Case File
efta-efta01112732DOJ Data Set 9OtherIN THE CIRCUIT COURT OF THE FIFTEENTH
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Unknown
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DOJ Data Set 9
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efta-efta01112732
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12
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0
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IN THE CIRCUIT COURT OF THE FIFTEENTH
JUDICIAL CIRCUIT, IN AND FOR PALM
BEACH COUNTY, FLORIDA
Case No. 50 2009CA040800XXXXMB AG
JEFFREY EPSTEIN
Plaintiff.
v.
SCOTT ROTHSTEIN, individually,
BRADLEY J. EDirDS,
individually, and
, individually,
Defendants.
LI oi WI 9I Ha DIU
MOTION TO STRIKE AFFIDAVIT OF SCOTT ROTHSTEIN
Plaintiff, JEFFREY EPSTEIN ("Epstein"), move to strike the affidavit of
Defendant, Scott Rothstein filed in support of his Motion to Set Aside Default, and
states:
1.
Epstein filed the Instant action against Rothstein and others on December
9, 2009.
2.
Rothstein was the former Chairman and CEO of the now defunct taw firm,
Rothstein, Rosenfeldt & Adler, P.A. ("RRA"). Rothstein Was indicted and pled guilty to
five counts including racketeering, money laundering and fraud related to a massive
Ponzi scheme he conducted through RRA.
3.
On December 14, 2009, Rothstein was served with the summons and
Complaint in this action.
4.
On December 31, 2009, Epstein filed a Motion for Default due to
Rothstein's failure to respond to the Complaint.
5.
A default was entered by the Clerk on January 21, 2010.
EFTA01112732
6.
Rothstein filed a Motion to Set Aside Default on February 17, 2010.
7.
On March 8, 2010, Rothstein filed an affidavit in support of his Motion to
Set Aside Default (attached as Exhibit A).
8.
On March 9, 2010, a hearing was conducted on Rothstein's Motion to Set
Aside Default and the Court deferred ruling so the parties could conduct discovery
related to the motion (3/9/10 Order attached as Exhibit B).
9.
The Court re-set the hearing on Rothstein's Motion to Set Aside Default
for April 30, 2010.
10.
Epstein set the deposition of Rothstein to occur on April 15, 2010 (notice
attached as Exhibit C).
11.
On April 9, 2010, Mark Nurik, counsel for Rothstein, wrote the
undersigned essentially stating that he could not produce Rothstein for deposition
because he is detained in the Federal Bureau of Prisons (correspondence attached as
Exhibit D).
12.
Mr. Nurik directed the undersigned to coordinate Rothstein's deposition
with U.S. Attorney Paul Schwartz. As Rothstein's counsel, Mr. Nurik is in a far better
position to work with Mr. Schwartz to produce Rothstein for deposition. Indeed. Mr.
Nurik was able to provide Rothstein with his affidavit and obtain his notarized signature
despite his detention in prison.
13.
On the other hand, Epstein's counsel has contacted U.S. Attorney
Schwartz via letter and telephone to attempt to coordinate Rothstein's deposition, but to
no avail.
2
EFTA01112733
14.
Since it appears that Epstein will not have the opportunity to depose
Rothstein relative to his affidavit prior to the April 30, 2010 hearing, Epstein requests the
Court strike said affidavit.
15.
It would be inequitable to permit Rothstein to rely on his self-serving
affidavit without Epstein having the ability to question Rothstein relative to same.
16.
The Court specifically deferred ruling on the Motion to Set Aside Default
so the parties could "conduct discovery relative to this motion." See Exhibit B.
17.
Epstein, through no fault of his own, has been prohibited from conducting
said discovery. The Court should not consider Rothstein's affidavit in a vaccum in
determining Rothstein's Motion to Set Aside Default and therefore requests the Court
strike said affidavit.
18.
In Jordan v. Statement Farm Ins. Co., 515 So. 2d 1317, 1319 (Fla. 2d
DCA 1987), the court struck plaintiffs affidavit in opposition to defendant's summary
judgment. The Second District Court of Appeals concluded that "it [was] evident that
the statements in the affidavit contradict the testimony in deposition and ( I the trial court
was correct in striking the affidavit."
19.
Here, Epstein does not even have the opportunity to elicit testimony from
Rothstein relative to his affidavit. Admission of the affidavit "is a matter within the sound
discretion of the court? See West Town Plaza Associates. Ltd, v. Pines Properties, inc.,
600 So. 2d 477, 478-79 (Fla. 4th DCA 1992); Scott v. NCNB Nat'l Bank of Fla. 489 So.
2d 221, 223 (Fla. 2d DCA 1986).
20.
