📄 Extracted Text (443 words)
IN THE CIRCUIT COURT OF THE
1-1k 1k,ENTH JUDICIAL CIRCUIT IN AND
FOR PALM BEACH COUNTY, FLORIDA
Case No. 50-2009CA0408003OOOCMBAG
JEFFREY EPSTEIN,
Plaintiff/Counter-Defendant.
v.
SCOTT ROTHSTEIN, individually, and
BRADLEY J. EDWARDS, individually,
Defendants/Counter-PI a int iff
CONFIDENTIAL. FOR ATTORNEYS' AND CLIENT'S EYES ONLY
EPSTEIN'S DISCLOSURE OF CONFIDENTIAL SETTLEMENT INFORMATION
The following information is being produced by Plaintiff/Counter-Defendant, Jeffrey
Epstein ("Epstein"), to Defendant/Counter-Plaintiff, Bradley J. Edwards ("Edwards"), in
compliance with the Court's January 5, 2018, Order Compelling Epstein to Produce Settlement
Amounts. The information contained herein shall not, directly or indirectly, be disclosed to anyone
other than Edwards and his counsel and may not be used for any purpose outside of this litigation.
1. The number of claims settled by Epstein regarding individuals who alleged to be
victims of sexual misconduct from December 6, 2007, to December 6, 2009:
13
2. The gross settlement amount paid by Epstein to individuals who alleged to be
victims of sexual misconduct by Epstein from December 6, 2007, to December 6,
2009:
S1,500,000
3. The number of claims settled by Jeffrey Epstein regarding individuals who alleged
to be victims of sexual misconduct by Epstein from December 7, 2009, through the
present:
26
4. The gross settlement amount paid by Epstein to individuals who alleged to be
victims of sexual misconduct by Epstein from December 7, 2009, through the
present:
$11,516,000
EFTA00793365
If a party intends to quote, disclose, rely on or use in this litigation information or
documents that have been deemed "Confidential, for Attorneys' and Clients' 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 file a Motion
to have the information or documents deemed to be no longer confidential, must file the
information or documents under seal in accordance with Administrative Order 2.303-9/09 and
have the proposed quote, disclosure, reliance or use of such information or documents heard and
approved by the Court.
CERTIFICATE OF SERVICE
I certify that the foregoing document has been fitrnished to the attorneys listed on the
Service List below on January 24, 2018, via e-mail.
LINK & ROCKENBACH, PA
1555 Palm Beach Lakes Boulevard, Suite 301
West Palm Beach, Florida 33401
(561) 727-3600; (561) 727-3601 [fax]
By: /s/ Scott J. Link
Scott
Kara Berard Rockenbach (FBN
Angela M. Man
Trial Counselfor Plaintiff/Counter-Defendant
Jeffrey Epstein
EFTA00793366
SERVICE LIST
Jack Scarola Bradley J. Edwards
David P. Vitale, Jr. Edwards Pottin er LLC
ley, P.A.
Co-Counselfor Defendant/Counter-Plaintiff
Bradley J. Edwards
Co-Counselfor Defendant/Counter-Plaintiff
Bradley I Edwards
Jack A. Goldberger
Atterbury, Goldberger & Weiss, P.A.
1400
Co-Counselfor Plaintiff/Counter-Defendant
Jeffrey Epstein
EFTA00793367
ℹ️ Document Details
SHA-256
2048fc76f8eef6acd10868e604e1ca9dcf52f139c30b425b2e528e0a187a5e70
Bates Number
EFTA00793365
Dataset
DataSet-9
Document Type
document
Pages
3
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