Case File
efta-efta00723300DOJ Data Set 9OtherJ. MICHAEL BURMAN. RA."
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Unknown
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DOJ Data Set 9
Reference
efta-efta00723300
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2
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0
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J. MICHAEL BURMAN. RA."
GREGORY W. COLEMAN. PA
ROBERT D. CRI770N. JP-. PA '
BERNARD A. LEBEDEKER
MARK T. LW-DM PA.
JEFFREY C PEPIN
MICHAEL J. PIKE
HEATHER MCNAMARA RUDA
DAVID A. YAREMA
'FLORIDA WARD CERTIFIED CIVIL TRIAL LAWYER
2ADMITTED TO PRACTICE IN FLORIDA AND COLORADO
Sent By E-mail Only
Jeffrey Epstein
Re:
B.B. v. Epstein
Dear Jeffrey:
BURMAN. CRITTON
LUTT1ER &COLEMAN, LLP
YOUR
TRUSTED
ADVOCATES
A LIMITED LIABILITY PARTNERSHIP
December 11, 2009
ADELQVI J. SENAVENTE
PARALEGAL/INVESTIGATOR
JESSICA CADWELL
BOBBIE M. MCKENNA
ASHLIE STOKEN- BARING
BETTY STOKES
PARALEGALS
RITA H. BUDNYK
OF COuNSIL
EDWARD M. RICCI
fat =TR
I know Connie sent you Mr. Kuvin's December 4, 2009 letter and his Motion for
Sanctions pursuant to §57.105 Fla. Stat. directed to you and my law firm. The
applicable statute allows for sanctions to a prevailing party to the extent any claim or
defense made during the course of the civil proceeding or action is determined by the
court to be not supported by the material facts necessary to support the claim or
defense or not be supported by the application of then existing law to those facts.
I believe the motion would not have been filed unless we believed there was a
good faith belief for its filing against Mr. Kuvin. As well, I am not certain that the motion
which we filed would be deemed to be a "claim or defense" which would be governed by
a §57.105 Fla. Stat.
However, I want you to understand the risk. I do not intend to do the research,
unless you direct me to do so, as to whether or not a motion falls within the claim or
defense language of the statute.
If you wish us to withdraw the motion which we filed directed to Mr. Kuvin, we will
do so. Let me know before Christmas day, otherwise the motion will stand.
RDC/clz
cc:
Jack Goldberger, Esq.
Darren Indyke, Esq.
Michael J. Pike, Esq.
Cordially yours,
41164 (1/49 . &AK k
Robert D. Calton, Jr. (
303
BANYAN BOULEVARD • SUITE 400
•
WEST PALM BEACH. FL 33401
•
PHONE: 561.842-2820
•
FAX: 561-844-6929
•
WWW.BCLCLAW.COM
EFTA00723300
J. MICHAEL BURMAN. PA"
GREGORY W. COLEMAN. PA
ROBERT D. CRITTON. JR.. PA'
BERNARD A. LUSEDEKER
MARK T. LIMIER. PA
JEFFREY C. PENN
MICHAEL J. PIKE
HEATHER MCNAMARA RUDA
DAVID A. YARCMA
'FLORIDA BOARD MIMED CIVIL TIDAL LAWYER
2ADMITTED TO PRACTICE IN FLORIDA AND COLORADO
BURMAN. CRITTON
LUTTIER&COLEMAN.Lu>
YOUR TRUSTED
ADVOCATES
A LIMITED LIABILITY PARTNERSHIP
December 11, 2009
Sent by Fax and U.S. Mail
John G. White, Ill, Esq.
Richman Greer Weil Brumbaugh Mirabito & Christensen
250 Australian Avenue, South, Suite 1504
West Palm Beach, FL 33401
Re:
Special Master Fee Dispute Hearing between
Jeffrey Epstein and the Podhurst Orseck Firm
ADELQW J. BENAVENTE
PARALEGAL/INVESTIGATOR.
JESSICA CADWELL
BOBBIE M. MCKENNA
ASHLIE STOKEN-BARING
BETTY STOKES
PARALEGALS
RJTA H. BUDNYK
Of COUNSEL
EDWARD M. RICO
SPECIAL CONSUMER
JUSTICE COUNSEL
Dear Jay:
As per our conversation approximately four to six weeks ago, you agreed to
serve as a fee expert in the above-styled matter. Our firm will be responsible for your
fee.
Initially, Sid Stubbs was going to be the special master, but we are working on
someone new. Sid decided that he had a conflict in that the Town of Palm Beach is
involved in some of the discovery issues
I will keep you advised.
At the current time, I am having a spreadsheet prepared for the approximately $2
million worth of fees that Bob Josefsberg and his firm were seeking from Epstein. The
spreadsheet should be of great assistance in attempting to determine reasonable value
of the services rendered.
Cordially yours,
4 0/-tur LC.
Robert D. Critton, Jr.
RDC/clz
303 BANYAN BOULEVARD • SUITE 4O0 • WEST PALM BEACH. FL 33401 • PHONE:
AX: 561-8446929 • MAIL
WWVV. BC LCLAW.COM
EFTA00723301
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Domain
lclaw.comDomain
www.bclclaw.comFax
FAX: 561-844-6929Phone
561-844-6929Phone
561-8446929Phone
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