Text extracted via OCR from the original document. May contain errors from the scanning process.
CASE NO.: 502009CA040800XXXXMBAG
Plaintiff,
VS.
SCOTT ROTHSTEIN, individually,
BRADLEY J. EDWARDS, individually, and
L.M., individually,
Defendant,
SECOND
Bradley J. Edwards (EDWARDS) sues Jeffrey Epstein (EPSTEIN) and alleges:
1.
This is an action for damages in an amount in excess of the minimum
jurisdictional limits of this Court.
2.
Counter/plaintiff, EDWARDS, is sui juris, resides in Broward County, Florida,
and is an attorney licensed to practice in the State of Florida at all times material hereto.
3.
Counter/defendant, EPSTEIN, is sui juris and is a resident of Palm Beach County,
Florida.
4.
EPSTEIN is a convicted felon having entered into a plea agreement pursuant to
which he effectively conceded his having engaged in illicit sexual activity with a large number of
female children over an extended period of time in violation of both State and Federal criminal
laws.
EFTA00294244
Edwards adv. Epstein
Case No.: 502009CA040800XXXXMBAG
Second Amended Counterclaim
Page 2 of 13
5.
EPSTEIN was sued civilly by a large number of his victims. Many of the cases
against him have been settled, and upon information and belief, federal law enforcement
agencies continue to investigate additional allegations of EPSTEIN'S serial abuse and
molestation of children; others remain pending. As a consequence, EPSTEIN continues to face
the potential of further criminal prosecution and huge civil judgments for both compensatory and
punitive damages in favor of many victims of his depraved criminal exploitation of children
including victims represented by EDWARDS.
6.
In the face of overwhelming evidence of his guilt, EPSTEIN repeatedly asserted
his Fifth Amendment Right against self-incrimination and refused to answer any substantive
questions regarding his sexual exploitation of his minor victims. Lacking any substantive
defense to the claims against him, EPSTEIN sought to avoid his compensatory and punitive
liability and to deter cooperation in the ongoing criminal investigation by employing the
extraordinary financial resources at his disposal to intimidate his victims and their legal counsel
into abandoning their legitimate claims or resolving those claims for substantially less than their
just value.
7.
In some circumstances, EPSTEIN's tactics have proven successful, while other
victims have thus far withstood this continued assault upon them and persisted in the prosecution
of their claims. EDWARDS' clients are among those who continued the prosecution of their
claims and the assertion of federal statutory rights afforded to them pursuant to the Federal
Crime Victims' Rights Act (CVRA).
EFTA00294245
Edwards adv. Epstein
Case No.: 502009CA040800XXXXMBAG
Second Amended Counterclaim
Page 3 of 13
8.
While prosecuting the legitimate claims on behalf of his clients, EDWARDS has
not engaged in any unethical, illegal, or improper conduct nor has EDWARDS taken any action
inconsistent with the duty he has to vigorously represent the interests of his clients. EPSTEIN
has no reasonable basis to believe otherwise and has never had any reasonable basis to believe
otherwise.
9.
Nevertheless, EPSTEIN filed civil claims against EDWARDS and EDWARDS'
client, L.M. for the sole purpose of further attempting to intimidate EDWARDS, L.M., and
others into abandoning or settling their legitimate claims for less than their just and reasonable
value. His sole purpose in both filing and prosecuting claims against EDWARDS was never the
stated purpose of collecting money damages from EDWARDS since EPSTEIN knew that he had
never suffered any damage as a consequence of any wrongdoing by EDWARDS. Nevertheless,
EPSTEIN filed knowingly baseless and unsupportable claims against EDWARDS and proceeded
to prosecute those baseless and unsupportable claims in order to divert EDWARDS from the
prosecution of EDWARDS' legitimate claims against EPSTEIN, to require EDWARDS to
expend time, energy and resources on his own defense, to embarrass EDWARDS and impugn his
integrity, and deter others with legitimate claims against EPSTEIN from pursuing those claims at
the risk of having to fend off similar assaults. EPSTEIN's real purpose was to put pressure on
EDWARD$, L.M., and other victims by publishing what amounts to nothing more than a highly
defamatory press release issued under the cloak of protection of the litigation privilege.
10.
EPSTEIN acted purely out of malice toward EDWARDS and others, and he had
ulterior motives and purposes in filing his unsupported and unsupportable claims. EPSTEIN'S
EFTA00294246
Edwards adv. Epstein
Case No.: 502009CA040800XXXXIABAG
Second Amended Counterclaim
Page 4 of 13
primary purpose in both filing and continuing to prosecute each of the claims against
EDWARDS was to inflict a maximum economic burden on EDWARDS in having to defend
against the spurious claims, to distract EDWARDS from the prosecution of claims against
EPSTEIN arising out of EPSTEIN'S serial abuse of minors, and ultimately to extort EDWARDS
into abandoning the claims he was prosecuting against EDWARDS.
The claims filed by EPSTEIN against EDWARDS included the following:
a.
violation of F.S. §§772.101, et. seq.—
Florida Civil Remedies for Criminal Practices Act;
b.
Florida RICO—"Racketeer Influenced and Corrupt Organization Act"
pursuant to F.S. §§895.01, et. seq.;
c.
abuse of process;
d.
fraud;
e.
conspiracy to commit fraud.
12.
EPSTEIN, in his Complaint, directly alleged that EDWARDS was a knowing
participant in a civil theft and criminal enterprise when EPSTEIN was well aware that there was
and is absolutely no evidence whatsoever to support such false assertions. Indeed, his Complaint
was replete with speculation, conjecture, and innuendo and was entirely devoid of factual
support for his spurious allegations. Indicative of his total disregard for the lack of any predicate
for his claims, EPSTEIN ignored the statutory requirement for written notice prior to the
initiation of a civil theft claim.
EFTA00294247
Edwards adv. Epstein
Case No.: 502009CA040800XXXXMIIAG
Second Amended Counterclaim
Page 5 of 13
13.
