CASE NO. 502008CA028058XXXXMB AB
E.W.,
Plaintiff,
v.
Defendant.
EPSTEIN'S MOTION TO COMPEL DEPOSITION OF EW AND FOR SANCTIONS
Defendant, JEFFREY EPSTEIN ("Epstein"), moves for an order compelling
Plaintiff, E.W. ("EW"), to appear for deposition, moves for sanctions, and states:
1.
EW's deposition was originally set for deposition on September 11, 2009
(Notice attached as Exhibit A). Epstein agreed to re-set her deposition to November 5
and 6, 2010 (Notice attached as Exhibit B) since her counsel, Brad Edwards, was
scheduled for surgery on or around September 11, 2009.
2.
The November 5 and 6, 2010 depositions were unilaterally cancelled by
EW's counsel because of the implosion of the Rothstein, Rosenfeldt & Adler firm. See
November 2, 2009 e-mail from Jacquie Johnson attached as Exhibit C.
3.
On March 9, 2010, Epstein again served a Notice of Taking Video
Deposition of EW to occur on April 2, 2010 (Notice attached as Exhibit D). On all
occasions, the deposition dates were coordinated and confirmed with opposing counsel.
4.
Despite assurances from her counsel on April 1, 2010 that she would be
attending, EW failed to appear for her deposition on April 2, 2010 (Certificate of Non-
Appearance attached as Exhibit E).
EFTA01103285
5.
Brad Edwards, counsel for EW, explained on the record that he arranged
to pick EW up for her deposition at a pre-arranged location the morning of April 2, 2010.
See Exhibit D at 3-4. However, when Mr. Edwards arrived at said location EW was not
there. Id.
6.
Mr. Edwards attempted to contact EW "on many occasions this morning
by way of cellphone, and there is no, there has been no answer on the cellphone." Id.
at 4. Mr. Edwards also called a home phone number to no avail. Id.
7.
Mr. Edwards apparently learned, through an unidentified "friend" of EW,
that she had to attend to a health issue related to her mother. Id. at 4-5. Yet EW made
no attempt to contact Mr. Edwards and advise of any health issue; instead she again
ignored her deposition notice and failed to appear.
8.
In addition to being a plaintiff in the instant case, EW is also an important
witness in related federal companion cases, which are subject to fast approaching
discovery deadlines. Specifically, the discovery cutoff in Jane Doe v. Epstein, Case No.
08-80893-CV-MARRA/JOHNSON was recently extended to April 16, 2010. See DE
#473. EW is an important witness in the foregoing case as she was a close friend of
Jane Doe and possesses relevant information necessary for Epstein to defend the case.
The Court should therefore compel her attendance at deposition on or before April 16,
2010 (although Mr. Edwards has agreed to extend the discovery deadline and provide
another date when EW "may" actually appear).
9.
Because of the importance of obtaining EW's testimony in the related
federal matters, Epstein also requests the Court order that if EW fails to appear for
deposition on or before April 16, 2010 (or an agreed date with her attorney who is also
2
EFTA01103286
the attorney in the Jane Doe case referenced herein) that an order to show cause be
issued and a show cause hearing set. A proposed order is attached as Exhibit F.
10.
Moreover, EW's callous disregard for the Florida Rules of Civil Procedure
has caused Epstein to incur unnecessary attorney's fees by virtue of the undersigned
preparing for and attending the deposition. Epstein has also incurred unnecessary
court reporter and videographer costs, totaling $710.00 (invoices attached as composite
Exhibit 6).
11.
Rule 1.380(d), Florida Rules of Civil Procedure, provides in pertinent part:
If a party ... fails (1) to appear before the officer who is to
take the deposition after being served with a proper notice,
... the court in which the action is pending may take any
action authorized under paragraphs (A), (B), and (C) of
subdivision (b)(2) of this rule. ... Instead of any order or in
addition to it the court shall require the party failing to
act to pay the reasonable expenses caused by the
failure, which may include attorneys' fees....
