA01104682.pdf
EFTA01076899Set 9
2010-05-039p2,443w
CHRlinCelliM K.SOLID"
BRIAN P. SitUVAN
H.
Dear Judge Crow:
KAREN E.TThirt
Enclosed please find Defendant/Counterplaintiff, Bradley J. Edwards' Response and
•t. Chao veminimA III
Supporting Legal Authorities in Opposition ... Plaintiff;
vs.
SCOTT ROTHSTEIN, individually,
liagsDLEY J. EDWARDS, individually, and
> individually,
Defendant,
SUPPORTING LEGAL
DEFENDANT/COUNTERPLAINTIFF'S RESPONSE AND
NT'S MOTION FOR
AUTHORITIES IN OPPOSITION TO COUNTERDEFENDA
FOR SUMMARY JUDGMENT ... PLEADINGS AND/OR MOTION PROCESS
ON EDWARDS' COUNTERCLAIM FOR ABUSE OF
nse and Supporting
Defendant/Counterplaintiff, Bradley J. Edwards, files this Respo
ant, Jeffrey Epstein's Motion for
Legal Authorities in Opposition
https://www.justice.gov/epstein/files/DataSet%209/EFTA01076899.pdf
EFTA01100905Set 9
2011-09-024p659w
SCOTT ROTHSTEIN, individually,
BRADLEY J. EDWARDS, individually, and
L.M., individually,
Defendant(s).
DEFENDANT/COUNTERPLAINTIFF. BRADLEY J. EDWARDS' MOTION FOR
ATTORNEY'S FEES PURSUANT TO FLA. STAT. §57.105
Defendant/Counterplaintiff, BRADLEY J. EDWARDS ... offering to pay
hundreds of thousands of dollars to settle that same claim.
WHEREFORE, Defendant/Counterplaintiff, BRADLEY J. EDWARDS, respectfully
requests that his Motion for Attorney's Fees Pursuant
https://www.justice.gov/epstein/files/DataSet%209/EFTA01100905.pdf
EFTA01069478Set 9
2010-03-172p288w
EDWARDS, individually, and
L.M., individually,
Defendant,
NOTICE OF FILING PAGE AND LINE DESIGNATIONS
Defendant/Counterplaintiff, BRADLEY J. EDWARDS, by and through his undersigned
ndant,
attoirneys, submits the designation of the entire ... this
' matter. All exhibits utilized in the deposition will be introduced at trial.
Defendant/Counterplaintiff may rearrange some of the designated testimony so that it is more
understandable to the jury
https://www.justice.gov/epstein/files/DataSet%209/EFTA01069478.pdf
ORDER ON EDWARDS' MOTION TO EXPAND INTERROGATORIES
THIS MATTER came before this Court on Defendant/Counterplaintiff, EDWARDS',
Motion to Expand the number of Interrogatories. This Court having reviewed the motion ... follows:
1. The Defendant/Counterplaintig EDWARDS, has already propounded 68 interrogatories
with subparts. The Defendant/Counterplaintiff, EDWARDS, shall not propound any
more interrogatories without leave of court.
2. The Plaintifl7Counterdefendant, EPSTEIN
https://www.justice.gov/epstein/files/DataSet%209/EFTA00724466.pdf
EFTA01143024Set 9
2011-12-0924p4,729w
PLAINTIFF'S THIRD SET
OF INTERROGATORIES TO DEFENDANT/COUNTER-PLAINTIFF
BRADLEY J. EDWARDS
COMES NOW the Defendant/Counterplaintiff, Bradley J. Edwards, by and through his
undersigned counsel, and hereby files this Notice with ... EDWARDS, individually, and
L.M., individually,
Defendant(s).
PLAINTIFF'S RESPONSE TO REQUEST TO PRODUCE
Defendant/Counterplaintiff, Bradley J. Edwards, by and through his undersigned attorney
and pursuant to Rule 1.350, Florida
https://www.justice.gov/epstein/files/DataSet%209/EFTA01143024.pdf
EFTA00722353Set 9
2010-09-168p1,600w
JEFFREY EPSTEIN,
Plaintiff,
vs.
S TT ROTHSTEIN, individually,
and BRADLEY J. EDWARDS,
individually,
Defendants.
DEFENDANT/COUNTERPLAINTIFF BRADLEY J. EDWARDS' REQUEST FOR.
I ADMISSIONS AND INTERROGATORY TO PLAINTIFF/COUNTERDEFENDANT
JEFFREY EPSTEIN
COMES ... Defendant/Counterplaintiff, BRADLEY J. EDWARDS, by and
thMugh his undersigned counsel, and files this, his Request for Admissions to the
Plaintiff'Counterdefendant, JEFFREY EPSTEIN, and requests that PlaintiffiCountenlefendant
admit or deny
https://www.justice.gov/epstein/files/DataSet%209/EFTA00722353.pdf
EFTA01082029Set 9
2011-12-0924p4,405w
PLAINTIFF'S THIRD SET
OF INTERROGATORIES TO DEFENDANT/COUNTER-PLAINTIFF
BRADLEY J. EDWARDS
COMES NOW the Defendant/Counterplaintiff, Bradley J. Edwards, by and through his
undersigned counsel, and hereby files this Notice with ... EDWARDS, individually, and
■., individually,
Defendant(s).
