📄 Extracted Text (243 words)
W. CHESTER BREWER, JR., P.A.
ATTORNEY AT LAW
SU/TB 1400
250 AUSTRALIAN AVEINUE1SOUTH
WEST PALM BEACH, FLORIDA 33401-50116
11TLEPHOS
FAX
October 19, 2017
Via Federal Express
Scott J. Link, Esq.
Ackerman Link & Sartory
777 S Flagler Dr Ste 800
West Palm Beach, FL 33401-6161
Re: Jeffrey Epstein vs. Scott Rothstein, individually, Bradley Edwards, individually
Case No.: 502009CA040800XXXXMIt
Dear Scott,
It was a pleasure seeing you this morning.
I have enclosed for your reading pleasure the four (4) outstanding motions and responses
that were discussed this morning with Judge Hafele. Please pay particular attention to Edwards
Motion in Limine as it describes in detail Scarola's strategy in using the CVRA case to preclude
Mr. Epstein's ability to testify and at the same time obtain the ability to utilize adverse inferences
before the jury.
I have also enclosed the transcript of the deposition recently taken of
(now Moody). Scarola does not represent Ms. Wild and he clearly states so on .
spite of this, he instructed her not to answer questions posed by Jack Goldberger which related to
the CVRA case. Nobody but Scarola would have dared to do this. Some sort of Motion to
Compel and for Sanctions should be on the front burner.
I look forward to working with you and will do whatever is necessary to help you litigate
this matter.
Very truly yours.
W. Chester Brewer, J.R., P.A.
WCB/msk
Enclosures
cc: Jack Goldberger, Esq.
Darren Indyke, Esq.
Jeffrey Epstein
EFTA00589776
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