(Emphasis added).
12.
Epstein requests the Court require EW to pay Epstein's counsel's
attorney's fees for attending her deposition on April 2, 2010, for preparing the instant
motion and attending hearing on same, and for the costs incurred due to her failure to
attend the April 2, 2010 deposition.' Epstein also requests an award of attorney's fees
for the time it will take to again prepare for EW's deposition, which will include the
review of hundreds, if not thousands, of pages of documents.
WHEREFORE, Defendant, JEFFREY EPSTEIN, requests the Court compel
Plaintiff, E.W., to attend her deposition on or before April 16, 2010 (or date agreed to by
If the Court grants Epstein's entitlement to attorney's fees, Epstein will supply the Court with an affidavit
attesting to the fees incurred and which Epstein is claiming.
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EFTA01103287
her counsel), provide for the issuance of an order to show cause in the event E.W. fails
to appear on or before April 16, 2010 (or the agreed upon date), award Epstein
attorney's fees and costs based on EW's failure to appear on April 2, 2010 and grant
any additional relief the Court deems just and proper.
I HEREBY CERTIFY that a true copy of the foregoing was sent by fax and U.S.
Mail to the following addressees on this 8th day of April, 2010:
Brad Edwards, Esq.
Farmer, Jaffe, Weissing, Edwards, Fistos
& Lehrman, PL
424 N. Andrews Avenue, Suite 2
Fort Lauderdale, FL 33301
- fax
Counse or am
Jay Howell, Esq.
Jay Howell & Associates, P.A.
644 Cesery Boulevard
Suite 250
Jacksonville, FL 32211
Phone
Fax
Co-counsel or Plaintiff
Jack Alan Goldberger, Esq.
Atterbury Goldberger & Weiss, P.A.
250 Australian Avenue South
Suite 1400
West Palm Beach, FL 33401-5012
Fax:
Co-Counsel for Defendant Jeffrey Epstein
303 Banyan Boulev
Suite 400
st Palm Bea
3401
By:
Robert D. C
Florida Ba #224162
Michael J. Pike
Florida Bar #617296
David A. Yarema
Florida Bar #12492
4
EFTA01103288
CIRCUIT,
IN AND
FOR
PALM
BEACH
COUNTY. FLORIDA
L.M.,
CASE NO. 502008CA028051/OOO{MB AD
Plaintiff,
v.
Defendant.
To:
See Service List below
PLEASE TAKE NOTICE that the undersigned attorney will take the deposition via video of:
DEPONENT
EW
do Brad Edwards, Esq.
Rothstein Rosenfeldt Adler
401 East Las Olas Boulevard
Suite 1650
Fort Lauderdale, FL 33301
PATE & TIME
Friday
September 11, 2009
10:00 a.m.
Burman Critton Luther & Coleman,
LLC
303 Banyan Boulevard
Suite 400
West Palm Beach, FL 33401
upon oral examination, before Prose Court Reporting Agency. Inc., a Notary Public, or any other officer
authorized by law to take depositions in the State of Florida. The oral examination is being taken for the
purpose of discovery, for use at trial, or for such other purposes as are permitted under the applicable
Statutes of Rules of Court.
I HEREBY CERTIFY that a true copy of the foregoing has been furnished by electronic mail
(e-mail) and U.S. Mail to the addresses listed on the below Service List this 91 th day of August, 2009.
303 Banyan Blvd., Suite 400
West Palm Beach, FL 3340
5611842-2820
BY:
ROBER
. CRITTON, JR., ESQ.
Florida ar No. 224162
Florida Bar. No. 617296
(Counsel for Defendant Jeffrey Epstein)
Courtesy copy: Prose Court Reporting Agency, Inc.
EXHIBIT k
EFTA01103289
L.M. v. Epstein
Page 2
L.M. v. Epstein
Service List
Brad Edwards, Esq.
Rothstein Rosenfeldt Adler
401 East Las Olas Boulevard
Suite 1650
Fort Lauderdale FL 33301
Phone:
Fax:
Counse
Jay Howell, Esq.
