📄 Extracted Text (354 words)
From: Jackie Perczek <JPerczek®royblack.com>
To: Paul Cassell <cassell law.utah.edu>
ow mgw att.ent
<[email protected]>, "Maria Kelljchian (maria®pathtojustice.com)"
<[email protected]>
Cc: "Brad Edwards ([email protected])" <[email protected]>, "Marvin Simeon"
<[email protected]>
Subject: RE: Epstein's Request for Prospective Intervention -- no conference among the parties
Date: Wed, 10 Jul 2013 21:43:47 +0000
Importance: Normal
Hi Paul,
Thanks for reaching out to me. Because it is 5:41 p.m. here in Miami, I am not able to get
back to you today but will get back to you tomorrow.
Jackie
From: Paul Cassell [mallto:[email protected]]
Sent: Wednesday, July 10, 2013 5:40 PM
To: Jackie Perczek;
[email protected]; Maria Kelljchian ([email protected])
Cc: Brad Edwards ([email protected]); Marvin Simeon
Subject: Epstein's Request for Prospective Intervention -- no conference among the parties
Dear Jackie,
We read with interest Epstein's recent motion for "Prospective Limited Intervention at the Remedy Stage of These
Proceedings," DE 207. However, in reviewing the motion, we did not see the statement of Pre-Filing Conference, required
by the Court's Local Rules. See Local Rule 7.1(A)(3). This requirement cannot be ignored, and we would like the
opportunity to confer with you and the Government before responding.
Accordingly, one option for us would be to file a response to deny your motion for your failure to hold the appropriate
conference with the parties. But another option would be for you schedule a conference with all three parties — i.e., the
Epstein group, the Government, and victims' counsel — to discuss the issue. This would also provide an opportunity for us
to determine what the Government's position is on this motion.
Please advise as to whether you agree that your motion is defective under the local rules and, if so, how you propose to
remedy this defect.
In light of these additional complications, please also advise as to your position on whether you would oppose a ten-day
extension of time (to and including August 6, 2013), for the victims to respond to the motion. (And Dexter — we would
like your position on an extension as well.)
Thanks for your attention to these issues.
Brad Edwards and Paul Cassell for Jane Doe #1 and Jane Doe #2
EFTA00209273
EFTA00209274
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EFTA00209273
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