📄 Extracted Text (274 words)
AGREEMENT BETWEEN PARTIES TO EPSTEIN V. EDWARDS ET AL.
The parties to this action, Jeffrey Epstein and Bradley Edwards (acting in his capacity as a party
to this action and not as co-counsel), wish to communicate directly with one another, without the need
for counsel present or involved in the discussions, for the purpose of continuing the settlement
discussions that the parties commenced at the mediation conference at Matrix Mediation, 1655 Palm
Beach Lakes Boulevard, West Palm Beach Florida, on September 1, 2015. Any and all communications
between the parties shall be considered an extension of the confidential mediation conference, and all
communications between the parties shall be governed by the Confidential Mediation provisions as
delineated in §44.405 of the Florida Statutes, and shall be deemed protected by any other state or
federal law or rule of evidence applicable thereto.
Each of the parties and respective counsel agree that unless and until this agreement is
withdrawn by either party, by written notification to the party and his counsel, each of the parties may
communicate directly with the other through any of the accepted means below without the need for
permission from, or attendance by, his counsel. Communication may be instituted by Mr. Epstein to
Mr. Edwards via electronic mail: or via telephone at 954-524-2820. Should
Mr. Edwards wish to communicate with Mr. Epstein, he may contact Tonja Haddad Coleman, Esq.,
and she will notify Mr. Epstein.
This Agreement may be executed in one or more counterparts, including, without limitation,
facsimile counterparts, which when taken together shall constitute one agreement.
Jeffrey Epstein Date Bradley Edwards Date
Counsel for Epstein Date Counsel for Edwards Date
EFTA00597639
ℹ️ Document Details
SHA-256
aed69689fd3eb4c58b7e15d13669c722bb8bdd4b21c54b55f95b38e13bdfc0df
Bates Number
EFTA00597639
Dataset
DataSet-9
Document Type
document
Pages
1
Comments 0