EPSTEIN knew at the time of the filing of the specified claims and throughout his
failed prosecution of those claims that he could not prosecute the claims to a successful
conclusion because:
a.
they were both false and unsupported by any reasonable belief or
suspicion that they were true;
b.
he had suffered no legally cognizable injury proximately caused by the
falsely alleged wrongdoing on the part of EDWARDS;
c.
he had no intention of waiving his Fifth Amendment privilege against self-
incrimination in order to provide the relevant and material discovery that
would be necessary in the course of prosecuting the claims, (even if they
had any reasonable basis), and he knew that his prosecution would
consequently be barred by the sword-shield doctrine;
d.
EDWARDS' conduct in the prosecution of claims against EPSTEIN could
not support the prosecution of a separate civil lawsuit against EDWARDS
because of the absolute protection of the litigation privilege.
14.
EPSTEIN acted purely out of malice toward EDWARDS and others, and he had
ulterior motives and purposes in filing his unsupported and unsupportable claims as previously
detailed in Paragraph 9.
15.
EPSTEIN'S filing and prosecution of claims against EDWARDS recklessly and
purposely disregarded the lack of justification for each of the claims and EPSTEIN never had as
EFTA00294248
Edwards adv. Epstein
Case No.: 502009CA040800XXXXMBAG
Second Amended Counterclaim
Page 6 of 13
his primary purpose to establish what he did consider or reasonably could have considered to be
meritorious claims.
16.
Each and every pleading filed by and on behalf of EPSTEIN in his prosecution of
every claim against EDWARDS, every motion, every request for production, every subpoena
issued, and every deposition taken as detailed on the docket sheet attached as Exhibit A was
intended with respect to EDWARDS solely and exclusively to advance EPSTEIN'S efforts at
extortion as previously detailed, and constituted a perversion of process after its initial service.
17.
As a result of EPSTEIN's wrongful conduct as alleged, EDWARDS has suffered
and will continue to suffer damages including but not limited to injury to his reputation,
interference in his professional relationships, the loss of the value of his time required to be
diverted from his professional responsibilities, and the cost of defending against EPSTEIN's
spurious and baseless claims.
WHEREFORE, EDWARDS demands judgment against EPSTEIN for compensatory
damages, costs, and such other and further relief as the Court may deem appropriate under the
circumstances. Counter/plaintiff, EDWARDS, reserves the right to assert a claim for punitive
damages upon satisfying the applicable statutory prerequisites.
Counter/plaintiff, EDWARDS, further demands trial by jury.
COUNT II—MALICIOUS PROSECUTION
18.
This is an action for damages in an amount in excess of the minimum
jurisdictional limits of this Court.
EFTA00294249
Edwards adv. Epstein
Case No.: 502009CA040800XXXXMBAG
Second Amended Counterclaim
Page 7 of 13
19.
Counter/plaintiff, EDWARDS, is sui juris, resides in Broward County, Florida,
and is an attorney licensed to practice in the State of Florida at all times material hereto.
20.
Counter/defendant, EPSTEIN, is sui juris and is a resident of Palm Beach County,
Florida.
21.
EPSTEIN is a convicted felon having entered into a plea agreement pursuant to
which he effectively conceded his having engaged in illicit sexual activity with a large number of
female children over an extended period of time in violation of both Statc and Federal criminal
laws.
22.
EPSTEIN was sued civilly by a large number of his victims. Many of the cases
against him have been settled, and upon information and belief, federal law enforcement
agencies continue to investigate additional allegations of EPSTEIN'S serial abuse and
molestation of children; others remain pending. As a consequence, EPSTEIN continues to face
the potential of further criminal prosecution and huge civil judgments for both compensatory and
punitive damages in favor of many victims of his depraved criminal exploitation of children
including victims represented by EDWARDS.
23.
In the face of overwhelming evidence of his guilt, EPSTEIN repeatedly asserted
his Fifth Amendment Right against self-incrimination and refused to answer any substantive
questions regarding his sexual exploitation of his minor victims. Lacking any substantive
defense to the claims against him, EPSTEIN sought to avoid his compensatory and punitive
liability and to deter cooperation in the ongoing criminal investigation by employing the
extraordinary financial resources at his disposal to intimidate his victims and their legal counsel
EFTA00294250
Edwards adv. Epstein
Case No.: 502009CA040800XXXXMBAG
Second Amended Counterclaim
Page 8 of 13
into abandoning their legitimate claims or resolving those claims for substantially less than their
just value.
24.
While prosecuting the legitimate claims on behalf of his clients, EDWARDS has
not engaged in any unethical, illegal, or improper conduct nor has EDWARDS taken any action
inconsistent with the duty he has to vigorously represent the interests of his clients. EPSTEIN
has no reasonable basis to believe otherwise and has never had any reasonable basis to believe
otherwise.
25.
Nevertheless, EPSTEIN filed civil claims against EDWARDS and EDWARDS'
client, L.M. for the sole purpose of further attempting to intimidate EDWARDS, L.M., and
others into abandoning or settling their legitimate claims for less than their just and reasonable
value. His sole purpose in filing claims against EDWARDS was never the stated purpose of
collecting money damages from EDWARDS since EPSTEIN knew that he had never suffered
any damage as a consequence of any wrongdoing by EDWARDS. Nevertheless, EPSTEIN filed
knowingly baseless and unsupportable claims against EDWARDS and proceeded to prosecute
those baseless and unsupportable claims in order to divert EDWARDS from the prosecution of
EDWARDS' legitimate claims against EPSTEIN, to require EDWARDS to expend time, energy
and resources on his own defense, to embarrass EDWARDS and impugn his integrity, and deter
others with legitimate claims against EPSTEIN from pursuing those claims at the risk of having
to fend off similar assaults. EPSTEIN's real purpose was to put pressure on EDWARDS, L.M.,
and other victims by publishing what amounts to nothing more than a highly defamatory press
release issued under the cloak of protection of the litigation privilege.
EFTA00294251
Edwards adv. Epstein
Case No.: 502009CA040800XXXXMBAG
Second Amended Counterclaim
Page 9 of 13
26.
EPSTEIN acted purely out of malice toward EDWARDS and others, and he had
ulterior motives and purposes in filing his unsupported and unsupportable claims. EPSTEIN'S
primary purpose in filing each of the claims against EDWARDS was to inflict a maximum
economic burden on EDWARDS in having to defend against the spurious claims, to distract
EDWARDS from the prosecution of claims against EPSTEIN arising out of EPSTEIN'S serial
abuse of minors, and ultimately to extort EDWARDS into abandoning the claims he was
prosecuting against EDWARDS.
