📄 Extracted Text (1,320 words)
IN THE CIRCUIT COURT OF THE
FIFTEENTH JUDICIAL CIRCUIT IN AND
FOR PALM BEACH COUNTY, FLORIDA
Case No. 50-2009CA040800XXXXMBAG
JEFFREY EPSTEIN,
Plaintiff/Counter-Defendant,
v.
SCOTT ROTHSTEIN, individually, and
BRADLEY J. EDWARDS, individually,
Defendants/Counter-Plaintiff.
AGREED MEDIATION CONFIDENTIALITY ORDER
THIS CAUSE came before the Court upon the agreement of (I) Bradley J. Edwards
("Edwards'), (2) Jeffrey Epstein ("Epstein"), (3) Intervenors Jane Doe, L.M. and E.W.
(collectively, "Intervenors"), and (4) Farmer Jaffe Weissing Edwards Fistos and Lehrman
("Farmer Jaffe") (collectively, the "Mediation Participants"), to participate in mediation subject to
this Agreed Mediation Confidentiality Order. The Court, hereby
ORDERS AND ADJUDGES as follows:
1. Non-party Farmer Jaffe consents to the jurisdiction of this Court solely for purposes
of participating in the mediation.
2. Pursuant to Florida Rule of Civil Procedure 1.720, Edwards, Epstein and a
representative from Farmer Jaffe who has the full authority to settle without further consultation
shall appear at the mediation in person. The Intervenors' counsel, who shall have full authority to
settle the matter without further consultation, shall appear at the mediation by telephone.
EFTA00809169
Jeffrey Epstein v. Scott Rothstein and Bradley J. Edwards
15th Judicial Circuit Case No. 2009CA040800XXXXMBAG
Agreed Mediation Confidentiality Order
Page 2
3. The Mediation Participants shall each file a Certification of Authority ten days in
advance of the mediation identifying who will appear at the mediation conference and confirming
the person's settlement authority in accordance with Florida Rule of Civil Procedure 1.720(e).
4. The mediation proceeding is confidential and privileged as settlement negotiations.
All statements made during the course of the mediation are privileged settlement discussions, are
made without prejudice to any Mediation Participant's legal position and are not discoverable or
admissible for any purpose in any legal or administrative proceeding whatsoever.
5. Florida law applies and governs the mediation including, but not limited to, Chapter
44, Florida Statutes, and the following specific confidentiality provisions:
a. Florida Statute Section 44.403:
44.403 Mediation Confidentiality and Privilege Act;
definitions.—As used in ss. 44.401-44.406, the term:
(I) "Mediation communication" means an oral or written
statement, or nonverbal conduct intended to make an assertion, by
or to a mediation participant made during the course of a mediation,
or prior to mediation if made in furtherance of a mediation. The
commission of a crime during a mediation is not a mediation
communication.
(2) "Mediation participant" means a mediation party or a person
who attends a mediation in person or by telephone, videoconference,
or other electronic means.
(3) "Mediation party" or "party" means a person participating
directly, or through a designated representative, in a mediation and
a person who:
(a) Is a named party;
(b) Is a real party in interest; or
EFTA00809170
Jeffrey Epstein v. Scott Rothstein and Bradley J. Edwards
15th Judicial Circuit Case No. 2009CA040800XXXXMBAG
Agreed Mediation Confidentiality Order
Page 3
(c) Would be a named party or real party in interest if an action
relating to the subject matter of the mediation were brought in a
court of law.
(4) "Mediator" means a neutral, impartial third person who
facilitates the mediation process. The mediator's role is to reduce
obstacles to communication, assist in identifying issues, explore
alternatives, and otherwise facilitate voluntary agreements to
resolve disputes, without prescribing what the resolution must be.
(5) "Subsequent proceeding" means an adjudicative process that
follows a mediation, including related discovery.
b. Florida Statute Section 44.405(1) and (2):
44.405 Confidentiality; privilege; exceptions.—
(1) Except as provided in this section, all mediation
communications shall be confidential. A mediation participant shall
not disclose a mediation communication to a person other than
another mediation participant or a participant's counsel. A violation
of this section may be remedied as provided by s. 44.406. If the
mediation is court ordered, a violation of this section may also
subject the mediation participant to sanctions by the court,
including, but not limited to, costs, attorney's fees, and mediator's
fees.
(2) A mediation party has a privilege to refuse to testify and to
prevent any other person from testifying in a subsequent proceeding
regarding mediation communications.
c. Florida Statute Section 44.406:
44.406 Confidentiality; civil remedies.—
(1) Any mediation participant who knowingly and willfully
discloses a mediation communication in violation of s. 44.405 shall,
upon application by any party to a court of competent jurisdiction,
be subject to remedies, including:
(a) Equitable relief.
(b) Compensatory damages.