Jay Howell & Associates, P.A.
644 Cesery Boulevard
Suite 250
Jacksonville, FL 32211
Phone
Fax
Co-counsel for Plaintiff
Jack Alan Goldberger, Esq.
Atterbury Goldberger & Weiss, P.A.
250 Australian Avenue South
Suite 1400
West Palm Beach, FL 33401-5012
Fax:
Co• ounse orDefendant Jeffrey Epstein
EFTA01103290
1+O
CIRCUIT,
COUNTY, FLORIDA
E.W.,
CASE NO. 5020013CA028058,OOO(MB AD
Plaintiff,
v.
Defendant.
To:
See Service List below
PLEASE TAKE NOTICE that the undersigned attorney will take the deposition via video of:
DEPONENT
E.W.
do Brad Edwards, Esq.
Rothstein Roseofeldt Adler
401 East Las Olas Boulevard
Suite 1650
Fort Lauderdale, FL 33301
DATE & TIME
Thursday,
November 5, 2009
and Friday,
November 6, 2009
beginning at
10:00 a.m.
Prose Court Reporting
250 Australian Avenue S., Suite #1500
West Palm Beach, FL 33401
upon oral examination, before Prose Court Reporting Agency, Inc., a Notary Public, or any other officer
authorized by law to take depositions in the State of Florida. The oral examination is being taken for the
purpose of discovery, for use at trial, or for such other purposes as are permitted under the applicable Statutes
of Rules of Court.
I HEREBY CERTIFY that a true copy of the foregoing was sent by electronic mail (e-mail) and by
US Mail to the addresses listed on the below Service List on this 20th day of October 2009.
303 Banyan Blvd., Suite 400
West Palm Beac FL 33401
By:
obert D. Critton, Jr.
Florida Bar #224162
Michael J. Pike
Florida Bar #617296
(Counsel for Defendant Jeffrey Epstein)
EXHIBIT B
EFTA01103291
E.W. v. Epstein
Page 2
g.W. v. Epstein
Service List
Brad Edwards, Esq.
Brad F,dwards and Associates, LLC
2028 Harrison Street
Suite 202
Holl
d FL 33020
hone
ax
Counsel for Plaintiff
Jay Howell, Esq.
Jay Howell & Associates, P.A.
644 Cesay Boulevard
Suite 250
Jacksonville, FL 32211
hone
Fax
Co-counsel for Plaintiff
Jack Alan Goldberger, Esq.
Atterbury Goldberger & Weiss, P.A.
250 Australian Avenue South
Suite 1400
West Palm Beach. FL 33401-5012
Faxes
Co-Cotmsel for Defendant Jeffrey Epstein
EFTA01103292
Page 1 of 1
Jessica Cadwell
From:
Jacquie Johnso
Sent:
Monday, November 02, 2009 12:14 PM
To:
Jessica Cadwell; Connie Zaguirre
Due to certain circumstances at
RRA — we have no choic
But to cancel the deposition
of EW this week.
Jacquie Johnson
Legal Assistant to
Brad Edwards, Esq.
Partner
Rothstein Rosenfeldt Adler
401 East Las Olas Blvd.
Suite 1650
Fort Lauderdale FL 33301
Tele hone
Fa
EXHIBIT C
4/8/2010
EFTA01103293
COUNTY, FLORIDA
E.W.,
CASE NO. 502008CA028058XXVIMB AD
Plaintiff,
v.
Defendant.
To:
See Service List below
PLEASE TAKE NOTICE that the undersigned attorney will take the deposition via video of:
DEPONENT
DATE & TIME
E.W.
April 2, 2010 at
Prose Court Reporting
do Brad Edwards, Esq.
9:00 a.m.
250 Australian Avenue S.
Fanner, Jaffe, Weissing, Edwards,
Suite #1500
Fistos & Lehrman, P.L.