27.
The claims filed by EPSTEIN against EDWARDS were the following:
a.
violation of F.S. §§772.10I, et. seq.—
Florida Civil Remedies for Criminal Practices Act;
b.
Florida RICO—"Racketeer Influenced and Corrupt Organization Act"
pursuant to F.S. §§895.01, et. seq.;
c.
abuse of process;
d.
fraud;
e.
conspiracy to commit fraud.
28.
EPSTEIN, in his Complaint, directly alleged that EDWARDS was a knowing
participant in a civil theft and criminal enterprise and that he had conspired to and did engage in
a fraud against EPSTEIN when EPSTEIN was well aware that there was and is absolutely no
evidence whatsoever to support such false assertions. Indeed, his Complaint was replete with
speculation, conjecture, and innuendo and was entirely devoid of factual support for his spurious
allegations. Indicative of his total disregard for the lack of any predicate for his claims,
EFTA00294252
Edwards adv. Epstein
Case No.: 502009CA040800XXXXMBAG
Second Amended Counterclaim
Page 10 of 13
EPSTEIN ignored the statutory requirement for written notice prior to the initiation of a civil
theft claim.
29.
EPSTEIN knew at the time of the filing of the specified claims and throughout his
failed prosecution of those claims that he could not prosecute the claims to a successful
conclusion because:
a.
they were both false and unsupported by any reasonable belief or
suspicion that they were true;
b.
he had suffered no legally cognizable injury proximately caused by the
falsely alleged wrongdoing on the part of EDWARDS;
c.
he had no intention of waiving his Fifth Amendment privilege against self-
incrimination in order to provide the relevant and material discovery that
would be necessary in the course of prosecuting the claims, (even if they
had any reasonable basis), and he knew that his prosecution would
consequently be barred by the sword-shield doctrine;
d.
EDWARDS' conduct in the prosecution of claims against EPSTEIN could
not support the prosecution of a separate civil lawsuit against EDWARDS
because of the absolute protection of the litigation privilege.
30.
EPSTEIN acted purely out of malice toward EDWARDS and others, and he had
ulterior motives and purposes in filing his unsupported and unsupportable claims as previously
detailed in Paragraph 25.
EFTA00294253
Edwards adv. Epstein
Case No.: 502009CA040800XXXXMBAG
Second Amended Counterclaim
Page I I of 13
31.
EPSTEIN'S filing and prosecution of claims against EDWARDS recklessly and
purposely disregarded the lack of justification for each of the claims and EPSTEIN never had as
his primary purpose to establish what he did consider or reasonably could have considered to be
meritorious claims.
32.
After unsuccessful efforts to defend and amend his maliciously filed and
prosecuted claims over a period of almost two years, EPSTEIN abandoned each of the claims
described in Paragraph 27 except for an ongoing effort to salvage his abuse of process claim.
That abandonment brings to successful conclusion EDWARDS' defense against each of the
other abandoned claims and constitutes a specific bona fide termination in EDWARDS' favor of
the prior prosecution of each abandoned claim.
33.
As a result of EPSTEIN's wrongful conduct as alleged, EDWARDS has suffered
and will continue to suffer damages including but not limited to injury to his reputation,
interference in his professional relationships, the loss of the value of his time required to be
diverted from his professional responsibilities, and the cost of defending against EPSTEIN's
spurious and baseless claims.
WHEREFORE, EDWARDS demands judgment against EPSTEIN for compensatory
damages, costs, and such other and further relief as the Court may deem appropriate under the
circumstances. Counter/plaintiff, EDWARDS, reserves the right to assert a claim for punitive
damages upon satisfying the applicable statutory prerequisites.
Counter/plaintiff, EDWARDS, further demands trial by jury.
EFTA00294254
Edwards adv. Epstein
Case No.: 502009CA040800XXXXMBAG
Second Amended Counterclaim
Page 12 of 13
I HEREBY CERTIFY that a true and correct copy of the foregoing has been furnished by
Fax and U.S. Mail to all counsel on the attached l t, this 4.7
day of November, 2011.
Jack
arila
Florida
ar No.: 169440
S rc Denney Scarola Barnhart & Shipley, P.A.
Palm Beach Lakes Boulevard
.st Palm Beach, Florida 33409
hone: (561) 686-6300
Fax:
(561) 383-9451
Attorneys for Bradley J. Edwards
EFTA00294255
Edwards adv. Epstein
Case No.: 502009CA040800XXXXMBAG
Second Amended Counterclaim
Page 13 of 13
COUNSEL LIST
Jack A. Goldberger, Esquire
Atterbury, Goldberger & Weiss, P.A.
250 Australian Avenue South, Suite 1400
West Palm Beach, FL 33401
Phone: (561) 659-8300
Fax: (561) 835-8691
Fanner, Jaffe, Weissing, Edwards, Fistos &
Lehrman, PL
425 N. Andrews Avenue, Suite 2
Fort Lauderdale, FL 33301
Phone: (954) 524-2820
Fax: (954) 524-2822
Marc S. Nurik, Esquire
Law Offices of Marc S. Nurik
One E Broward Blvd., Suite 700
Fort Lauderdale, FL 33301
Phone: (954) 745-5849
Fax: (954) 745-3556
Joseph L. Ackerman, Jr., Esquire
Fowler White Burnett, P.A.
901 Phillips Point West
777 S Flagler Drive
West Palm Beach, FL 33401-6170
Phone: (561) 802-9044
Fax: (561) 802-9976
EFTA00294256
- Not an Official Document
Page 1 of 67
Report Selection Criteria
Case ID:
Docket Start Date:
Docket Ending Date:
Case Description
Case ID:
Case Caption:
Division:
Filing Date:
Court:
Location:
Jury:
Type:
Status:
502009CA040800XXXXMB
502009CA040800XXXXMB
AG -CROW
Monday , December 07th, 2009
Y-Jury
PE - PENDING
Related Cases
No related cases were found.
Case Event Schedule
No case events were found.