For the foregoing reasons, the Court should strike Rothstein's affidavit.
3
EFTA01112734
WHEREFORE, Defendant, JEFFREY EPSTEIN, respectfully requests the Court
strike the affidavit of Defendant, SCOTT ROTHSTEIN, in support of his Motion to Set
Aside Default and grant any additional relief the Court deems just and proper.
Certificate of Service
I HEREBY CERTIFY that a true copy of the foregoing was sent by fax and U.S.
Mail to the following addressees on this 15th day of April , 2010:
Gary M. Farmer, Jr., Esq.
Farmer, Jaffe, Weissing, Edwards, Fistos
& Lehrman, PL
425 N. Andrews Avenue, Suite 2
Fort Lauderdale, FL 33301
fax
Attorneys for Defendant,.
Jack Scarola, Esq.
Searcy
Denney
Scarola
Barnhart
Shipley, P.A
2139 Palm Beach Lakes Blvd.
West Palm Beach, FL 33409
F
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
Law Offices of Marc S: Nurik
& Counsel to Scott Rothstein
One East Broward Boulevard, Suite 700
Fort Lauderdale, FL 33301
Attorneys for Defendant Bradley Edwards
BURMAN, CRITTON, LUTT1ER & COLEMAN, LLP
303 Banyan Boulevard
Suite 400
West Palm Beac FL 33401
By:
R
D. Critton, Jr.
lorida Bar #224162
Michael J. Pike
Florida Bar #617296
David A. Yarema
Florida Bar #12492
(Counsel for Defendant Jeffrey Epstein)
4
EFTA01112735
IN THE CIRCUIT COURT OF THE FIFTEENTH
JUDICIAL CIRCUIT IN AND FOR PALM
BEACH COUNTY, FLORIDA
CASE NO.: 2009 CA 040800 XXXXMB
HONORABLE JUDGE DAVID F. CROW
JEFFREY EPSTEIN,
Plaintiff,
vs.
SCOTT ROTHSTEIN, BRADLEY
J. EDWARDS, and LM,
Defendants.
AFFIDAVIT OF SCOTT W. ROTHSTEIN
IN SUPPORT OF MOTION TO SET ASIDE DEFAULT
STATE OF FLORIDA
) ss.:
COUNTY OF
Before me, the undersigned authority, personally appeared, SCOTT W. ROTHSTEIN,
who after being by me first duly sworn, on oath, deposes and states as follows:
1.
I am a Defendant in the above-captioned matter.
2.
I did not respond to the Sununons and Complaint in this lawsuit because I did not
have knowledge of its existence until February, 2010. In February 2010, I learned that this
lawsuit was filed against me and that a default judgment had been entered against me for failure
to respond.
3.
From December 1, 2009 until March I, 2010, I was detained at the Federal
Detention Center in Miami, Florida'.
On March 1, 2010,1 was transferred to the Port St. Lucie jail.
FTL:1661522:1
EXHIBITA_
EFTA01112736
4.
During that time frame I was pulled out of my cell many times by the Bureau of
Prisons staff to receive service of lawsuits at all hours.
5.
Inasmuch as the Bureau of Prisons rules and regulations do not allow a prisoner to
hand any documents to any visitors, including counsel, upon service of various lawsuits, I simply
informed my attorney who would then look up the case with the appropriate court and contact
the attorney for the plaintiff(s) in such cases and/or take whatever appropriate action was
necessary.
6.
To the best of my knowledge and belief, I do not recall being served with this
lawsuit. If I was properly served with this lawsuit, it has been misplaced within the pile of
numerous lawsuits and voluminous amount of other legal papers and has not been located. Even
to date, I have not located the Complaint or Plaintiff's Motion for Default.2
7.
I state in good faith that if I had actual knowledge of this lawsuit I would have
advised my attorney as I have done with various other lawsuits currently pending against me.
8.
As soon as I learned of the lawsuit, I immediately contacted my attorney and
advised him of same which prompted the filing of my Motion to Set Aside Default and this
Affidavit in Support thereof.
9.
I have a viable defense to the allegations contained in the Plaintiff, Jeffrey
Epstein's ("Plaintiff' or "Epstein"), Complaint. Without providing a detailed response to the
Complaint herein, just one of many meritorious defenses to the Complaint is that at least one, if
not more, of the lawsuits against Plaintiff which he references as the basis of this instant lawsuit
(the "Civil Actions"), was filed with the court on behalf of certain clients by a defendant herein,
Bradley Edwards ("Edwards"), prior to his employment as an attorney at the law firm Rothstein
Roscnfeldt Adler ("RRA"). The fact that Edwards, prior to his employment with RRA, and prior
I Since learning of this lawsuit, my attorney obtained a copy of the Complaint
2
EFTA01112737
to our introductions with one another, already had client(s) suing Epstein in Civil Actions, goes
against several counts in the Complaint, including, but not limited to, the RICO count. In fact,
the Civil Actions filed by Edwards and/or other attorneys at RRA were and are real cases, with
real plaintiffs that have real claims against Epstein and, this instant lawsuit is Plaintiff's feeble
attempt to take advantage of my unfortunate circumstances to disqualify claims by real persons
that deserve to have their day in court.