West Palm Beach, FL 33401
425 N. Andrews Avenue
Suite #2
Fort Lauderdale, FL 33301
upon oral examination, before Prose Court Reporting Agency, Inc., a Notary Public, or any other officer
authorized by law to take depositions in the State of Florida. The oral examination is being taken for the
purpose of discovery, for use at trial, or for such other purposes as are permitted under the applicable Statutes
of Rules of Court.
I HEREBY CERTIFY that a true copy of the foregoing was sent by electronic mail (e-mail) and by
US Mail to the addresses listed on the below Service List on this 9ib day of March. 2010.
BURMAN, CRTITON, urrnER & COLEMAN, LLP
303 Banyan Blvd., Suite 400
West P
, FL 3 01
11111Fax
By:
Robed D ritton, Jr.
Florida
#224162
Mic
J. Pike
Florida Bar #617296
(Counsel for Defendant Jeffrey Epstein)
EXHIBIfp
EFTA01103294
E.W. v. Epstein
Page 2
E.W. v. Epstein
Service List
Brad Edwards, Esq.
Fanner, Jaffe, Weissing, Edwards, Flstos &
Lehrman, P.L.
425 N. Andrews Avenue
Suite 2
Ft. Lauderdale, FL
Phone
Fax
Counse or
aitufff
Jay Howell, Esq.
Jay Howell & Associates, P.A.
644 Cesery Boulevard
Suite 250
Jacksonville, FL 32211
hone
Wor
ax
Co-counse
Plaintiff
Jack Alan Goldberger, Esq.
Atterbury Goldberger & Weiss, P.A.
250 Australian Avenue South
Suite 1400
West Palm Beach, FL 33401-5012
Fax:
Co-Counsel for Defendant Jeffrey Epstein
EFTA01103295
Page 1
IN THE CIRCUIT COURT OF THE 15M JUDICIAL CIRCUIT
CASE NO. 502008CA028058200CXMII AD
E.W.,
Plaintiff,
Decadent.
E.W.
Friday, April 2, 2010
9:20 • 9:22 a.m.
250 Australia Avenue South
Suite 1500
West Palm Beach, Florida 33401
Reported By:
Cynthia Hopkins, RPR, FM
Notary Public, State of Florida
Prose Court Reporting
JobNo. 1612
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Page 3
PROCEEDINGS
MR. CRITTON: All right. We're here for
the deposition of E.W. which was duly noticed
today for 9:O0. We continued with Mr. Edward's
office yesterday that the deposition was on.
He =Daunted they would be here at 9:00 for
the deposition.
He sent me some -- we had made a request
for his Answers to Interrogatories which were
due yesterday. They provided me their answers
and objections to I think it was the fourth set
of interrogatories. And I have been preparing
for nine years -- no, certainly for a couple of
days, but Mr. Edwards has just advised me she
probably, Ms. E.W. will probably not be here
today, but I will let him speak for himself.
MR. EDWARDS: Sure. Just so the record is
clear, I have had frequent and constant
communication with E.W. over the last month.
As recently as Wednesday she was in my office
for the pre-deposition conference, met for
several hours, was certainly intending on being
here, communications with E.W. as late as 8:00
last night where we made arrangements for her
Page 2
1
APPEARANCES:
2
On behalf of the Plaintiffs, LM., E.W. and
Jane Doe:
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425 North Andrews Avenue
Suite 2
6
Fort Lauderdale, Florida 33301
Phone: 954,524.2820
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On behalf of the Defendant, Jeffrey Epstein:
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303 Banyan Boulevard
Suite 400
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West Palm Beach, Florida 33401
Phone: 561.842.2820
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ALSO PRESENT
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Sascha Quiinby, Videographa
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Page 4
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to be at this deposition which included me
2
picking her up this morning.
3
I showed up to the location and she was
4
not, she was not there. The information that
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has been relayed to me in the last hour is that
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there was a health issue related to her mother
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last night that she had to attend to.