Case Parties
Seq Assoc Expn
Date
11-
JUN-
2010
PLAINTIFF
@2075728 EPSTEIN, JEFFREY
ATTORNEY
0224162
ROBERT DEWEESE
DEFENDANT @2075729 ROTHSTEIN, SCOTT
DEFENDANT (2075730 EDWARDS,
BRADLEY J
Aliases:
Aliases: none
Aliases:
Aliases:
EXHIBIT A
liltp://councon.co.palm-bea(
ket_report... 11/29/2011
EFTA00294257
- Not an Official Document
Page 2 of 67
5
10-
AUG-
2010
DEFENDANT
JUDGE
ATTORNEY
ATTORNEY
9
1
ATTORNEY
10
ATTORNEY
11
Docket Entries
ATTORNEY
O)2075731 LM
Aliases: none
none
AG
CROW, JUDGE
DAVID
Aliases:
0169440
SCAROLA , ESQ,
JACK
Aliases: none
none
0914444
FARMER, ESQ,
GARY
Aliases:
0195677
SANCHEZ, LILLY
ANN
Aliases: none
0235954
ACKERMAN , ESQ,
JOSEPH L
Aliases: none
0599298
[ADLER , ESQ,
RUSSELL S
Aliases: none
Docket
Docket Type
Book and Page No.
Attached To:
100000 - ADDITIONAL COMMENTS
[Filing Date:
07-DEC-2009
Filing Party:
Disposition Amount:
Docket Text:
none.
800FF - CAFF
Filing Date:
07-DEC-2009
http://courtcon.co.palm-beach.fLus/p1s/jiwp/ck_public_qry_doct.cp_dktrpt_docket_report... 11/29/2011
EFTA00294258
- Not an Official Document
Page 3 of 67
Filing Party:
Disposition Amount:
Docket Text:
none.
PE - PENDING
Filing Date:
07-DEC-2009
Filing Party:
Disposition Amount:
Docket Text:
none.
Filing Date:
07-DEC-2009
Filing Party:
Ii
Disposition Amount:
Docket Text:
A Payment of -$30.00 was made on receipt CAMB363437.
1
CMP - COMPLAINT
Filing Date:
07-DEC-2009
Filing Party:
Disposition Amount:
Docket Text:
none.
2
Filing Date:
07-DEC-2009
Filing Party:
Disposition Amount:
Docket Text:
none.
3
1SMIS - SUMMONS ISSUED
Filing Date:
07-DEC-2009
Filing Party:
L M,
Disposition Amount:
Docket Text:
SM-09-232330
4
Filing Date:
07-DEC-2009
Filing Party:
Disposition Amount:
Docket Text:
SM-09-232331
http://councon.co.palm-beach.fl.us/p1s/jiwp/ck_public_qry_doct.cp_dktrpt_docket_report... 11/29/2011
EFTA00294259
- Not an Official Document
Page 4 of 67
5
Filing Date:
07-DEC-2009
Filing Party:
Disposition Amount:
Docket Text:
SM-09-232332
6
Filing Date:
07-DEC-2009
Filing Party:
)ROTHSTEIN, SCOTT
Disposition Amount:
Docket Text:
NOT USED SM-09-232389
7
Filing Date:
07-DEC-2009
Filing Party:
Disposition Amount:
I Docket Text:
SCOTT ROTHSTEIN SM-09-232390
(Filing Date:
08-DEC-2009
Filing Party:
Disposition Amount:
Docket Text:
A Payment of -$401.00 was made on receipt CAMB363514.
Filing Date:
08-DEC-2009
Filing Party:
Disposition Amount:
Docket Text:
A Payment of -$10.00 was made on receipt CAMB363732.
SRTN -
(ATTACHED)
SERVICE RETURN
Filing Date:
11-DEC-2009
Filing Party:
Disposition Amount:
Docket Text:
none.
SRTN -
(ATTACHED)
SERVICE RETURN
Filing Date:
11-DEC-2009
1
Intp://courtcon.co.palm-beach.fl.us/p1s/jiwp/ck_public_qry_doct.cp_dlctrpt_docket_report... 11/29/2011
EFTA00294260
- Not an Official Document
Page 5 of 67
Filing Party:
III- M,
Disposition Amount:
Docket Text:
none.
SRTN -
(ATTACHED)
SERVICE RETURN
Filing Date:
14-DEC-2009
Filing Party:
Disposition Amount:
Docket Text:
SERVED
Filing Date:
21-DEC-2009
Filing Party:
Disposition Amount:
Docket Text:
A Payment of -$395.00 was made on receipt CAMB367609.
8
ANS - ANSWER
Filing Date:
21-DEC-2009
Filing Party:
J
Disposition Amount:
Docket Text:
9
TANS -ANSWER
Filing Date:
21-DEC-2009
Filing Party:
Disposition Amount:
Docket Text:
& COUNTERCLAIM . . .
10
Filing Date:
28-DEC-2009
Filing Party:
L M,
Disposition Amount:
Docket Text:
Inone.
11
I ANAD -
DEFENSES
Filing Date:
28-DEC-2009
Filing Party:
L M,
Disposition Amount:
http://courtcon.co.palm-heach.fl.usipls/jiwp/ck_public_qry_doct.cp_dktrpt_docket report... 11/29/2011
EFTA00294261
- Not an Official Document
Page 6 of 67
Docket Text:
Inone.
15
Filing Date:
31-DEC-2009
Filing Party:
Disposition Amount:
Docket Text:
12
MOT - MOTION
Filing Date:
12-JAN-2010
Filing Party:
Disposition Amount:
Docket Text:
13
RADF -
DEFENSES
Filing Date:
12-JAN-2010
Filing Party:
Disposition Amount:
Docket Text:
none.
16
Filing Date:
14-JAN-2010
Filing Party:
Disposition Amount:
Docket Text:
none.
17
Filing Date:
19-JAN-2010
Filing Party:
Disposition Amount:
Docket Text:
none.
14
DFT-DEFAULT
Filing Date:
21-JAN-2010
Filing Party:
Disposition Amount:
Docket Text:
none.
18
Filing Date:
[25-JAN-2010
http://courtcon.co.palm-beach.fl.us/p1s/jiwpick_public_qty_doct.cp_dktrpt docket_repon... II/29/2011
EFTA00294262
- Not an Official Documcnt
Page 7 of 67
Filing Party:
Disposition Amount:
Docket Text:
OF HEARING
19
LORD - ORDER
Filing Date:
26-JAN-2010
Filing Party:
Disposition Amount:
Docket Text:
D CROW.