10.
I respectfully submit that if the Court were to disallow my Motion to Set Aside
Default, not only would I be extremely prejudiced inasmuch as I have viable defenses to the
allegations contained in Plaintiff's Complaint, but the plaintiffs in the Civil Actions that Edwards
and others at RRA filed against Epstein which he references in his Complaint in this matter
would be prejudiced as well. A default entered against me in this matter would have the same
effect as my admission to the assertions made by Plaintiff which would, in essence, allow
Epstein to prevail against the plaintiffs in the Civil Actions on the basis that they are frivolous
and fraudulent lawsuits, which they arc not.
Under penalties of perjury, I declare that I have read the foregoing affidavit and the facts
stated in it arc true.
3
EFTA01112738
STATE OF FLORIDA
51-K-u(42. etm.1O
)ss.:
BEFORE ME the undersigned authority, personally appeared SCOTT W. ROTHSTEIN,
who after being by me first duly sworn on oath deposes and says that he is the Defendant in the
above-styled cause; that he has read the foregoing Affidavit and the facts contained herein are
true and correct.
SWORN TO AND SUBSCRIBED before me this SLIS day of lived,
,
2010, by SCOTT W. ROTHSTEIN, who is personally known to me or who has produced
%Lucie. SC
:53°A I,Qas identification.
TARY PUBLIC
Typed or Printed N
of
Notary Public
My commission expires:
NOTARY PlIBIJCSIATE OF FLORIDA
Patrick B. Hogan
Commission PDD910543
Expires: SSP. 25,2013
noilionnnto MIMIC ammo co,ntc.
4
EFTA01112739
IN THE CIRCUIT COURT OF THE
FIFTEENTH JUDICIAL CIRCUIT, IN
AND FOR PALM BEACH COUNTY,
FLORIDA
JEFFREY EPSTEIN
Complex Litigation, Ha. R. Clv. Pro.1201
Plaintiff,
v.
SCOTT ROTHSTEIN, Individually,
BRADLEY J. EDIEDS,
individually, and
., Individually,
Defendants..
Case No. 50 2009CA040800)OOO(MB AO
ORDER ON DEFENDANT SCOTT ROTHSTEIN'S MOTION TO SET ASIDE DEFAULT
THIS CAUSE came before the‘Court on Defendant Scott Rothstein's Motion to
Set Aside Default, and the Court having heard argument of counsel and being fully
advised in these premises, it is hereby
ORDERED and ADJUDGED that said Defendant's Motion is hereby -granted?'
_denied--
tly
inA.,
10,4•1/h4
i
2 CA.
/..../)(64-4-2
A
. 10/4.7/1°) (Le.
6/efaer. "74
<'bb: de",
4/ mop-Aty
n • 241
4e.- -7L 0077 en
DONE AND ORDERED at Palm Beach County-Colrthouse, Vjfgst P,hIm Beach,
Florida, this
•
day of ‘--Malf.-•
, 2010 (
David F. Crow
Circuit Judge
Copied furnished to:
ROBERT D. CRITTON, JR., ESQ., Burman, Crilton, Lustier & Coleman, 303 Banyan Boulevard, Suite
400, West Palm Beach, FL 33401, MARC S. NURIK, ESQ., Law Offices of Mark S. Nurik,
One East Broward Boulevard, Suite 700, Fort Lauderdale, FL 33301, GARY N. FARMER,
JR., ESQ., Farmer, Jaffe, Weissing, Edwards, Fistos & Lehrman, PL. 425 N. Andrews Avenue, Suite 2,
Fort Lauderdale, FL 33301, JACK SCAROLA, ESQ., Searcy Denney Scarola Barnhart & Shipley, P.A.
2139 Palm Beach Lakes Blvd., West Palm Beach, FL 33409, and JACK ALAN GOLDBERGER, ESQ.,
Atterbury Gokfberger & Weiss, P.A., 250 Australian Avenue South, Suite 1400, West Palm Beach, FL
33401.5012
EXHi.911-13
4
EFTA01112740
IN
THE CIRCUIT
COURT
OF
THE
FIFTEENTH JUDICIAL CIRCUIT, IN AND
FOR PALM BEACH COUNTY, FLORIDA
JEFFREY EPSTEIN
Plaintiff,
v.
