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Case File
efta-02726229DOJ Data Set 11Other

EFTA02726229

Date
Unknown
Source
DOJ Data Set 11
Reference
efta-02726229
Pages
6
Persons
0
Integrity

Extracted Text (OCR)

EFTA Disclosure
Text extracted via OCR from the original document. May contain errors from the scanning process.
Epstein v. Rothstein List of Witnesses 1. Scott W. Rothstein Rothstein Rosenfeldt & Adler 2. Bradley J. Edwards Rothstein Rosenfeldt & Adler 3. Jeffrey Epstein 4. William Berger Rothstein Rosenfeldt & Adler 5. Russell Adler Rothstein Rosenfeldt & Adler 6. Mike Fisten 7. Kenneth Jenne 8. Patrick Roberts 9. Richard Fandrey 10. Herb Stettin Il. David Bodden 12. Deborah Villegas Rothstein Rosenfeklt & Adler 13. Andrew Barnen 14. Christina Kittennan 15. Corporate Representative Q-Task 16. Ghislaine Maxwell 17. Each investor and potential investor who reviewed the approximate ten (10) boxes of cases. real or fabricated, against Jeffrey Epstein shown by Scott Rothstein to solicit third party EFTA_R1_02213936 EFTA02726229 investments.' 18. Each attorney at Conrad Scherer who reviewed the approximate ten (10) boxes of cases, real or fabricated, against Jeffrey Epstein.' 19. Edward J. Morse 20. Carol Morse 21. Ted Morse 22. Patricia A. Morse 23. Corporate Representative Morse Operations, Inc. EXHIBITS 1. Any and all documents, including but not limited to, emails, correspondence, and settlement agreements, between, or on behalf of RRA, its employees, agents or clients, and any third party regarding a purported settlement of any litigation between Jeffrey Epstein and a RRA client, or the financing of any litigation between Jeffrey Epstein and a RRA client. 2. Any and all documents, including but not limited to, emails, correspondence and written agreements between, or on behalf of RRA, its employees, agents, or clients and any third party regarding the solicitation and/or receipt of money in return for settlement funds allegedly paid or to be paid by Jeffrey Epstein. 3. Any and all documents, including but not limited to, emails, correspondence and written agreements between, or on behalf of RRA, its employees, agents, or clients and any third party regarding the solicitation of money to help finance ongoing litigation against Jeffrey Epstein. 4. Any and all documents, including but not limited to, emails, correspondence and written agreements between, or on behalf of RRA, its employees, agents, or clients and any third party regarding the solicitation of money to be given to, or used on behalf of, the Plaintiffs in litigation against Jeffrey Epstein. 5. Any and all documents, including but not limited to, entails, correspondence, and written ' The names of the investors are unknown to Plaintiff at this time and will be provided upon receipt and review of the discovery pertaining to the investors and potential investors. 'The names of the attorneys are unknown to Plaintiff at this time and will be provided during discovery of same. EFTA_R1_02213937 EFTA02726230 agreements between, or on behalf of RRA, its employees, agents, or clients and any third party regarding communication between third party investors or potential investors and the Plaintiffs or their attorneys involved in litigation against Jeffrey Epstein. 6. Any and all documents, including but not limited to, emails, correspondence, canceled checks, bank statements, and written agreements between, or on behalf of RRA, its employees, agents, or clients and any third party regarding payments made to RRA to or on behalf of any investor for settlement of any litigation involving Jeffrey Epstein. 7. Any and all documents, including but not limited to, emails, data, correspondence, memos, or similar documents between Bradley J. Edwards and any investor or third party person or entity regarding Jeffrey Epstein or which mentions Jeffrey Epstein as it relates to any purported investment pertaining to litigation involving Jeffrey Epstein. 8. Any and all documents, including but not limited to, emails, data, correspondence, memos, or similar documents between Scott W. Rothstein and any investor or third party person or entity regarding Jeffrey Epstein or which mentions Jeffrey Epstein as it relates to any purported investment pertaining to litigation involving Jeffrey Epstein. 9. Any and all documents, including but not limited to, emails, data, correspondence, memos, or similar documents between William Berger and any investor or third party person or entity regarding Jeffrey Epstein or which mentions Jeffrey Epstein as it relates to any purported investment pertaining to litigation involving Jeffrey Epstein. 10. My and all documents, including but not limited to, emails, data, correspondence, memos, or similar documents between Russell Adler and any investor or third party person or entity regarding Jeffrey Epstein or which mentions Jeffrey Epstein as it relates to any purported investment pertaining to litigation involving Jeffrey Epstein. 11. Any and all documents, including but not limited to, emails, data, correspondence, written agreements or memos between Bradley J. Edwards and any other attorney, employee or agent of RRA regarding Jeffrey Epstein relating to any investment or potential investment in any case involving Jeffrey Epstein. 12. Any and all documents, including but not limited to, emails, data, correspondence, written agreements or memos between Scott W. Rothstein and any other attorney, employee or agent of RRA regarding Jeffrey Epstein relating to any investment or potential investment in any case involving Jeffrey Epstein. 13. Any and all documents, including but not limited to, emails, data, correspondence, written agreements or memos between and any other attorney, employee or agent of RRA regarding Jeffrey Epstein relating to any investment or potential investment in any case involving Jeffrey Epstein. 