20
NOTD -
DEPOSITION
Filing Date:
04-FEB-2010
Filing Party:
1 CRITTON JR , ESQ, ROBERT DEWEESE
Disposition Amount:
Docket Text:
none.
21
NOTD -
DEPOSITION
Filing Date:
08-FEB-2010
Filing Party:
Disposition Amount:
Docket Text:
none.
22
IMOT- MOTION
Filing Date:
17-FEB-2010
Filing Party:
Disposition Amount:
Docket Text:
23
Filing Date:
26-FEB-2010
Filing Party:
Disposition Amount:
Docket Text:
EDWARDS' COUNTERCLAIM
24
Filing Date:
26-FEB-2010
Filin Party:
Disposition Amount:
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EFTA00294263
- Not an Official Document
Page 8 of 67
Docket Text:
3-9-10 AT 8:45 AM
25
Filing Date:
01-MAR-2010
Filing Party:
Disposition Amount:
Docket Text:
3-2-10 AT 8:45 AM
32
Filing Date:
01-MAR-2010
Filing Party:
Disposition Amount:
Docket Text:
26
Filing Date:
02-MAR-2010
Filing Party:
Disposition Amount:
Docket Text:
27
Filing Date:
02-MAR-2010
Filing Party:
Disposition Amount:
Docket Text:
none.
128
Filing Date:
02-MAR-2010
Filing Party:
Disposition Amount:
Docket Text:
_
none.
29
DEPOSITION
Filing Date:
03-MAR-2010
'Filing Party:
L M,
Disposition Amount:
Docket Text:
CROSS
30
ORD - ORDER
Filing Date:
04-MAR-2010
http://courtcon.co.palm-beach.fl.us/p1s/jiwp/ck_public_qry_doct.cp_dlctrpt docket_report... 11/29/2011
EFTA00294264
- Not an Official Document
Page 9 of 67
'Filing Party:
II
Disposition Amount:
Docket Text:
AND IMPOSE
31
ORD - ORDER
Filing Date:
09-MAR-2010
Filing Party:
Disposition Amount:
Docket Text:
33
Filing Date:
11-MAR-2010
Filing Party:
Disposition Amount:
Docket Text:
PLEADING WAS FILED (NO ENVELOPE PROVIDED)**
34
Filing Date:
11-MAR-2010
Filing Party:
Disposition Amount:
Docket Text:
4-30-10 AT 3:30 PM
35
ANS - ANSWER
Filing Date:
16-MAR-2010
Filing Party:
Disposition Amount:
Docket Text:
TO COUNTERCLAIM
36
RADF -
DEFENSES
Filing Date:
16-MAR-2010
Filing Party:
Disposition Amount:
Docket Text:
none.
37
Filing Date:
18-MAR-2010
Filing Party:
(EDWARDS, BRADLEY J
Disposition Amount:
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Docket Text:
Ilnone.
38
MOT - MOTION
Filing Date:
29-MAR-2010
Filing Party:
Disposition Amount:
Docket Text:
JUDGMENT
[39
Filing Date:
05-APR-2010
Filing Party:
Disposition Amount:
Docket Text:
r UP 4/7/10**
40
DEPOSITION
Filing Date:
05-APR-2010
Filing Party:
Disposition Amount:
Docket Text:
'VIDEO OF SCOTT ROTHSTEIN ON 4-15-10 AT 10 AM
41
r NOS - NOTICE OF SERVICE
Filing Date:
Filing Party:
Disposition Amount:
Docket Text:
42
Filing Date:
07-APR-2010
07-APR-2010
Filing Party:
Disposition Amount:
Docket Text:
5-11-10 AT 8:15 AM
43
DEPOSITION
Filing Date:
07-APR-2010
Filing Party:
Disposition Amount:
Docket Text:
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4
Filing Date:
Filing Party:
Disposition Amount:
Docket Text:
4
13-APR-2010
TO EDWARDS
MOT - MOTION
Filing Date:
13-APR-2010
Filing Party:
Disposition Amount:
Docket Text:
46
Filing Date:
PURSUANT TO F.S. 57.105
Filing Party:
115-APR-2010
Disposition Amount:
Docket Text:
14-19-10 AT 8:45 AM
47
ORDER
Filing Date:
15-APR-2010
Filing Party:
L M,
Disposition Amount:
Docket Text:
none.
48
Filing Date:
15-APR-2010
Filing Party:
Disposition Amount:
Docket Text:
49
Filing Date:
10-15-10 AT 9 AM. D CROW
Filing Party:
16-APR-2010
i
Disposition Amount:
Docket Text:
50
Filing Date:
Filing Party:
4-22-10 AT 8:45 AM
16-APR-2010
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Disposition Amount: i
Docket Text:
51
ORD - ORDER
Filing Date:
19-APR-2010
Filing Party:
Disposition Amount:
Docket Text:
52
NOTD -
DEPOSITION
Filing Date:
19-APR-2010
Filing Party:
Disposition Amount:
Docket Text:
OF HERBERT STETTIN 5-19-10 AT 4 PM
53
MOT - MOTION
Filing Date:
21-APR-2010
Filing Party:
Disposition Amount:
Docket Text:
PRODUCE
54
MOT - MOTION
Filing Date:
21-APR-2010
Filing Party:
L M,
Disposition Amount:
Docket Text:
PURSUANT TO F.S. 57.105
55
ORD - ORDER
Filing Date:
22-APR-2010
Filing Party:
Disposition
Docket Text:
Amount:
DENIED. D CROW
56
Filing Date:
23-APR-2010
Filing Party:
Disposition Amount:
Docket Text:
5-5-10 AT 8:45 AM
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57
Filing Date:
26-APR-2010
Filing Party:
Disposition Amount:
Docket Text:
4-30-10 AT 3:30 PM
58
Filing Date:
27-APR-2010
Filing Party:
Disposition Amount:
Docket Text:
CO
GOLDBERGER ESQ
r59
Filing Date:
27-APR-2010
Filing Party:
Disposition Amount:
Docket Text:
none.
