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efta-efta00730286DOJ Data Set 9Other

UNITED STATES DISTRICT COURT

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DOJ Data Set 9
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efta-efta00730286
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4
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EFTA Disclosure
Text extracted via OCR from the original document. May contain errors from the scanning process.
UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE NO.: 08-CIV- 80893 - MARRA/JOHNSON JANE DOE, Plaintiff, v. JEFFREY EPSTEIN, Defendants. / Joint Stipulation Of Mootness Regarding Plaintiff's Emergency Motion For Hearing Finding That Epstein Is In Civil Contempt Of The Court's Two Orders Forbidding Harassment And Indirect Contact, For Appropriate Sanctions, And Additional Remedies Including Referral For Criminal Contempt Plaintiff, JANE DOE and Defendant, JEFFREY EPSTEIN ("Epstein"), hereby file their Joint Stipulation of Mootness Regarding Plaintiff's Emergency Motion for Hearing Finding That Epstein Is In Civil Contempt of the Court's Two Orders Forbidding Harassment And Indirect Contact, For Appropriate Sanctions, And Additional Remedies Including Referral for Criminal Contempt (the "Motion for Contempt"), and each state: I. On July 2, 2010, Plaintiff filed the Motion for Contempt and an associated Motion to file same under seal. (DE ) 2. The parties have resolved the above lawsuit. 3. Plaintiff's counsel has been advised that the investigator was hired by Defense Counsel and was supervised by Defense Counsel. 4. Defense counsel hired the investigators following the exchange that occurred at the June 12, 2009 hearing on Defendant's Motion to Stay the cases. See Composite Exhibit EFTA00730286 "A" at pages 26-30 & 33-34. For instance, the court asked Plaintiffs' attorneys the following questions: The Court: [] So again, I just want to make sure that if the cases go forward and if Mr. Epstein defends the case as someone ordinarily would defend a case being prosecuted against him or her, that that in and of itself is not going to cause him to be subject to criminal prosecution? *** The Court: You agree he should be able to take the ordinary steps that a defendant in a civil action can take and not be concerned about having to be prosecuted? *** The Court: Okay. But again, you're in agreement with everyone else so far that's spoken on behalf of a plaintiff that defending the case in the normal course of conducting discovery and filing motions would not be a breach? Mr. Horowitz — counsel for Jane Does 2-7: Subject to your rulings, of course, yes. *** The Court: But you're not taking the position that other than possibly doing something in litigation which is any other discovery, motion practice, investigations that someone would ordinarily do in the course of defending a civil case would constitute a violation of the agreement? (Ex. "A," p.34). Ms. Villafana: No, your honor. I mean, civil litigation is civil litigation, and being able to take discovery is part of what civil litigation is all about.... But. . . , Mr. Epstein is entitled to take the deposition of a Plaintiff and to subpoena records, etc. 5. Putting aside certain fact disputes between the Plaintiff, defendant and their respective investigators to what occurred, both parties agree the issues are moot and warrant no further action. Accordingly, the Motion for Contempt should be deemed moot and an order should be entered withdrawing same on that basis. WHEREFORE, Plaintiff and Defendant requests that the Court enter and order finding the above Motion for Contempt as moot, and grant any additional relief the Court deems just and proper. Respectfully submitted, 2 EFTA00730287 By: Is/ Robert D. Critton, Jr. ROBERT D. CRITTON, JR., ESQ. Florida Bar No. 224162 Certificate of Service I HEREBY CERTIFY that a true copy of the foregoing was electronically filed with the Clerk of the Court using CM/ECF. I also certify that the foregoing document is being served this day on all counsel of record identified on the following service list in the manner specified via transmission of Notices of Electronic Filing generated by CMIECF on this day of July, 2010: Brad Edwards, Esq. Farmer, Jaffe, Weissing, Edwards, Fistos & Lehrman, PL 425 N. Andrews Ave. Suite #2 Fort Lauderdale, FL 33301 Paul G. Cassell, Esq. Pro Hac Vice 332 South 1400 E, Room 101 Salt Lake City, UT 84112 o-counse or am Jack Alan Goldberger, Esq. Atterbury Goldberger & Weiss, P.A. 250 Australian Avenue South Suite 1400 West Palm Beach, FL 33401-5012 Co-Counsel for Defendant Jeffrey Epstein By: Is/ Robert D. Critton, Jr. ROBERT D. CRITTON, JR., ESQ. Florida Bar No. 224162 MICHAEL J. PIKE, ESQ. Florida Bar #617296 BURMAN, CRITTON, LUTHER & COLEMAN, LLP 303 Banyan Boulevard, Suite 400 West Palm Beach, FL 33401 3 EFTA00730288 (Co-Counsel for Defendant Jeffrey Epstein) 4 EFTA00730289

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