14. Any and all agreements or documents, including but not limited to, emails, correspondence EFTA_R1_02213938 EFTA02726231 and memos which were provided to or received from an investor or potential investor relating to any case (real or fabricated) involving Jeffrey Epstein and Scott W. Rothstein. 15. Any and all agreements or documents, including but not limited to, emails, correspondence and memos which were provided to or received from an investor or potential investor relating to any case (real or fabricated) involving lenity Epstein and Bradley J. Edwards. 16. My and all agreements or documents, including but not limited to, emails, correspondence and memos which were provided to or received from an investor or potential investor relating to any case (real or fabricated) involving Jeffrey Epstein and any employee, agent or attorney with RRA. 17. Any and all agreements or documents, including but not limited to, emails, correspondence and memos which were provided to or received from an investor or potential investor relating to any case (real or fabricated) involving Jeffrey Epstein and any employee, agent, member or officer of any entity formed by RRA to create investment opportunities for third party investors to invest in any plaintiff's case against Jeffrey Epstein. 18. Any and all agreements or documents, including but not limited to, emails, correspondence and memos which were provided to or received from an investor or potential investor relating to any case (real or fabricated) involving Jeffrey Epstein and any employee, agent, member or officer of any entity formed by Scott W. Rothstein to create investment opportunities for third party investors to invest in any plaintiff's case against Jeffrey Epstein. 19. Any and all agreements or documents, including but not limited to, emails, correspondence and memos which were provided to or received from an investor or potential investor relating to any case (real or fabricated) involving Jeffrey Epstein and any employee, agent, member or officer of any entity formed by Bradley J. Edwards to create investment opportunities for third party investors to invest in any plaintiff's case against Jeffrey Epstein. 20. My and all documents made available to any investor or potential investor by Bradley J. Edwards to solicit "investors" for any case involving Jeffrey Epstein. 21. My and all documents made available to any investor or potential investor by Scott W. Rothstein to solicit "investors" for any case involving Jeffrey Epstein. 22. Any and all documents made available to any investor or potential investor by any employee, attorney or agent of RRA to solicit "investors" for any case involving Jeffrey Epstein. 23. Any and all documents made available to any investor or potential investor by any employee, attorney or agent of any entity owned by Scott W. Rothstein to solicit "investors" for any case involving Jeffrey Epstein. 24. My and all documents reflecting the names and addresses of all individuals or entities who invested or purported to invest in any aspect of any case against Jeffrey Epstein. EFTA_R1_02213939 EFTA02726232 25. Any and all documents which purport to evidence any transfer of funds or property to investors from Jeffrey Epstein by way of RRA for the settlement of any case, real or fabricated, against Jeffrey Epstein. 26. Any and all documents which purport to evidence any transfer of funds or property to investors from Jeffrey Epstein by way of Scott W. Rothstein for the settlement of any case, real or fabricated, against Jeffrey Epstein. 27. Any and all documents which purport to evidence any transfer of funds or property to investors from Jeffrey Epstein by way of any entity owned by Scott W. Rothstein for the settlement of any case, real or fabricated, against Jeffrey Epstein. 28. Any and all documents relating to any investment, joint-venture or business enterprise involving RRA that reference any claim, real or fabricated, against Jeffrey Epstein. 29. The entire bankruptcy file In Re: Rothstein, Rosenfeldt & Adler, P.A. 30. All files pertaining to ca ses, real or fabricated, against Jeffrey Epstein which were shown to any "investors" or potential investors to solicit investment opportunities for third party investors to invest in any plaintiff's case against Jeffrey Epstein. 31. All Q-Task Projects that refer to Jeffrey Epstein. 32. All Q-Task Projects that refer to L.M., E.W., or Jane Doe. 33. My employment agreements and correspondence describing compensation benefits for Bradley Edwards during his employment with RRA. 34. All documents from the "Fortress" software program that refer or relate to Jeffrey Epstein. 35. All documents from the "Fortress" software program that refer or relate to L.M., E.W., or Jane Doe. 36. The deposition of Jeffrey Epstein taken on March 17, 2010. 37. The deposition including all exhibits of Bradley J. Edwards taken on March 24, 2010. 38. All interrogatories served on Bradley J. Edwards and responses thereto. 39. All Requests for Admissions served on Bradley J. Edwards and responses thereto. 40. All Requests for Admissions served on Bradley J. Edwards and responses thereto. 36. All documents produced by Bradley J. Edwards in response to Requests for Production. EFTA_R1_02213940 EFTA02726233 37. All documents and emails produced by the bankruptcy trustee In Re: Rothstein, Rosenfeldt & Adler. 38. All Interrogatories served on Scott W. Rothstein and responses thereto. 39. All Requests for Admissions served on Scott W. Rothstein and responses thereto. 40. All Requests for Production served on Scott W. Rothstein and responses thereto. 41. Plaintiff reserves his right to supplement this list of witnesses and exhibits. EFTA_R1_02213941 EFTA02726234

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