📄 Extracted Text (363 words)
Re: Epstein v. Sitrick
Darren:
by Sitrick's attorney. Let's
Well, here is the Request for Production that was threatened
subject to a Motion for Protective
discuss because some of the requests are objectionable and
Order. For others, the documents probably do not exist.
g an arbitration proceeding in
I am curious regarding the request for correspondence durin
California. Was there an arbitration proceeding?
Chester
Attachment
cc: JE
EFTA01098826
Filing # 19626450 Electronically Filed 10/21/2014 01:25:14 PM
IN THE CIRCUIT COURT OF THE FIFTEENTH JUDICIAL CIRCUIT
IN AND FOR PALM BEACH COUNTY, FLORIDA
CASE NO. 502014CA011284XXXXMB
JEFFREY EPSTEIN,
an individual,
Plaintiff,
v.
SITRICK AND COMPANY, a
division of SITRICK BRINCKO GROUP, LLC
Defendant.
DEFENDANT'S FIRST REQUEST FOR PRODUCTION TO THE PLAINTIFF
Defendant, by and through its undersigned counsel, requests the Plaintiff provide copies
of the following documents in accordance with Rule 1.350, Florida Rules of Civil Procedure:
1. Plaintiffs current Driver's License.
2. Any Florida Driver's License issued to the Plaintiff.
3. Plaintiffs voter's registration.
4. Any Florida Voter's Registration issued to the Plaintiff.
5. Any document indicating the Plaintiffs ownership of real property in Florida in
May of 2013.
6. Any correspondence between the panics in or during Arbitration Proceedings in
California.
7. Any written agreements between the parties.
8. Any written correspondence between the parties that mentions or refers or
concerns the case in which the subject Default Final Judgment was obtained.
SHINDER LAW GROUP, U
398 CAMINO GARDENS BOULEVARD, SUITE 109, BOCA RATON, FL 33432 'TEL. (561) 361.6800
EFTA01098827
CASE NO:
ng in May of 2013.
9. All documents that show where Plaintiff was residi
CERTIFICATE OF SERVICE
foregoing has been sent by
I HEREBY CERTIFY that a true and correct copy of the
and , on this
electronic mail to: W. Chester Brewer, Jr., Esq.,
2Ist day of October, 2014.
SHINDER LAW GROUP,II.
398 Camino Gardens Boulevard
Suite 109
Boca Raton, FL 33432
Telepho:1(Mi t
Email : lance
chelseaAshindeflaw.com
orianaathinderlaw,eorn
By: is/ Lance W. Shinder
Lance W. Shinder, Esquire
Fla. Bar No.: 851711
Chelsea A. Embrey, Esquire
Fla. Bar No.: 103708
SHINDER LAW GROUP,.
398 CAMINO GARDE NS BOULE VARD, SUITE 109, BOCA RATON, FL 33432 'TEL. (561) 361.6800
EFTA01098828
ℹ️ Document Details
SHA-256
8dd7554213b066d65e8dc3aa54aaf94d5b499a1b21f9092a9b8db1ea9e5d0b5b
Bates Number
EFTA01098826
Dataset
DataSet-9
Document Type
document
Pages
3
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