EFTA01070533Set 9
2009-07-2041p13,997w
filing of this motion, on April 1, 2009, Defendants counsel
communicated by telephone with Plaintiffs counsel In a good faith effort to resolve the
discovery Issues herein. This motion addresses ... income/loss of capac
type damages. In the
damages, but also her emotional/psychological/mental health
parties, Plaintiffs counsel
telephone communication between counsel for the respective
capacity type damages;
indicated that Plaintiff
https://www.justice.gov/epstein/files/DataSet%209/EFTA01070533.pdf
EFTA01116468Set 9
2015-09-1091p29,281w
anterviews with Counsel. On April 7, 2011awas interviewed by
Edwards and Plaintiffs' counsel of record in this case, Jack Scarola ("Scarola"). See
Transcript of Interview of dated April ... irrelevance are belied by
the questioning that occurred at Dershowitz's recent deposition, where Plaintiffs' counsel
inquired in detail about the truth of egations that she had sex with Dershowitz
https://www.justice.gov/epstein/files/DataSet%209/EFTA01116468.pdf
EFTA00725319Set 9
2009-11-2034p7,791w
calculated effort to bolster the marketing scam that
was taking place.
37. One of Plaintiffs' counsel, EDWARDS, deposed three pilots, and sought the
deposition of a fourth pilot (currently serving ... engaged in any sexual acts with
underage women?
MR. CRITTON: Form.
THE WITNESS: No.3
***
Plaintiffs counsel asked the following similar questions at
the deposition of Larry Eugene Morrison, another
https://www.justice.gov/epstein/files/DataSet%209/EFTA00725319.pdf
EFTA00594193Set 9
2015-09-2118p3,677w
Edwards (together, "Plaintiffs") deposed Dershowitz in this action on October 15
and 16, 2015. Plaintiffs' counsel inquired in detail about the truth of allegations that
she had sex with Dershowitz ... multiple occasions when she was a minor. In pursuing this line
of questioning, Plaintiffs' counsel relied on documents that were not available at the time when
they filed the initial
https://www.justice.gov/epstein/files/DataSet%209/EFTA00594193.pdf
EFTA01085328Set 9
2012-04-0422p4,448w
appearance, to Molyneux Studios, Ltd., 29 69ib Street, New York, New York
10021.
a
Plaintiffs' Counsel is asked to notify Defendant's whet fondant J.P. Molyneux Studio, Ltd., is
served
https://www.justice.gov/epstein/files/DataSet%209/EFTA01085328.pdf