EFTA00600864.pdf PDF
…12990 S.W. 74 Court Miami, Florida 33156 (305)582-0119 Re: Jeffrey Epstein Billing Statement for October 1, 2009-October 31, 2009 October 1- Phone calls w/ ICE re depositions, clients status, evaluat…
…12990 S.W. 74 Court Miami, Florida 33156 (305)582-0119 Re: Jeffrey Epstein Billing Statement for October 1, 2009-October 31, 2009 October 1- Phone calls w/ ICE re depositions, clients status, evaluat…
…CERTIORARI AND APPENDIX TO PETITION FOR WRIT OF CERTIORARI (LOCATED IN A REDWELD ON ITS OWNI) EDWARDS EW Case # 28058 BB Case # 37319 Case # 80736 Case# 4D09-2254 ON THE FLOOR Video-Conferenced and Videotaped Deposition of Jane Doe 4…
…AND APPENDIX TO PETITION FOR WRIT OF CERTIORARI (LOCATED IN A RED WELD ON ITS OWN 0 EW Case # 28058 BB Case # 37319 Case # 80736 Case# 4D09-2254 ON THE FLOOR Video-Conferenced and Videotaped Deposition of Jane Doe 4…
…Edwards 15'h Judicial Circuit Case No. 50-2009CA0408001OOOCMBAG Dear Jack and Brad: Our client has watched the video of Brad's deposition and asked us to extend a final settlement offer, which will remain open until 5:00 p…
…review reply from Ms. en; review email from Ms. Ezell re: anonymity and deposition transcript. 10/2/09 30608 Review email from Mr. Josefsberg to Mr. Critton re: 3.1 1,085.00 General 9/25 settlement; review and send…
…No. 1425006537 Dear Harry: I have enclosed a copy of the transcript of Daniel Zwim's deposition in the Gruss matter, bates-stamped DZ_FTC 000754 - DZ_FTC 000872. As agreed between and among the parties, the enclosed materials will…
…Edwards 15'1' Judicial Circuit Case No. 50-2009CA040800XXXXMBAG Dear Jack and Brad: Our client has watched the video of Brad's deposition and asked us to extend a final settlement offer, which will remain open until 5:00 p…
…Edwards 15'h Judicial Circuit Case No. 50-2009CA040800XXXXMBAG Dear Jack and Brad: Our client has watched the video of Brad's deposition and asked us to extend a final settlement offer, which will remain open until 5:00 p…
…th • m and their ties to Epstein. It also appears that the Times has a copy of all or a portion of the deposition gave in the Maxwell case, which is troubling because it was subject to confidentiality in that…
…57 AM Dispositions) Total: 0 illsere is no Disposition information available for this case. — Event(s) & Document(s) …
…requests a stay of further briefing and hearings with regard to EPSTEIN'S Motion for Fees and Costs to permit the discovery described herein. Assuming EPSTEIN'S cooperation in the process of setting his deposition and responding to discovery requests…
…of. We would only need 15 minutes of your time. We will be willing to come to you and meet whenever is convenient. We are trying to prevent you from having to go through a formal deposition, receiving a subpoena…
…of. We would only need 15 minutes of your time. We will be willing to come to you and meet whenever is convenient. We are trying to prevent you from having to go through a formal deposition, receiving a subpoena…
…UMW VflWAM A. NORTON PABLO Posuics" PORCH F. OisiiLut1 This is in response to your letter regarding Jay White's deposition. EDW.() V RICO ANDREA A. ROBINSON WO*. SCAPICO1 MATTHEW IC SLIME/A:NE We have been Court-ordered to…
…been deemed "Confidential, for Attorneys' Eyes Only," whether in papers filed with the Court or verbally, in connection with a motion, hearing, deposition or trial, before any such information is quoted, disclosed, relied upon or used, the party must provide…
…been deemed "Confidential, for Attorneys' Eyes Only," in papers filed with the Court or verbally in connection with a motion, hearing, deposition or trial, before any such information is quoted, disclosed, relied upon or used, the party must provide 15…
…is no Disposition information available for this case. — Event(s) & Document(s) Total: 218 …
…Only," whether in papers filed with the Court or verbally, in connection with a motion, hearing, deposition or trial, before any such information is quoted, disclosed, relied upon or used, the party must file a Motion to have the information…
…believes he needs a subpoena before he can do so. His firm has already provided us with copies of all other court filings and deposition transcripts from the civil case voluntarily. The settlement agreement resolving the case is relevant to…
…been deemed "Confidential, for Attorneys' Eyes Only," whether in papers filed with the Court or verbally, in connection with a motion, hearing, deposition or trial, before any such information is quoted, disclosed, relied upon or used, the party must provide…
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