SCOTT ROTHSTEIN,
Individually,
BRADLEY J. ED
DS,
individually, and
,
Individually,
Defendants.
/
Complex Litigation, Fla. R. Civ. Pro.1201
Case No. 50 2009CA040800XXXXMB AG
NOTICE OF TAKING VIDEO DEPOSITION
To:
See Service List below
PLEASE TAKE NOTICE that the undersigned attorney will take the deposition
via video of:
DEPONENT
DATE & TIME
LOCATION OF DEPOSITION
Scott Rothstein
c/o Marc S. Nurik, Esq..
Law Offices of Marc S. Nurik
One East Broward Boulevard
Suite 700
Fort Lauderdale, FL 33301
April 15, 2010
10:00 a.m.
Prose Court Reporting
250 Australian Avenue South
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.
Certificate of Service
I HEREBY CERTIFY that a true copy of the foregoing was sent by fax and U.S.
Mail to the following addressees on this L 71\-day of
2010:
EFTA01112741
Epstein v. Rothstein, et al.
Page 2
Marc S. Nurik, Esq..
Law Offices of Marc S. Nurik
One East Broward Boulevard
Suite 700
Port Lauderdale, FL 33301
Fax
Attorneys for Defendant Scott Rothstein
Jack Scarola, Esq.
Searcy Denney Scarola
Barnhart &
Shipley, P.A
2139 Palm Beach Lakes Blvd.
West Palm Beach, FL 33409
F
Attorneys for Defendant Bradley Edwards
Gary M. Farmer, Jr., Esq.
Farmer, Jaffe, Welssing, Edwards, Flstos
& Lehrman, PL
425 N. Andrews Avenue, Suite 2
Fort Lauderdale, FL 33301
- Fax
Attorneys for Defendant,.
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
BURMAN, CRITTON, LUTTIER & COLEMAN, LLP
303 Banyan Boulevard
Suite 400
West Palm Beach, FL 33401
By:
R
rt D. C tton, Jr.
Florida Bar #224162
Michael J. Pike
Florida Bar #617296
(Counsel for Defendant Jeffrey Epstein)
F
cc:
Prose Court Reporting which will also provide Videographer service
EFTA01112742
Marc S. Nlitik
Admitted la Procnet
north and Nor 144
MIS
Zak
Offeeti y ee*See
91: 96
'1h
One East Broward Boulevard
Suite 700
Fon Lauderdale, FL 33301
Phone
Fax
April 9,2010
BY EMAIL & U.S. MAIL
Robert D. Critton. Jr., Esq.
Burman, Critton, Luther & Coleman, LLP
303 Banyan Boulevard, Suite 400
West Palm Beach, FL 33401
Re:
Enstein v. Rothstein, et al
Case No. 50 2009CA040800XXXXMB AG
Dear Mr. Critton:
Of Oottnith
)late E. Gonzalez
mokuJ to 1).mlit4
Reath and Nut York
I am in receipt of your letter and Notice dated April 5, 2010 scheduling the deposition of my
client, Scott Rothstein, for April IS, 2010 in connection with the issues associated with our Motion to Set
Aside the Default.
Please be advised that as my client is currently pre-trial detained in the Federal Bureau of Prisons
system, I have no control over, or ability to, arrange for his appearance at any particular location.
Furthermore, duo to the unique circumstances of my client's incarceration, 1 suggest that any
effort on your part to schedule my client's testimony in connection with the Motion to Set Aside the
Default be directed to the United States Marshal's Service with a copy to me. lit an effort to be as helpful
as possible, I suggest that you try to contact Assistant United States Attorney Paul Schwartz (954-356-
7255) for further direction.
Please be advised that at the present time, any questions relating to the subject matter of my
client's criminal case will result in my client invoking his 5th Amendment privilege.
Please contact me if you have any other questions concerning this matter.
LiK-437,
EFTA01112743
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View in Artifacts BrowserEmail addresses, URLs, phone numbers, and other technical indicators extracted from this document.
Phone
401-5012Phone
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referencesRelated Documents (6)
DOJ Data Set 9OtherUnknown
IN THE CIRCUIT COURT OF THE FIFTEENTH
45p
DOJ Data Set 8CorrespondenceUnknown
EFTA00020703
0p
DOJ Data Set 9OtherUnknown
07/29/2011 14:05 FAX 5616845816
9p
Court UnsealedSep 9, 2019
Epstein Depositions
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
839p
DOJ Data Set 9OtherUnknown
JEFFREY EPSTEIN,
14p
DOJ Data Set 11OtherUnknown
EFTA02450811
3p
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