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The Florida Bar Inquiry/Complaint Form
Your Name: Jeffrey Epstein Attorney's Name: J3radley Edwards,
ESQ., William Berger, Esq. and Scott
W. Rothstein
Address: 250 Australian Ave S., Adidress: Rothstein Rosenfeldt Adler,
Suite 1404 MI., 401 East Las Olas Boulevard,
Suite 1650
City. West Palm Beach State: a City: Fort Lauderdale State: EL
Phone: 561-366-0084 Zip Code: Phone: 954-522-3456 Zip Code:
33401 33301
ACAP Reference No.
g about are:
PART TWO: The specific thing or things I am complainin
Epstein Case No.
1. I am the Defendant in cases styled E.W. v.
, . v. Epstein, Case No. 50200 8CA028058)OOO(MB AB
502008CA028051XXXXMB ABS
ty, Florida and Jane Doe v.
in the Fifteenth Judicial Circuit in and for Palm Beach Coun
s Distri ct Court, Southern
Epstein, Case No. 08-CIV-80893 Marra/Johnson, United State
District Court of Florida.
their firm, Rothstein,
2. Mr. Edwards, Mr. Berger and Scott Rothstein, through
ntly represent the three Plaintiffs
Rosenfeldt and Adler,■., CRRA") represented and curre
Individuals.
listed above,■., E.W. and Jane Doe; and, possibly other
running a covert
3. Based upon the news media reports of Mr. Rothstein
belief that the above-referenced
investment scheme built on legal settlements, It Is my
me by promising those investors a
lawyers obtained investors in the various cases against
cases.
piece/share of the fees, settlements or verdicts reached in these
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4. Mr. Edwards has represented to my attorneys on multiple occasions that he
taken
believes these cases are worth tens of millions of dollars. Extensive discovery has
place by Mr. Edwards with what appears an unlimited budget to litigate these cases.
5. I believe that the above lawyers and RRA improperly, unethically and
potentially illegally solicited investors in these personal injury contingent cases to front
money for payment of bills and costs with the understanding in writing or orally that the
investors would receive a share of the attorneys fee or prospective settlement or judgment
if and when any return was realized.
6. As of the current date, I have settled no cases with Mr. Edwards, Mr. Berger,
Mr. Rothstein or RRA.
7. I believe various Florida Rules have been broken by the above-referenced
attorneys with this investment scheme. I believe the following Bar Rules, but not limited to
these Rules have been violated: Rule 4-1.2(d), 4-1.4; 4-1.5(a)(dXf)(g); 4-1.8(aXeXf)(i); 4-
8.3 and 4-8.4.
PART THREE: The witnesses in support of my allegations are:
1. Bradley Edwards, Esq., William Berger, Esq., Scott Rothstein, Esq., Judge
Herbert Stettin, the receiver, Stuart Rosenfeldt, Esq.; partners of Rothstein
Rosenfeldt Adler, ■., 401 East Las Olas Boulevard, Suite 1650, Fort
Lauderdale, FL 33301; investors (unknown to me at this time).
2. My attorneys as to what has been said to them re: alleged value of the
cases, Robert D. Critton, Jr., Esq. and Michael J. Pike, Esq. of Burman,
2
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Critton, Luttier and Coleman, 303 Banyan Boulevard, Suite 400, West
Palm Beach, Florida 33401
3. The Plaintiffs, i, E.W. and Jane Doe (S.R.).
PART FOUR: Under penalty of perjury, I declare the foregoing facts are true, correct
and mplete
Si Date
3
EFTA00617106
ℹ️ Document Details
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15c50d6959f67b5a2c9fbc8e2b77842ea3777d591708bed93347374edbfdeb72
Bates Number
EFTA00617104
Dataset
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document
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3
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