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I have attempted to contact E.W. on many
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occasions this morning by way of cellphone, and
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there is no, there has been no answer on the
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cellphone. And I have also made attempts to
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contact at another home phone where she has
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stayed recently, and there was no answer at
14
that phone as well.
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So, at this point in time all indications
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are that she will not be here for her
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deposition today.
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MR. CRITTON: Just for clarification,
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Brad, did you actually speak with someone? I
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mean, I know you spoke with E.W. last night
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She was going to come. And then have you, I
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thought you said you spoke with someone to try
23
to locate her.
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Do you want to disclose who that person
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is?
1 (Pages 1 to 4)
(561) 832-7500
(561) 832-7506
Electronically signed by cynthia hooking
bfd075ea-b36a-4201-a365-853c87821878
EFTA01103296
Page 5
MR. EDWARDS: Not at this time I don't.
2
If the court wants me to disclose, I will, but
3
it is a friend of E.W.'s who spoke with her
4
later last night than the time when I spoke to
5
her.
6
MR. CRITTON: Okay. Did you get any
7
inclination at that time that there was any
8
problem with family or friends?
9
MR. EDWARDS: At the time that I spoke
10
with E.W.?
11
MR. CRITTON: No, with the other person.
12
MR. EDWARDS: That conversation happened
13
within the last hour this morning.
14
MR. CRITTON: Okay. All right. We'll
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take a C.N.A., and I actually have been
16
preparing for this for a couple of days.
17
E.W. has a lot of information on her. She
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is obviously a key witness. She is an
19
important witness in a number of cases
20
including the Jane Doe case which discovery
21
ends on the 16th and Mr. Edwards and I have
22
worked out some extensions on that. We may
23
have to work out some others to our mutual
24
benefit so we can complete the deposition or
25
attempt to take Ms. E.W.'s deposition.
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Page 6
So, we'll take a C.N.A. and I will do what
I need to do in court. Thank you.
MR. EDWARDS: Agreed_
(The deposition was concluded.)
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Job #1612
Page 7
CERTIFICATE
I, Cynthia Hopkins, Registered Professional
Reporter and Florida Professional Reporter, State of
Florida at large, certify that I was authorized to
and did stenographically report the foregoing
proceedings and that the transcript is a true and
complete record of my stenographic notes.
Dated this 2nd day of April, 2010.
2 (Pages 5 to 7)
(561) 832-7500
(561) 832-7506
Electronically signed by synth's hopidnit t
bfd0Thea-b36a-4201-a368853087821878
EFTA01103297
Page 1
IN THE CIRCUIT COURT OP THE 15TH JUDICIAL CIRCLET
CASE NO. S0200SCA02005820000.03 AD
Plaintiff.
Defendant.
/
I, Cynthia Hopkins, Registered Professional
Reporter and Notary Public, State of Florida at
Large, was duly designated to lake the deposition of
the witness:
E.W.
I hereby certify that aforesaid witness did
not appear beton me between 900 a.m. and 9:30 a.m.
on the 2nd day of April, 2010. Present was
Robed D. Critton, Jr., Esquire, and Bradley J.
Edwards, Esquire.
Dated this 2nd day of Mail, 2010.
ttal ".:
AS
Hopkins,
Prose Court Reporting Agency. Inc,
West Palm Beach, Florida
1. (Page 1)
(561) 832-7500
(561) 832-7506
Electronically signed by cynthia hopkins
24032db3-ead8-484calfdcf14eb399692
EFTA01103298
IN
THE COURT OF
THE FIFTEENTH
E.W.,
CASE NO. 502008CA028058XXXXMB AB
Plaintiff,
v.
Defendant.
ORDER ON EPSTEIN'S MOTION TO COMPEL
THIS CAUSE came before the Court on Defendant Epstein's Motion to Compel
Deposition of EW and for Sanctions, and the Court having heard argument of counsel and being
fully advised in these premises, it is hereby
ORDERED and ADJUDGED that Defendant's Motion is GRANTED.
