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efta-efta00145709DOJ Data Set 9Other

(826) All m

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DOJ Data Set 9
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EFTA 00145709
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3
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< > (826) All m Proton Mail OO OO New message Inbox H Drafts Sent Starred - Less Archive (?) Spam 0 Trash g All mail C) 729 ► Folders o Labels 715 Q brad • 8 I mail.proton.me III Spring Bulbs for Autumn Planting — Buy autumn planting flower bulbs online at... Clear All BE Brad Edwards Jan 26, 2023 Re: Purchased Flights BE <1:1 Brad Edwards (2) Re: Purchased Flights * Jan 26, 2023 g> Brad Edwards, brad... Jan 26, 2023 BE Purchased Flights 6 * Go Unlimited From a a Brad Edwards To + • Solitaire Time 0 (2) Jan 26, 2023 EI e v • • • a <a, r• Excellent. Thank you. Our subpoenas and case plans are coordinated with those of the USVI, so anything obtained by either is being shared. I'll let you know what is needed as we get further into the case. Sent from my iPhone Brad Edwards Jan 15, 2023 BE On Jan 26, 2023, at 10:58 AN wrote: Re: Class Action lawsuit v. JP ... 6 BE <1;) Brad Edwards Jan 14, 2023 / Re: Class Action lawsuit v

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EFTA Disclosure
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< > (826) All m Proton Mail OO OO New message Inbox H Drafts Sent Starred - Less Archive (?) Spam 0 Trash g All mail C) 729 ► Folders o Labels 715 Q brad 8 I mail.proton.me III Spring Bulbs for Autumn Planting — Buy autumn planting flower bulbs online at... Clear All BE Brad Edwards Jan 26, 2023 Re: Purchased Flights BE <1:1 Brad Edwards (2) Re: Purchased Flights * Jan 26, 2023 g> Brad Edwards, brad... Jan 26, 2023 BE Purchased Flights 6 * Go Unlimited From a a Brad Edwards To + Solitaire Time 0 (2) Jan 26, 2023 EI e v • • • a <a, r• Excellent. Thank you. Our subpoenas and case plans are coordinated with those of the USVI, so anything obtained by either is being shared. I'll let you know what is needed as we get further into the case. Sent from my iPhone Brad Edwards Jan 15, 2023 BE On Jan 26, 2023, at 10:58 AN wrote: Re: Class Action lawsuit v. JP ... 6 BE <1;) Brad Edwards Jan 14, 2023 / Re: Class Action lawsuit v. JP ... 6 r> Brad Edwards Jan 14, 2023 BE (gClass Action lawsuit v. JP ... l z Brad Edwards, brad@p... Jan 14, 2023 BE Wife Brad Edwards, brad@p... Jan 14, 2023 BE / Class Action Brad Edwards, brad... Jan 14, 2023 BE Class Action JP Morgan and Deut... Dear Brad, I hope you are well. I read earlier that Cathy and Miles Alexander are being subpoenaed in the US Virgin Islands case against JP Morgan. I hope they will also be subpoenaed for the case for the victims too as they were there when I, d co were there being trafficked. I would like to do what ever I can to assist in this case and would happily testify if this went to court. I have attached flight bookings that were purchased by Please let me know if I can do anything to help. n behalf of JE. 1.70GB/16.00Gf 5029 7 BE G> Brad Edwards, brad... Jan 13, 2023 Kind IR1 lypocrites, Rapists and P. EFTA00145709

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DOJ Data Set 9OtherUnknown

Front:

Front: 'to: Subject: Date: EFTA00143524 Importance: Normal Inline-Images: IMG_5948.jpeg; IMG_6051.jpeg; IMG_5951 jpeg; IMG_5947.jpeg; IMG_5949.jpeg I told you all GOD WAS REAL!!! hupsihsamaillymail.co ukhciencetechiarticle-14465161/Harvard-crientist-sayc-flod-formula-proveq-creator hunt Have the FCA interviewed AND her sister (both will have ample information and evidence and her sister was a recruiter up until he was arrested and and I met on Epsteins island who is actually MY KEY WITNESS NOT THE OTHER WAY AROUND THANK YOU DAVID AND SIGRID SEEMING AS IM THE ONE THAT INTRODUCED HER TO YOU IN THE FIRST PLACE AS MY WITNESS IN MY LITIGATION!!) HAVE THE FCA INTERVIEWED LINDA SINGER, DAVID BOLES, SIGRID, BRAD, JAMES MARSH AND CO?? IF NOT WHY NOT!! On The, Mar 4, 2025 at 23:35, wrote: WHICH RUPERT IS CLOSE TO MERVYN KING? lillIS'llwww Ihegligaliam=220theManiiiialiajafECY&PSIthitittgalMbalglaYaSSX&PID.Igabita IS HE REFERRING TO RUPERT MURDOCH?? EFTA00143525 23:32 al

