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(USAFLS)"

From: (USAFLS)" To: USAFI r> (USAFLS)" Subject: RE: join motion for rescheduling depo Date: Mon, 13 Jun 2016 16:02:14 +0000 Importance: Normal I am available on July 21-22, 2016. From: (USAFLS) Sent: Monday, June 13, 2016 11:54 AM To: .(USAFLS); Subject: RE: join motion for rescheduling depo (USAFLS) I fly out of town on the afternoon of 7/29 and don't get back to Miami until 8/7. I know is out of town during the last week in July, so that may be a bad period for the mediation in case we need to get his approval, on anything. (I know is also taking vacation around that period, but I'm not sure whether that has been scheduled; we can check with him tomorrow.) I have a conflict at noon on 7/20, but this would override that obligation. I also have an office obligation at noon on 7/22 (a brown bag with Major Crimes), but that could be rescheduled again if needed. In short, from my perspective, 7/21 (my only conflict-free day) would be best, followed by 7/20 and then

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Unknown
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DOJ Data Set 9
Reference
EFTA 00211278
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2
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2
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From: (USAFLS)" To: USAFI r> (USAFLS)" Subject: RE: join motion for rescheduling depo Date: Mon, 13 Jun 2016 16:02:14 +0000 Importance: Normal I am available on July 21-22, 2016. From: (USAFLS) Sent: Monday, June 13, 2016 11:54 AM To: .(USAFLS); Subject: RE: join motion for rescheduling depo (USAFLS) I fly out of town on the afternoon of 7/29 and don't get back to Miami until 8/7. I know is out of town during the last week in July, so that may be a bad period for the mediation in case we need to get his approval, on anything. (I know is also taking vacation around that period, but I'm not sure whether that has been scheduled; we can check with him tomorrow.) I have a conflict at noon on 7/20, but this would override that obligation. I also have an office obligation at noon on 7/22 (a brown bag with Major Crimes), but that could be rescheduled again if needed. In short, from my perspective, 7/21 (my only conflict-free day) would be best, followed by 7/20 and then

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From: (USAFLS)" To: USAFI r> (USAFLS)" Subject: RE: join motion for rescheduling depo Date: Mon, 13 Jun 2016 16:02:14 +0000 Importance: Normal I am available on July 21-22, 2016. From: (USAFLS) Sent: Monday, June 13, 2016 11:54 AM To: .(USAFLS); Subject: RE: join motion for rescheduling depo (USAFLS) I fly out of town on the afternoon of 7/29 and don't get back to Miami until 8/7. I know is out of town during the last week in July, so that may be a bad period for the mediation in case we need to get his approval, on anything. (I know is also taking vacation around that period, but I'm not sure whether that has been scheduled; we can check with him tomorrow.) I have a conflict at noon on 7/20, but this would override that obligation. I also have an office obligation at noon on 7/22 (a brown bag with Major Crimes), but that could be rescheduled again if needed. In short, from my perspective, 7/21 (my only conflict-free day) would be best, followed by 7/20 and then 7/22. The 7/25-7/28 dates might also work, provided at least is around on those dates. From: (USAFLS) Sent: Monda June 13, 2016 10:14 AM To: (USAFLS); (USAFLS) Subject: FW: join motion for rescheduling depo Hi In and - I am hoping that we can get this done without another visit to Judge Brannon, but please see below about re-setting the date. Of those dates, I am available 7/20-7/22, 7/25-7/29 (I have mag court duty that week but can probably find someone to cover), and 8/3-8/4. Thanks. Assistant U.S. Attorney Southern District of Florida From: Paul Cassell [ Sent: Monda June 13 2016 10:07 AM To: USAFLS Cc: Brad Edwards Subject: join motion for rescheduling depo EFTA00211278 Hi Mi Brad will be your point of contact in working out substantive issues on the settlement. I write on a procedural issue, specifically because both Brad and I would really like to move the mediation. I am return from a week in Israel Sunday night and will have to fly out Monday to Florida for the Tuesday depo. Brad has a series of depositions that must be completed by the end of the month. And, Brad tells me, you have some busy days ahead too, and we don't have the letter of apology yet to review. In light of all this, can we all agree to ask the judge to move the mediation back a couple of weeks? I'd like to give some additional days to the Judge in our motion. Here are days in late July that work for me. If you and Brad can let me know you're schedules, we can propose some other dates for the mediation. Thanks in advance for your anticipated cooperation. Good dates for me: July 19-22. July 25-29. Aug 2-4. Paul Paul G. Cassell Ronald N. Boyce Presidential Professor of Criminal Law University Distinguished Professor of Law S.J. Quinney College of Law at the University of Utah (phone) (fax) You can access my publications on http://ssrn.com/author=30160 CONFIDENTIAL: This electronic message - along with any/all attachments is confidential. This message is intended only for the use of the addressee. If you are not the intended recipient, you may not use, disseminate, distribute or copy this communication. If you have received this message in error, please immediately notify the sender by reply electronic mail and delete the original message. Professor Cassell is admitted to the Utah State Bar, but not the bars of other states. Thank you. EFTA00211279