(1)
EW shall appear for deposition on or before
(2)
If EW fails to appear for deposition on or before
she is
commanded to appear before the undersigned on
2010 at
a.m.lp.m to
show cause why she should not be held in contempt of court for failing to appear for deposition.
(3)
Epstein is entitled to recover from EW $710.00 in costs for her failure to appear
at her properly noticed deposition on April 2, 2010.
(4)
Epstein is entitled to recover attorney's fees from EW due to her failure to attend
her properly noticed deposition on April 2, 2010 (amount to be determined at a future hearing).
DONE AND ORDERED at Palm Beach County Courthouse, West Palm Beach, Florida,
this
day of
2010.
Donald Hafele
Circuit Court Judge
Copies furnished:
ROBERT D. CRITTON, JR.. ESQ., and MICHAEL J. PIKE, ESQ., 303 Banyan Boulevard, Suite 400, West Palm Beach, FL 33401,
BRADLEY J. EDWARDS, ESQ., Farmer, Jaffe. Weissing, Edwards, Fistos & Lehrman, PL. 425 N. Andrews Avenue, Suite 2, Fort
Lauderdale, FL 33301, JAY HOWELL. ESQ., Jay Howell & Associates. PA, 644 Cesery Boulevard, Suite 250. Jacksonville, FL
32211, and JACK A. GOLDBERGER. ESQ.. Atterbury Goldberger & Weiss, PA, 250 Australian Avenue South, Suite 1400 West
Palm Beach, FL 33401-5012.
EXH{BIT F
EFTA01103299
INVOICE
I
PROSE I
coin UPORTING AGENCY, Bit
Robert Critton, ESquire
Burman, OBTOR Lutber & Colman, LIP
303 Banyan Boulevard, Suite 400
West Pam Beach, FL 33401
Invoice No.
Invoice Date
Job No.
5599
4/3/2010
1612
Job Date
Case No.
412/2010
902008CA028038)00C04BAF
Case Name
E.W. v Epstein
Payment Terms
Due upon receipt
Scheduled Deposition of EW.
Certification of Non-Appearance
110.00
110.00
Large Conference Room - 1 Hour
75.00
75.00
TOTAL DUE .> >
$185.00
We appreciate your business! Payment Is due upon receipt
Please contact us with any cares:ions: (561)832-75001
[email protected]
Tax ID: 26-3892897
Please *tack bottom pothon and return with payment.
Job No.
: 1612
BD ID
: 1-MAIN
Robert °Won, Esquire
Case No.
: 502008CA0280S8XXXAMB AF
Borman, Cntton, Luther & Coleman, LLP
Case Name
: E.W. v Epstein
303 Barryan BoulearO, Suite 400
West Palm Beath, Ft. 33401
Invoke NO.
5549
Invoice Date
:4/3/2010
Total Due
: $185.00
Remit To:
Prose Court Reporting Agency, Inc.
One aearlake Centre
250 S. Australian Ave., Suite 1500
West Palm Beach, FL 33401
carcutders Name: EXH!BIT
Card Number:
lryn oAM
Phone*:
Card Security Code:
Amount to Charge:
Certriolder's Signature.
EFTA01103300
VISUAL
Invoice
EVIDENCE
Box 6967
Went Pain'.
Fi 3Ws
ROBERT CRITTON
303 BANYAN BLVD
SUITE 400
WEST PALM BEACH, FL 33401
Date
Number
4/2/2010
29683
Terms
Due on receipt
Case / Reference; 7
E.W. vs EPSTEIN
Date
Services Rendered
(NY
Amount
4/2/2010
Tech Time - 1ST 2 Hours
1
275.00
Portable VideOwnlerencing System - 1/2 day
1
500.00
Discount PER M.D.
-250.00
r Adapting our services to meet your presentation needs.
Visit: www. visua /evidence. corn
d
TOTAL:
$525.00
Remit to:
P.O. Box 6967
West Palm Beach FL 33405
Tax ID #
Phone: (561) 655-2855
Fax: (561) 655.2896
[email protected]
EFTA01103301