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DOJ Data Set 9OtherUnknown

(USAFLS)" </DI

From: (USAFLS)" </DI To: "Brad Edwards Subject: Confidential Settlement Negotiations Date: Sat, 25 Jun 2016 20:17:08 +0000 Importance: High Attachments: Proposed_Order_Approving_Stip_for_Dismissal.pdf; Proposed_Stipulation_for_Dismissal.pdf; USAO_Letter_to Jane_Doe_l_-_06-22- 2016_with_watermark.pdf; 20160625_Jane_Doe_Settlement_Agreement.pdf Ili Brad —I am sending you our complete packet, that is: (1) Proposed Settlement Agreement, including title of DOJ official for meeting (2) Proposed Stipulation of Dismissal and Order accepting it (this would be Appendix "B") (3) Proposed letter (this would be Appendix "C") Sealed Appendix A is the victim list from you with my one addition. I need from you: Appendix D (proposed amendments to the "Attorney General Guidelines for Victim and Witness Assistance" and to the procedures for filing complaints with the Justice Department's Crime Victims' Rights Ombudsman) Appendix E (proposed amendments to the U.S. Attorney's Manual) I am

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Court UnsealedJun 16, 2023

Deutsche Bank Epstein victim questionnaire

EXHIBIT A-1 Case 1:22-cv-10018-JSR Document 90-2 Filed 06/16/23 Page 1 of 12 1 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK Case No. 1:22-CV-10018 (JSR) NOTICE OF PROPOSED SETTLEMENT OF CLASS ACTION TO: ALL VICTIMS OF JEFFREY EPSTEIN’S SEX TRAFFICKING VENTURE DURING THE TIME PERIOD AUGUST 19, 2013 TO AUGUST 10, 2019 (THE “CLASS PERIOD”). IN ORDER TO QUALIFY FOR A SETTLEMENT PAYMENT, YOU (OR CLASS COUNSEL ON YOUR BEHALF) MUST TIMELY SUBMIT A TIER ONE FORM BY ___________, 20

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DOJ Data Set 9OtherUnknown

To: "Paul Cassell"

From: To: "Paul Cassell" Cc: ' "Brad Edwards" Subject: : ovemments osition on Several Pending Issues? Still Waiting for Answer Date: Thu, 17 Mar 2011 16:56:28 +0000 Importance: Normal Paul, 1. Yesterday, I provided you with the name and phone number for OPR Acting Associate Counsel, who received your December 10, 2010 letter to Mr. Ferrer, asking for an investigation of the Jeffrey Epstein prosecution. 2. The government will not be making initial disclosures to plaintiffs, because we do not believe Fed.R.Civ.P. 26 applies to this matter. 3. The CVRA applies to the criminal case which has been filed in district court, where an individual is deemed to be a "victim," not any civil litigation which may be initiated to enforce those claimed rights. We do not believe there is any right to discovery in this case. Moreover, we do not believe that whatever Kenneth Starr or Lilly Ann Sanchez may have said to this office, or what this office said to Kenneth Starr or Lilly Ann S

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DOJ Data Set 9OtherUnknown

UNITED STATES DISTRICT COURT

UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA Case No. 08-80736-Civ-Marra/Johnson JANE DOES #1 and #2 I UNITED STATES DECLARATION OF BRADLEY J. EDWARDS, ESQ. I. I, Bradley J. Edwards, Esq., do hereby declare that I am a member in good standing of the Bar of the State of Florida. Along with co-counsel, I have represented Jane Doe #1 and Jane Doe #2 in civil suits against Jeffrey Epstein for sexually abusing them. I have also represented other girls who were sexually abused by Epstein. As a result of that representation, I have become familiar with many aspects of the criminal investigation against Epstein and have reviewed discovery and correspondence connected with the criminal investigation. I have also spoken to Jane Doe #1 and Jane Doe #2 at length about the criminal investigation and their involvement in it, as well enforcement (or lack their of) of their rights as crime victims in the investigation. I also represent Jane Doe #1 and Jane Doe #2 in the pen

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DOJ Data Set 9OtherUnknown

From: Paul Cassell •ci

From: Paul Cassell •ci To: "IN (USAFLS)" ' Cc: , • (USAFLS)" USAFLS)" >, Brad Edwards Subject: RE: Judge Marra's Order Granting the Victims Motion to Compel Discovery Within 30 Days Date: Tue, 25 Jun 2013 00:46:56 +0000 Importance: Normal Attachments: ORDER-omnibus-wrapup.pdf [tried to send this earlier, but it may not have gone out] Dear We haven't seen the sealed order granting the Government's motion for stay either. (Have you?). But, in any event, Judge Marra's order on June 19, 2013 (DE 190) specifically stated that "The petitioners' motion to compel discovery from the Government [DE 130] is GRANTED. Within THIRTY (30) DAYS from the date of entry of this order, the Government shall . . . [produce various discovery]." For your convenience, I attach a copy of DE 190 ordering the Government to produce discovery within 30 days. So we are expecting to see you produce the bulk of our discovery on July 19, 2013, as specifically directed in DE 190 which granted our mo

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