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efta-efta00807546DOJ Data Set 9Other

IN THE DISTRICT COURT OF APPEAL OF THE STATE OF FLORIDA

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Unknown
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DOJ Data Set 9
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efta-efta00807546
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6
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EFTA Disclosure
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IN THE DISTRICT COURT OF APPEAL OF THE STATE OF FLORIDA FOURTH DISTRICT CASE NO. 4D18-0762 JEFFREY EPSTEIN, RECEIVED, 3/13/2018 5:06 PM, Clerk, Fourth District Court of Appeal Petitioner, -VS- SCOTT ROTHSTEIN, individually, BRADLEY J. EDWARDS, individually, and L.M., E.W., and JANE DOE, Intervenors. Respondents / VERIFIED MOTION FOR ADMISSION TO APPEAR PRO HAC VICE PURSUANT TO FLORIDA RULE OF JUDICIAL ADMINISTRATION 2.510 Intervenor/respondents L.M., E.W., and Jane Doe (hereinafter "the victims"), by and through its undersigned counsel, hereby moves this Honorable Court to allow Paul G. Cassell ("Movant") to appear as counsel for the victims in this Epstein v. Edwards case and represents the following: 1. Movant resides in Salt Lake City, Utah. 2. Movant is an attorney and employed as a professor of law at the S.J. Quinney College of Law at the University of Utah. As permitted by University of EFTA00807546 Utah regulations, Movant undertakes some private representations as well as pro bono representations. 3. Movant has been retained personally to, in conjunction with other attorneys, provide legal representation to three child sexual assault victims of Jeffrey Epstein, who will be referred to pseudonymously as L.M., E.W., and Jane Doe in connection with various Epstein- related litigation, including Jane Doe v. Epstein, No. 9:08-cv-80893-Marra/Johnson (S.D. Fla.); Jane Doe 1 & 2. v. United States, No. 9:08-cv-80736-KAM (S.D. Fla.)). Movant has been Admitted pro hac vice in both of the above-described cases and worked with other Florida attorneys in providing this representation. Movant has also been admitted pro hac vice in the proceedings below. 4. Movant is an active member in good standing and currently eligible to practice law in Utah (bar number 6078). 5. There are no disciplinary proceedings against Movant. 6. Within the past five years, Movant has not been subject to any disciplinary proceedings. 7. Movant has never been subject to any suspension proceedings. 8. Movant has never been subject to any disbarment proceedings. 2 EFTA00807547 9. Movant, either by registration, withdrawal, or otherwise, never has terminated or attempted to terminate Movant's office as an attorney in order to avoid administrative, disciplinary, disbarment, or suspension proceedings. 10. In the last five years, Movant has filed a motion to appear as counsel in Florida state courts in the proceedings below and in Edwards v. Dershowitz, Case NO.: CACE 15-000072 (Circuit Ct. of the nth Judicial Circuit in and for Broward County, Florida) (motion granted). 11. Movant is not an inactive member of The Florida Bar. 12. Movant is not now and has never been a member of The Florida Bar. 13. Movant is not a suspended member of The Florida Bar. 14. Movant is not a disbarred member of The Florida Bar nor has Movant received a disciplinary resignation from The Florida Bar. 15. Movant has not previously been disciplined or held in contempt by reason of misconduct committed while engaged in representation pursuant to Florida Rule of Judicial Administration 2.510. 16. Local counsel of record associated with Movant in this matter is Attorney Jay Howell, a member of the Florida Bar who has represented L.M., E.W., and Jane Doe, and maintains his practice in Jacksonville, Florida. 3 EFTA00807548 17. Movant has read the applicable provisions of Florida Rule of Judicial Administration 2.510 and Rule 1-3.10 of the Rules Regulating The Florida Bar and certifies that this verified motion complies with those rules. 18. Movant agrees to comply with the provisions of the Florida Rules of Professional Conduct and consents to the jurisdiction of the courts and the Bar of the State of Florida. WHEREFORE, Movant respectfully requests permission to appear in this court for the Epstein v. Edwards case. DATED this 13th day of March, 2018 Is/ Paul G. Cassell PAUL G. CASSELL S.J. Quinney College of Law at the University of Utah 383 S. University St. Salt Lake City, UT 84112 (801) 585-5202' [email protected] Utah Bar #6078 I This daytime business address is provided for contact purposes only and is not intended to imply institutional endorsement by the University of Utah. 4 EFTA00807549 CERTIFICATE OF LOCAL COUNSEL I hereby consent to be associated as local counsel of record in this cause pursuant to Florida Rule of Judicial Administration 2.510. DATED this 13ih day of March, 2018. JA HOWELL Jay Howell & Assoc' tes Florida Bar No.: 225657 Attorney E-Mail(s): 644 Cesery Blvd. #250 32211 5 EFTA00807550 CERTIFICATE OF E-FILING AND SERVICE Counsel hereby certify that this Motion to Appear Pro Hac Vice has been e- filed and a true copy of the foregoing was furnished by mail to The Honorable Donald W. Hafele, 205 N. Dixie Highway, Room 10.1216, West Palm Beach, FL 33401, and to all • unsel on the attached service list, by email, on March 13, 2018. By JAY L Jay Howell & Associates Florida Bar No.: 225657 Attorney E-Mail(s) 644 Cesery Blvd. #250 Jacksonville, FL 32211 6 EFTA00807551

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Case #9:08-CV-80736-KAM
Case #9:08-CV-80893
Phone(801) 585-5202

Related Documents (6)

DOJ Data Set 9OtherUnknown

Case 9:08-cv-80736-KAM Document 291-15 Entered on FLSD Docket 01/21/2015 Page 1 of

Case 9:08-cv-80736-KAM Document 291-15 Entered on FLSD Docket 01/21/2015 Page 1 of 40 EXHIBIT 16 EFTA00081180 Case 9:08-cv-807m091349pept Z91-15 _EriterM ocp WERocisstifolf/E15 Page 2 of roio-< uoc 16q0,3 e 0 EXHIBIT C Epstein vs. Edwards Undisputed Statement of Facts EFTA00081181 Case 9:08-cv-807ailaVs kigsyffigt 28415-c1p6Arger phri N 7NRocieatgfe)10/§815 Page 3 of IN THE CIRCUIT COURT OF THE 15TH JUDICIAL CIRCUIT IN AND FOR PALM BEACH COUNTY, FLORIDA Case No.: 50 2009 CA 040800XXXKMBAG JEFFREY EPSTEIN, Plaintiff, VS. SCOTT ROTHSTEIN, individually, and BRADLEY I EDWARDS, individually, Defendants, STATEMENT OF UNDISPUTED FACTS Defendant Bradley J. Edwards, Esq., offers the following specific facts as the undisputed material facts in this case. Each of the following facts is numbered separately and individually to facilitate Epstein's required compliance with Fla. R. Civ. P. 1.510(c) ("The adverse party shall identify . . . any summary judgment evidence on wh

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10. 11. 12. l3. 14. 16. 17. l8. 19. Jeffrey Epstein v. Bradley J. Edwards, et Case No.: 50 2009 CA Attachments to Statement of Undisputed Facts Deposition of Jeffrey Epstein taken March 17, 2010 Deposition of Jane Doe taken March 11, 2010 (Pages 379, 380, 527, 564?67, 568) Deposition of LM. taken September 24, 2009 (Pages 73, 74, 164, 141, 605, 416) Deposition ofE.W. taken May 6, 2010 (1 15, 1.16, 255, 205, 215?216) Deposition of Jane Doe #4 (32-34, 136) Deposition of Jeffrey Eps

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