60
Filing Date:
03-MAY-2010
Filing Party:
Disposition Amount:
Docket Text:
& SUPPORTING LEGAL AUTHORITIES IN OPPOSITION. . .
61
Filing Date:
10-MAY-2010
Filing Party:
Disposition Amount:
Docket Text:
62
ORD - ORDER
Filing Date:
11-MAY-2010
Filing Party:
Disposition Amount:
Docket Text:
DCROW
63
Filing Date:
lit -MAY-2010
i
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Filing Party:
'EPSTEIN, JEFFREY
Disposition Amount:
Docket Text:
COMPEL. .
64
Filing Date:
11-MAY-2010
Filing Party:
Disposition Amount:
Docket Text:
5/20/10 8:45 AM EPSTEIN MOTION TO COMPEL BRADLEY
65
Filing Date:
12-MAY-2010
Filing Party:
Disposition Amount:
Docket Text:
REQ FOR PRODUCTION DTD 4/12/10
66
Filing Date:
12-MAY-2010
Filing Party:
Disposition Amount:
Docket Text:
IOF DFT EDWARDS ANSWERS TO PLTF 1ST INTERRS
67
Filing Date:
14-MAY-2010
Filing Party:
Disposition Amount:
Docket Text:
68
Filing Date:
20-MAY-2010
Filing Party:
Disposition Amount:
Docket Text:
OF HEARING
69
MFPO -
ORDER
Filing Date:
20-MAY-2010
Filing Party:
Disposition Amount:
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Docket Text:
70
Filing Date:
21-MAY-2010
Filing Party:
Disposition Amount:
Docket Text:
OF TIME TO
TO PRODUCE
71
MOT - MOTION
Filing Date:
I[25-MAY-2010
Filing Party:
Disposition Amount:
Docket Text:
72
Filing Date:
25-MAY-2010
Filing Party:
Disposition Amount:
Docket Text:
01-JUN-10
73
Filing Date:
27-MAY-2010
Filing Party:
Disposition Amount:
Docket Text:
W/ATTACHMENTS
74
PRODUCE
Filing Date:
27-MAY-2010
Filing Party:
Disposition Amount:
Docket Text:
none.
75
ORD - ORDER
Filing Date:
01-JUN-2010
Filing Party:
Disposition Amount:
Docket Text:
GRANTED. D CROW
THE 6/4/10 HEARING IS
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76
i REQP - REQUEST TO PRODUCE
Filing Date:
03-JUN-2010
Filing Party:
Disposition Amount:
Docket Text:
(SUPPLEMENTAL) OF DEFT EPSTEIN
77
CNS - CONSENT
Filing Date:
11-JUN-2010
Filing Party:
Disposition Amount:
Docket Text:
[none.
78
ORD - ORDER
Filing Date:
11-JUN-2010
Filing Party:
Disposition Amount:
Docket Text:
79
Filing Date:
11-JUN-2010
Filing Party:
Disposition Amount:
Docket Text:
& SUBSTITUTION OF COUNSEL
80
Filing Date:
17-JUN-2010
Filing Party:
Disposition Amount:
Docket Text:
IJ
81
Filing Date:
17-JUN-2010
Filing Party:
Disposition Amount:
Docket Text:
6/29/10 8:45 AM DFT EDWARDS MOTION TO COMPEL PLTF
82
Filing Date:
21-JUN-2010
Filing Party:
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'Disposition Amount:
Docket Text:
6/28/10 8:45 AM MOTION TO COPEL PRODUCTION OF DOCS. . .
83
Filing Date:
21-JUN-2010
Filing Party:
Disposition Amount:
Docket Text:
84
MFPO -
ORDER
Filing Date:
22-JUN-2010
Filing Party:
L M,
Disposition Amount:
Docket Text:
none.
85
MFPO -
ORDER
Filing Date:
25-JUN-2010
_
Filing Party:
Disposition Amount:
Docket Text:
(BANKRUPTCY TRUSTEE SUPPLEMENTAL)
86
MOT - MOTION
Filing Date:
I25-JUN-2010
Filing Party:
I
Disposition Amount:
Docket Text:
!OF HERBERT STETTIN-FOR PROTECTIVE ORDER
87
Filing Date:
125-JUN-2010
Filing Party:
Disposition Amount:
Docket Text:
JUNE 28 2010
88
NOT - NOTICE
Filing Date:
25-JUN-2010
Filing Party:
Disposition Amount:
Docket Text:
JOINDER
•
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89
[XLT - EXHIBIT LIST
Filing Date:
30-JUN-2010
Filing Party:
Disposition Amount:
Docket Text:
none.
90
Filing Date:
30-JUN-2010
Filing Party:
Disposition Amount:
Docket Text:
none.
91
Filing Date:
01-JUL-2010
Filing Party:
Disposition Amount:
Docket Text:
none.
92
Filing Date:
M.-JUL-2010
Filing Party:
Disposition Amount:
Docket Text:
8/10/10 8:45 AM PLTF MOTION TO COMPEL BRADLEY EDWARDS
TO APPEAR. . .
93
I_RERQ - RESPONSE TO REQ FORT
ADMISSION
Filing Date:
j
07-JUL-2010
Filing Party:
— I EDWARDS, BRADLEY J
Disposition Amount:
Docket Text:
(1ST)
94
Filing Date:
_....r
12-JUL-2010
Filing Party:
Disposition Amount:
Docket Text:
8/3/10 8:45 AM PLTF MOTION TO ENLARGE TIME TO SERVE
95
I
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[Filing Date:
II12-JUL-2010
Filing Party:
[EPSTEIN, JEFFREY
1
Disposition Amount:
Docket Text:
96
Filing Date:
12-JUL-2010
Filing Party:
Disposition Amount:
Docket Text:
none.