PLAINTIFF'S RESPONSE TO REQUEST TO PRODUCE
Defendant/Counterplaintiff, Bradley J. Edwards, by and through his undersigned attorney
and pursuant to Rule 1.350, Florida Rules
https://www.justice.gov/epstein/files/DataSet%209/EFTA01082029.pdf
EFTA00606656Set 9
2010-03-172p283w
EDWARDS, individually, and
L.M., individually,
Defendant,
NOTICE OF FILING PAGE AND LINE DESIGNATIONS
Defendant/Counterplaintiff, BRADLEY J. EDWARDS, by and through his undersigned
dant,
attoirneys, submits the designation of the entire ... this
' matter. All exhibits utilized in the deposition will be introduced at trial.
Defendant/Counterplaintiff may rearrange some of the designated testimony so that it is more
understandable to the jury
https://www.justice.gov/epstein/files/DataSet%209/EFTA00606656.pdf
EFTA00601962Set 9
2010-09-168p1,635w
JEFFREY EPSTEIN,
Plaintiff,
vs.
S TT ROTHSTEIN, individually,
and BRADLEY J. EDWARDS,
individually,
Defendants.
DEFENDANT/COUNTERPLAINTIFF BRADLEY J. EDWARDS' REQUEST FOR.
I ADMISSIONS AND INTERROGATORY TO PLAINTIFF/COUNTERDEFENDANT
JEFFREY EPSTEIN
COMES ... Defendant/Counterplaintiff, BRADLEY J. EDWARDS, by and
thMugh his undersigned counsel, and files this, his Request for Admissions to the
Plaintiff'Counterdefendant, JEFFREY EPSTEIN, and requests that PlaintiffiCountenlefendant
admit or deny
https://www.justice.gov/epstein/files/DataSet%209/EFTA00601962.pdf
EFTA01100934Set 9
2011-05-195p679w
Highway, West Palm Beach, FL 33401
ROOM #: 9-C
SPECIFIC MATTERS TO BE HEARD:
Defendant/Counterplaintiff, Edwards' Motion to Dismiss
*In accordance with the Americans with Disabilities Act, persons in need ... ROTHSTEIN, individually,
BRADLEY J. EDWARDS, individually, and
L.M., individually,
Defendant(s).
MOTION TO DISMISS
Defendant/Counterplaintiff, BRADLEY J. EDWARDS, moves this Honorable Court to
dis~riss the Complaint against
https://www.justice.gov/epstein/files/DataSet%209/EFTA01100934.pdf
EFTA01087251Set 9
2011-12-0924p4,673w
PLAINTIFF'S THIRD SET
OF INTERROGATORIES TO DEFENDANT/COUNTER-PLAINTIFF
BRADLEY J. EDWARDS
COMES NOW the Defendant/Counterplaintiff, Bradley J. Edwards, by and through his
undersigned counsel, and hereby files this Notice with ... EDWARDS, individually, and
L.M., individually,
Defendant(s).
PLAINTIFF'S RESPONSE TO REQUEST TO PRODUCE
Defendant/Counterplaintiff, Bradley J. Edwards, by and through his undersigned attorney
and pursuant to Rule 1.350, Florida
https://www.justice.gov/epstein/files/DataSet%209/EFTA01087251.pdf
EFTA01107365Set 9
2010-03-238p1,407w
EDWARDS, individually, and
L.M., individually,
Defendant,
EDWARDS' RESPONSE TO FIRST REQUEST FOR ADMISSIONS
Defendant/Counterplaintiff, BRADLEY J. EDWARDS, hereby files his Response to
Plaintiff, JEFFREY EPSTEIN'S First Request for Admissions
https://www.justice.gov/epstein/files/DataSet%209/EFTA01107365.pdf
EFTA01082263Set 9
2011-06-099p1,236w
EDWARDS, individually, and
M., individually,
Defendant(s).
PLAINTIFFS' REQUEST FOR PRODUCTION TO JEFFREY EPSTEIN
Defendant/Counterplaintiff, Bradley J. Edwards by and through his undersigned counsel,
reqUests, pursuant to Rule
https://www.justice.gov/epstein/files/DataSet%209/EFTA01082263.pdf
EFTA00724355Set 9
2010-10-193p439w
ROTHSTEIN, individually,
B LEY J. EDWARDS, individually, and
individually,
Defendant(s).
DEFENDANT/COUNTERPLAINTIFF, EDWARDS', MOTION FOR LEAVE TO
ASSERT CLAIM FOR PUNITIVE DAMAGES
Counter-plaintiff, BRADLEY J. EDWARDS, moves this Honorable
https://www.justice.gov/epstein/files/DataSet%209/EFTA00724355.pdf
EFTA00722343Set 9
2010-09-1610p1,033w
individually,
Defendant(s).
NOTICE OF PROPOUNDING EXPERT INTERROGATORIES
TO PLAINTIFF/COUNTEFtDEFEN'DANT, JEFFREY EPSTEIN
Defendant/Counterplaintiff, Bradley J. Edwards, hereby gives notice that pursuant to
16
Rule 1.340(e), Florida Rules
https://www.justice.gov/epstein/files/DataSet%209/EFTA00722343.pdf