EFTA00809171
Jeffrey Epstein v. Scott Rothstein andBradley J. Edwards
15111 Judicial Circuit Case No. 2009CA040800XXXXMBAG
Agreed Mediation Confidentiality Order
Page 4
(c) Attorney's fees, mediator's fees, and costs incurred in the
mediation proceeding.
(d) Reasonable attorney's fees and costs incurred in the
application for remedies under this section.
(2) Notwithstanding any other law, an application for relief filed
under this section may not be commenced later than 2 years after the
date on which the party had a reasonable opportunity to discover the
breach of confidentiality, but in no case more than 4 years after the
date of the breach.
(3) A mediation participant shall not be subject to a civil action
tinder this section for lawful compliance with the provisions of s.
119.07.
6. The mediation is being conducted in both this action (Jeffrey Epstein v. Scott
Rothstein and Bradley J Edwards, 15th Judicial Circuit Case No. 50-2009-CA-
040800)0CXXMBAG) and the show cause proceedings (In re Rothstein Rosenfeldt Adler, P.A.,
U.S. Bankruptcy Court, Southern District of Florida, Case No. 09-34791-RBR) but will also
address Epstein's potential claims against Fowler White.
7. For the limited purpose of the mediation, Epstein's 47 trial exhibits (the "47 e-
mails") that Edwards claims are privileged and are currently under seal may be shown by Edwards'
attorneys only to the mediator, Fowler White's attorneys and Fowler White's insurance carrier
representative. Edwards' counsel shall bring Edwards' copy of the 47 e-mails to the mediation for
this limited purpose. Edwards' counsel shall be present at all times during any review of the e-
mails. No copies of the e-mails may be made and no notes may be taken regarding their content.
8. The use of the 47 e-mails during mediation will not constitute an additional
argument of a waiver by Epstein of any privilege claimed by Edwards, Fanner Jaffe or the
EFTA00809172
Jeffrey Epstein v. Scott Rothstein andBradley J. Edwards
15th Judicial Circuit Case No. 2009CA040800XXXXMBAG
Agreed Mediation Confidentiality Order
Page 5
Intervenors. However, this does not vitiate or limit Epstein's existing waiver arguments, which
are preserved pending further rulings of this Court.
DONielD ORDERED in West Palm Beach, Palm Beach nty, Florida this frIday
of August, 2018.
DONALD W. HAFELE
RT JUDGE
SERVICE LIST
Jack Scarola Philip M. Burlington
Karen E. Terry Nichole J. Segal
David P. Vitale, Jr. Burlington & Rockenbach, P.A.
Searcy, Denny, Scarola, Barnhart & Shipley, P.A. Courthouse Commons, Suite 350
2139 Palm Beach Lakes Boulevard 444 West Railroad Avenue
West Palm Beach, FL 33409 West Palm Beach, FL 33401
Co-Counselfor Defendant/Counter-
PlaintiffBradleyI. Edwards
Co-Counselfor Defendant/Counter-Plaintiff
Bradley J. Edwards
Bradley J. Edwards Marc S. Nurik
Edwards Pottinger LLC Law Offices of Marc S. Nurik
425 N. Andrews Avenue, Suite 2 One E. Broward Boulevard, Suite 700
Fort Lauderdale FL 33301-3268 Ft. Lauderdale, FL 33301
Co-Counselfor Defendant/Counter-Plaintiff Counselfor Defendant Scott Rothstein
Bradley J. Edwards and Counselfor Fanner
Jaffe Weissing Edwards Fistos andLehrman
EFTA00809173
.letey Epstein v. Scott Rothstein and Bradley J. Edwards
15th Judicial Circuit Case No. 2009CA040800XXXXMBAG
Agreed Mediation Confidentiality Order
Page 6
Jack A. Goldberger Paul Cassell
Atterbury, Goldberger & Weiss, P.A. S.J. Quinney College of Law at the
250 Australian Avenue S., Suite 1400 University of Utah
West Palm Beach. FL 33401 383 S. University St.
Salt Lake City, UT 84112-0730
Co-Counselfor Plaintiff/Counter-Defendant i mute t tor o-Counselfor L.M.,
Jeffrey Epstein EW and Jane Doe
Scott J. Link Jay Howell
Kara Berard Rockenbach Jay Howell & Associates
Link & Rockenbach, PA 644 Cesery Blvd., Suite 250
1555 Palm Beach Lakes Blvd., Suite 930 Jacksonville. FL 32211
West Palm Beach. Ft. 33401
LimitedIntervenor Co-Counselfor L.M,
Elf. and Jane Doe
Trial Counselfor Plainte7Counter-Defendant
Jeffrey Epstein
20841 19
EFTA00809174
ℹ️ Document Details
SHA-256
738c6a8204f4d3bcee32970ceef3f60d31b88d8cec8530039c53d9c99403df0b
Bates Number
EFTA00809169
Dataset
DataSet-9
Document Type
document
Pages
6
Comments 0