97
MOT - MOTION
Filing Date:
12-JUL-2010
Filing Party:
Disposition Amount:
Docket Text:
98
I MOT - MOTION
[Filing Date:
19-JUL-2010
Filing Party:
Disposition Amount:
Docket Text:
99
Filing Date:
19-JUL-2010
Filing Party:
Disposition Amount:
Docket Text:
8/3/10
100
ORD - ORDER
Filing Date:
_ 03-AUG-2010
Filing Party:
Disposition Amount:
Docket Text:
DEFENDANT'S MOTION TO APPOINT COMMISSIONER. (CC MLD
TO ATTY)
101
ORD - ORDER
Filing Date:
03-AUG-2010
Filing Party:
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[Disposition Amount:
Docket Text:
103
Filing Date:
09-AUG-2010
Filing Party:
Disposition Amount:
Docket Text:
102
Book 024028 - Page
00263
Filing Date:
10-AUG-2010
Filing Party:
Disposition Amount:
Docket Text:
FINAL D CROW
104
Filing Date:
12-AUG-2010
Filing Party:
Disposition Amount:
Docket Text:
OF HEARING
105
Filing Date:
23-AUG-2010
Filing Party:
Disposition Amount:
[Docket Text:
OF JURY TRIAL
106
7E
7-
1 - EXHIBIT LIST
Filing Date:
25-AUG-2010
Filing Party:
Disposition Amount:
Docket Text:
107
Filing Date:
J02-SEP-2010
Filing Party:
Disposition Amount:
Docket Text:
ION PLAINTIFF'S MOTION FOR CONTINUANCE OF JURY TRIAL j
I
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108
1 ORDG - ORDER GRANTING
Filing Date:
02-SEP-2010
Filing Party:
Disposition Amount:
'Docket Text:
ION PLAINTIFF'S MOTION FOR STATUS CONFERENCE
109
'Filing Date:
07-SEP-2010
'Filing Party:
Disposition Amount:
Docket Text:
none.
110
WT. - MOTION
Filing Date:
I17-SEP-2010
'Filing Party:
Disposition Amount:
Docket Text:
111
NOFI - NOTICE
INTERROGS
OF FILING
Filing Date:
17-SEP-2010
Filing Party:
Disposition Amount:
Docket Text:
none. --,
112
NOT - NOTICE
Filing Date:
I17-SEP-2010
Filing Party:
rEDWARDS, BRADLEY J
Disposition Amount:
Docket Text:
113
j REQP - REQUEST TO PRODUCE
Filing Date:
17 SEP-2010
Filing Party
Disposition Amount
Docket Text:
none.
114
Filing Date:
17-SEP-2010
Filing Party:
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Disposition Amount:
Docket Text:
SEPTEMBER 23,2010
115
Filing Date:
17-SEP-2010
Filing Party:
Disposition Amount:
Docket Text:
119
Filing Date:
21-SEP-2010
Filing Party:
Disposition Amount:
Docket Text:
none.
117
Filing Date:
22-SEP-2010
Filing Party:
Disposition Amount:
Docket Text:
118
MOT - MOTION
Filing Date:
22-SEP-2010
Filing Party:
Disposition Amount:
Docket Text:
[FOR FINAL SUMMARY JUDGMENT
120
MOT MOTION
Filing Date:
04-OCT-2010
Filing Party:
Disposition Amount:
Docket Text:
121
Filing Date:
06-OCT-2010
Filing Party:
Amount:
—Disposition
Docket Text:
CROW
122
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Filing Date:
12-OCT-2010
Filing Party:
Disposition Amount:
Docket Text:
123
Filing Date:
14-OCT-2010
Filing Party:
Disposition Amount:
Docket Text:
'none.
124
iFiling Date:
14-OCT-2010
'Filing Party:
Disposition Amount:
r
Docket Text:
21-OCT=-=10
125
Filing Date:
15-OCT-2010
Filing Party:
Disposition Amount:
Docket Text:
126
NOTD -
DEPOSITION
Filing Date:
18-OCT-2010
Filing Party:
Disposition Amount:
Docket Text:
none.
127
I MOT - MOTION
Filing Date:
19-OCT-2010
Filing Party:
Disposition Amount:
Docket Text:
128
1RNOH - RE-NOTICE OF HEARING
Filing Date:
20-OCT-2010
Filing Party:
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Disposition Amount:
Docket Text:
OCTOBER 27,2010
129
I MOT - MOTION
Filing Date:
21-OCT-2010
Filing Party:
Disposition Amount:
Docket Text:
REQUESTS
130
Filing Date:
21-OCT-2010
Filing Party:
Disposition Amount:
Docket Text:
131
OBJ - OBJECTION
Filing Date:
21-OCT-2010
Filing Party:
Disposition Amount:
Docket Text:
132
Filing Date:
21-OCT-2010
Filing Party:
Disposition Amount:
Docket Text:
133
ANTI - ANSWER
INTERROGATORIES
TO
Filing Date:
21-OCT-2010
Filing Party:
Disposition Amount:
Docket Text:
none.
134
Filing Date:
27-OCT-2010
Filing Party:
Disposition Amount:
Docket Text:
NOVEMBER 19,2010
1
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135
MOT - MOTION
Filing Date:
27-OCT-2010
Filing Party:
Disposition Amount:
Docket Text:
ADMISSIONS
136
Filing Date:
27-OCT-2010
Filing Party:
Disposition Amount:
Docket Text:
NOVEMBER 4, 2010 8:45 A.M.
137
jORD - ORDER
Filing Date:
29-OCT-2010
Filing Party:
Disposition Amount:
Docket Text:
ON STATUS CONFERENCE HELD ON 10/15/10. D CROW
138
ORD - ORDER
Filing Date:
04-NOV-2010
Filing Party:
Disposition Amount:
Docket Text:
DCROW
139
I ORD - ORDER
Filing Date:
04-NOV-2010
Filing Party:
Disposition Amount:
Docket Text:
ON DEFENDANT BRADLEY J. EDWARDS' MOTION TO COMPEL
140
I NOT - NOTICE
Filing Date:
08-NOV-2010
Filing Party:
Disposition Amount:
Docket Text:
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141
Filing Date:
10-NOV-2010
Filing Party:
Disposition Amount:
Docket Text:
05-JAN-11 ( D. CROW)
142
Filing Date:
12-NOV-2010
Filing Party:
Disposition Amount:
Docket Text:
16-NOV-10
143
ORD - ORDER
Filing Date:
16-NOV-2010
Filing Party:
Disposition Amount:
Docket Text:
ON EDWARDS MOTION TO PROPOUND EXCESS OF 30
144
Filing Date:
16-NOV-2010
Filing Party:
Disposition Amount:
Docket Text:
145
I NOT - NOTICE
Filing Date:
22-NOV-2010
Filing Party:
Disposition Amount:
Docket Text:
146
Filing Date:
23-NOV-2010
Filing Party:
Disposition Amount:
Docket Text:
05-JAN-11
147
Filing Date:
23-NOV-2010
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'Filing Party:
Disposition Amount:
Docket Text:
148
NOTD -
DEPOSITION
Filing Date:
130-NOV-2010
Filing Party:
Disposition Amount:
Docket Text:
none.
