📄 Extracted Text (606 words)
IN THE CIRCUIT COURT OF THE
SEVENTEENTH JUDICIAL CIRCUIT, IN
AND FOR BROWARD COUNTY, FLORIDA
CASE NO.: CACE 15-000072
BRADLEY J. EDWARDS and PAUL G.
CASSELL,
Plaintiff(s),
vs.
ALAN M. DERSHOWITZ,
Defendant(s).
PROPOSAL FOR SETTLEMENT PURSUANT TO
RULE 1.442, FLORIDA RULES OF CIVIL PROCEDURE
AND $768.79, FLORIDA STATUTES
Plaintiff, Bradley J. Edwards, by and through his undersigned counsel, states that at least
ninety (90) days have passed since service of process on this Defendant, and there are at least
forty-five (45) days remaining before the date set for trial or the first day of the docket on which
this case is set for trial, whichever is earlier.
THEREFORE, Plaintiff hereby serves this proposal for settlement pursuant to Florida Rule
of Civil Procedure 1.442 and F.S. 768.79. This proposal for settlement must be accepted in
writing, within thirty (30) days or it shall be deemed rejected. The Proposal for Settlement is as
follows:
1. PARTY MAKING PROPOSAL: Bradley J. Edwards.
2. PARTY TO WHOM THE PROPOSAL IS BEING MADE: Man M.
Dershowitz.
3. CLAIMS THE PROPOSAL ATTEMPTS TO RESOLVE: All damages that
EFTA01204919
Edwards, Bradley vs. Dershowitz
Case No.: CACE 15-000072
Proposal for Settlement Edwards to Dershowitz
would otherwise be awarded in a Final Judgment in this action between Plaintiff and Defendant
including both Plaintiff Edwards' claim against the Defendant and Defendant's counterclaim
against Plaintiff Edwards.
4. TOTAL AMOUNT OF PROPOSAL: 5199,999.00 paid by the Defendant to the
Plaintiff. Upon the Plaintiffs receipt of this amount, this action will be voluntarily dismissed with
prejudice between Plaintiff Edwards and this Defendant.
5. PUNITIVE DAMAGES: The Proposal for Settlement does not include an amount
to settle a claim for punitive damages. The Plaintiff has no pending claim for punitive damages
against the Defendant; however, the Plaintiff has reserved the right to assert a claim for punitive
damages and anticipates doing so.
6. ATTORNEY'S FEES: Are not a part of the claims pending between the Plaintiff
Edwards and the Defendant. Attorney's Fees are not included in this Proposal for Settlement.
Each party shall bear its own attorneys' fees and costs.
7. SERVICE AND FILING: This proposal shall be served on the party to whom it is
made through counsel, but shall not be filed unless necessary to enforce the provisions of
Rule 1.442.
8. WITHDRAWAL: This proposal may be withdrawn in writing provided the written
withdrawal is delivered before a written acceptance is delivered. Once withdrawn, this Proposal is
void.
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Edwards, Bradley vs. Dershowitz
Case No.: CACE 15-000072
Proposal for Settlement Edwards to Dershowitz
9. ACCEPTANCE AND REJECTION: This Proposal shall be deemed by the
Plaintiff to be rejected unless accepted by delivery of a written notice of acceptance within thirty
(30) days after service of the Proposal. No oral communications shall constitute an acceptance,
rejection or counteroffer of this Proposal.
10. CONSEQUENCES OF REJECTION: In the event this proposal is rejected, the
Defendant is subject to sanctions, including, but not limited to, those as outlined in Rules 1.442(g)
and (h) of the Florida Rules of Civil Procedure, Fla. Stat. 768.79 and any other relief Plaintiff is
entitled to as a matter of law and which the Court deems just and proper.
11. GOOD-FAITH: This Proposal is being submitted with the knowledge,
understanding, and consent of the Plaintiff making this Proposal.
I HEREBY CERTIFY that a true and correct copy of the foregoing was sent via E-Serve on
this ( day of Oh l- , 2015.
Jack S
Flori
An
m
P "mary E-Mail:
Searcy Denney Scarola Barnhart & Shipley, P.A.
2139 Palm Beach Lakes Boulevard
West Palm Beach, Florida 33409
Phone
Fax:
Attorneys or ainti
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EFTA01204921
ℹ️ Document Details
SHA-256
88e8229f2e04e90ad7d971fe38454aaf430ad75fa81c202efd1f17f9b5ab37bb
Bates Number
EFTA01204919
Dataset
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document
Pages
3
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