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DOJ Data Set 9OtherUnknown

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Fr • < > Subjec :Deliberative t Process ec aratton rom am Justice - equest or wo ee xtension Date: Fri, 20 Sep 2013 17:59:47 +0000 Importance: Normal We have no objection, provided we get the following accommodation, which you already anticipated. We would request that your motion for extension of time give us an extension on our reply document, such that our reply would be due 10 days after the main Justice Department declaration that will be coming in two weeks. If you would include such language as well in any proposed order, saving us (and the court) drafting time, that would be very much appreciated. Paul Cassell and Brad Edwards for Jane Doe #1 and Jane Doe #2 Paul G Cassell CONFIDENTIAL: This electronic message along with any/all attachments is confidential. This message is intended only for the use of the addressee. If you are not the intended recipient, you may not use, disseminate, distribute or copy this communication. If you have received this message

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From: Paul Cassell •ci To: "IN (USAFLS)" ' Cc: , • (USAFLS)" USAFLS)" >, Brad Edwards Subject: RE: Judge Marra's Order Granting the Victims Motion to Compel Discovery Within 30 Days Date: Tue, 25 Jun 2013 00:46:56 +0000 Importance: Normal Attachments: ORDER-omnibus-wrapup.pdf [tried to send this earlier, but it may not have gone out] Dear We haven't seen the sealed order granting the Government's motion for stay either. (Have you?). But, in any event, Judge Marra's order on June 19, 2013 (DE 190) specifically stated that "The petitioners' motion to compel discovery from the Government [DE 130] is GRANTED. Within THIRTY (30) DAYS from the date of entry of this order, the Government shall . . . [produce various discovery]." For your convenience, I attach a copy of DE 190 ordering the Government to produce discovery within 30 days. So we are expecting to see you produce the bulk of our discovery on July 19, 2013, as specifically directed in DE 190 which granted our mo

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From: To: "Paul Cassell" Cc: ' "Brad Edwards" Subject: : ovemments osition on Several Pending Issues? Still Waiting for Answer Date: Thu, 17 Mar 2011 16:56:28 +0000 Importance: Normal Paul, 1. Yesterday, I provided you with the name and phone number for OPR Acting Associate Counsel, who received your December 10, 2010 letter to Mr. Ferrer, asking for an investigation of the Jeffrey Epstein prosecution. 2. The government will not be making initial disclosures to plaintiffs, because we do not believe Fed.R.Civ.P. 26 applies to this matter. 3. The CVRA applies to the criminal case which has been filed in district court, where an individual is deemed to be a "victim," not any civil litigation which may be initiated to enforce those claimed rights. We do not believe there is any right to discovery in this case. Moreover, we do not believe that whatever Kenneth Starr or Lilly Ann Sanchez may have said to this office, or what this office said to Kenneth Starr or Lilly Ann S

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From: Brad Edwards

From: Brad Edwards To: Cc: Paul Cassell Subject: Re: Rescheduling Settlement Conference - bad date Date: Sat, 25 Jun 2016 20:39:34 +0000 Importance: Normal Inline-Images: image001.png; image002.png I will forward everything to Paul. is calling me Tuesday. I will use that time to relay everything to her and see where we are then. Sent from my iPhone On Jun 25, 2016, at 4:23 PM, wrote: Hi Paul — Thank you for your email. July 5th is bad for us, too, but I saw Judge Brannon to sign some search warrants yesterday and, although we didn't talk about this case, he mentioned how full his schedule was. I don't know that he is going to be inclined to move it, especially in light of Jane Doe #1's status. I am wondering if you think it is possible for us to finalize things without going back to court? Brad now has our complete packet and I think if we can get things resolved over the next week, then we can take the settlement conference off the calendar and move on to asking Judg

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