149
ORD - ORDER
Filing Date:
01-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
12/1/10 DCROW
150
ORD - ORDER
Filing Date:
01-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
ON PLTS OBJECTION TO REQUEST TO PRODUCE, DTD 12/1/10
DCROW
151
I ORD - ORDER
Filing Date:
01-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
ON PLTFS OBJECTIONS TO INTERROGS, DTD 12/1/10 DCROW
152
MOT - MOTION
Filing Date:
01-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
153
Filing Date:
01-DEC-2010
Filing Party:
'Disposition Amount:
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Docket Text:
ADMISSIONS DTD 9/16/10
EDWARDS REQ FOR
154
Filing Date:
06-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
155
Filing Date:
I09-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
27-..IAN-1
.
156
SRSV -
SERVED
Filing Date:
14-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
SERVED 12/10/10 TO ROBERT D CRITTON
157
NPNP -
NON PARTY
Filing Date:
15-DEC-2010
Filing Party:
JS
Disposition Amount:
Docket Text:
ISEE LIST
158
NOTD -
DEPOSITION
Filing Date:
16-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
SCOTT ROTHSTEIN
159
NOTD -
DEPOSITION
Filing Date:
16-DEC-2010
Filing Party:
Disposition Amount:
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Docket Text:
IKEN JENNE
160
NOTD -
DEPOSITION
IFiling Date:
16-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
GARY FARMER
161
NOTD -
DEPOSITION
IFiling Date:
16-DEC-2010
IFiling Party:
Disposition Amount:
Docket Text:
DEBRA VILLEGAS
162
NOTD -
DEPOSITION
Filing Date:
16-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
none.
163
NOTD -
DEPOSITION
Filing Date:
16-DEC-2010
Disposition Amount:
Docket Text:
none.
164
NOTD -
DEPOSITION
Filing Date:
16-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
none.
165
NOTD -
DEPOSITION
Filing Date:
16-DEC-2010
Filing Party:
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(Disposition Amount:
Docket Text:
'none.
166
NOTD -
DEPOSITION
Filing Date:
16-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
none.
167 I
NOTD -
DEPOSITION
Filing Date:
116-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
none.
168
MOT - MOTION
Filing Date:
22-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
169
l DEPO - DEPOSITION
Filing Date:
28-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
SUBPOENA FOR
170
28-DEC-2010
Filing Date:
Filing Party:
Disposition Amount:
Docket Text:
'SUBPOENA FOR
171
Filing Date:
28-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
SUBPOENA FOR
I
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1172
11 DEPO - DEPOSITION
Filing Date:
28-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
SUBPOENA FOR
173
Filing Date:
I28-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
SUBPOENA FOR
174
Filing Date:
L28-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
SUBPOENA FOR
175
OBJ - OBJECTION
Filing Date:
28-DEC-2010
Filing Party:
Disposition Amount:
r
Docket Text:
176
Filing Date:
28-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
179
MOT - MOTION
Filing Date:
La-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
180
Filing Date:
28-DEC-2010
Filing Party:
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- Not an Official Document
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Disposition Amount:
Docket Text:
181
'MONDAY, JANUARY 3, 2011
MOT - MOTION
Filing Date:
30-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
182
Filing Date:
DO-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
183
JANUARY 4,2011
MOT - MOTION
Filing Date:
30-DEC-2010
Filing Party:
Disposition Amount:
Docket Text:
ROBERT CRITTON
177
Filing Date:
03-JAN-2011
Filing Party:
Disposition Amount:
Docket Text:
MOITION APPT COMMISSIONER GRANTED. D CROW **2 CC
MLD TO ATTY AKERMAN**
178
Filing Date:
03-JAN-2011
Filing Party:
Disposition Amount:
Docket Text:
184 -
Filing Date:
04-JAN-2011
Filing Party:
Disposition Amount:
Docket Text:
JEFFREY EPSTEIN'S MOTION TO TAKE JUDICIAL NOTICE
DCROW
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185
Filing Date:
04-JAN-2011
Filing Party:
Disposition Amount:
Docket Text:
186
1 MOT - MOTION
....-
Filing Date:
06-JAN-2011
Filing Party:
Disposition Amount:
Docket Text:
187
Filing Date:
06-JAN-2011
'Filing Party:
Disposition Amount:
Docket Text:
ITO EDWARDS' NOTICE OF PRODUCTION FROM NON-PARTY
188
NOTD -
DEPOSITION
Filing Date:
06-JAN-2011
Filing Party:
Disposition Amount:
Docket Text:
(none.
189
Filing Date:
07-JAN-2011
Filing Party:
Disposition Amount:
Docket Text:
OF DEPOSITION
190
NOTD -
DEPOSITION
i
Filing Date:
11-JAN-2011
Filing Party:
-11
Disposition Amount:
Docket Text:
I CORRECTED
1
191
I NOTD -
DEPOSITION
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Filing Date:
11-JAN-2011
Filing Party:
Disposition Amount:
Docket Text:
CORRECTED
192
DEPOSITION
Filing Date:
11-JAN-2011
Filing Party:
Disposition Amount:
Docket Text:
CORRECTED
193
DEPOSITION
Filing Date:
11-JAN-2011
Filing Party:
Disposition Amount:
Docket Text:
CORRECTED
194
DEPOSITION
Filing Date:
11-JAN-2011
Filing Party:
Disposition Amount:
Docket Text:
CORRECTED
195
1
I
DEPOSITION
Filing Date:
11-JAN-2011
Filing Party:
Disposition Amount:
Docket Text:
CORRECTED
196
DEPOSITION
Filing Date:
11-JAN-2011
Filing Party:
Disposition Amount:
i •
CORRECTED
197
ORD - ORDER
I
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