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efta-efta01200012DOJ Data Set 9Other

IN THE CIRCUIT COURT OF THE

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DOJ Data Set 9
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efta-efta01200012
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IN THE CIRCUIT COURT OF THE FIFTEENTH JUDICIAL CIRCUIT, IN AND FOR PALM BEACH COUNTY, FLORIDA CASE NO.: 502009CA040800XXXXMBAG JEFFREY EPSTEIN, Plaintiff(s), VS. SCOTT ROTHSTEIN, individually, BRADLEY J. EDWARDS, individually, and L.M., individually, Defendant(s). MOTION TO STAY PROCEEDINGS PENDING COMPLETION OF ADDITIONAL DISCOVERY Counter-Plaintiff, BRADLEY J. EDWARDS, moves this Honorable Court for entry of an order staying further proceedings with respect to JEFFREY EPSTEIN'S Motion for Attorney's Fees and Costs, and in support thereof would show: 1. EPSTEIN seeks to recover fees and costs against BRADLEY EDWARDS pursuant to a Proposal for Settlement that offered a payment of $300,000 to BRADLEY EDWARDS in exchange for a dismissal and release of EDWARDS' claims for compensatory and punitive damages against EPSTEIN and EDWARDS' acceptance of a prohibition on EDWARDS, is attorneys, and agents "that they shall not in any method or manner discuss, publish, or disseminate as information concerning the settlement..." The confidentiality clause sought to be imposed by EPSTEIN on EDWARDS, his attorneys and agents also broadly sought to prohibit disclosure of "the reasons for the payment." EFTA01200012 EDWARDS ADV. EPSTEIN Case No.: S02009CA040800XXXXMBAG Motion to Stay Proceedings Pending Completion of Additional Discovery 2. As EPSTEIN has correctly observed, "EDWARDS proffered two arguments to support his assertion that EPSTEIN'S Proposal was invalid: to wit: "[t]he Proposal is invalid because EPSTEIN failed to explain material terms of the confidentiality clause, and its implications; and EPSTEIN cannot prove he has beaten or even equaled his Proposal." EDWARDS' Opposition pp. 5-6 as quoted in EPSTEIN'S Memorandum of Law Regarding Ethical Issues...at pg. 2. 3. At the hearing on this matter on December 6, 2014, EDWARDS' counsel focused attention on one of the troubling "implications" of EPSTEIN'S confidentiality prohibition—the restriction imposed on EDWARDS' ability to communicate all of the details of his settlement with EPSTEIN to multiple clients on whose behalf he was actively litigating a Federal Crime Victims Rights Act proceeding directly challenging the validity of EPSTEIN'S deal with federal prosecutors which, if successful, has the potential of subjecting both EPSTEIN and his associates to multiple federal felony charges. 4. The other primary argument presented on EDWARDS' behalf related to the unestablished value of confidentiality to EPSTEIN. It is with regard to this second argument that recent public disclosures have demonstrated the need to further discovery and require a stay of the resolution of the pending motion to allow for completion of that discovery. 5. On Friday, December 19, 2014, a report appeared in the public media alerting EDWARDS and his counsel for the first time of a substantial financial commitment made by EPSTEIN in an apparent effort to lessen the severe injuries to his public image suffered as a 2 EFTA01200013 EDWARDS MW. EPSTEIN Case No.: 502009CA040800XXXXMBAG Motion to Stay Proceedings Pending Completion of Additional Discovery consequence of the focus of international attention on his criminal conduct. (See Exhibit #1 attached). 6. How much time, effort and money EPSTEIN spent and committed to spend on public relations efforts is clearly relevant and material to the value he placed on BRADLEY EDWARDS' silence. If EDWARDS is able to demonstrate that EPSTEIN expended hundreds of thousands of dollars in money and services to combat adverse publicity, that information is probative of the value he himself placed on avoiding that publicity entirely by gagging BRADLEY EDWARDS. 7. Accordingly, BRADLEY EDWARDS seeks the opportunity to depose JEFFREY EPSTEIN regarding his public image-related expenditures and to obtain documentary evidence relevant to such expenditures. 8. Considering the pendency of the appeal on the underlying summary judgment issued in favor of EPSTEIN (Appellate Brief attached as Exhibit #2), EPSTEIN will suffer no harm by virtue of the requested stay. WHEREFORE, BRADLEY EDWARDS requests a stay of further briefing and hearings with regard to EPSTEIN'S Motion for Fees and Costs to permit the discovery described herein. Assuming EPSTEIN'S cooperation in the process of setting his deposition and responding to discovery requests, a stay of 60 days is expected to be adequate. 3 EFTA01200014 to all Counsel on the attached list, this EDWARDS ADV. EPSTEIN Case No.: 502009CA040800XXXXMBAC Motion to Stay Proceedings Pending Completion of Additional Discovery I HEREBY CERTIFY that a true and correct copy of the foregoing was sent via E-Serve \IMO( ola ar No.: 169440 y E-Mail(s): [email protected] and p®searcylaw.corn imary E-Mail: _scarolateamOsParcylaw.com Searcy Denney Scarola Barnhart & Shipley, P.A. 2139 Palm Beach Lakes Boulevard West Palm Beach, Florida 33409 Phone: (561) 686-6300 Fax: (561) 383-9451 Attorneys for EDWARDS 201 4 EFTA01200015 EDWARDS ADV. EPSTEIN Case No.: 502009CA040800XXXXM RAC Motion to Stay Proceedings Pending Completion of Additional Discovery COUNSEL LIST Marc S. Nurik, Esquire [email protected] One E Broward Blvd., Suite 700 Fort Lauderdale, FL 33301 Phone: (954)-745-5849 Fax: (954)-745-3556 Attorneys for Scott Rothstein William Chester Brewer, Esquire [email protected]; wcbcg®aol.com 250 S Australian Avenue, Suite 1400 West Palm Beach, FL 33401 Phone: (561)-655-4777 Fax: (561)-835-8691 Attorneys for Jeffrey Epstein Jack A. Goldberger, Esquire jgoldberger®agwpa.com; smahoney(gagwpa.com Atterbury Goldberger & Weiss, P.A. 250 Australian Avenue S, Suite 1400 West Palm Beach, FL 33401 Phone: (561)-659-8300 Fax: (561)-835-8691 Attorneys for Jeffrey Epstein John R. Beranek, Esquire jberanek®ausley.com; csullivan®ausley.com Ausley & McMullen 123 South Calhoun Street Tallahassee, FL 32301 Phone: (850)-224-9115 Fax: (850)-222-7560 Attorneys for Jeffrey Epstein 5 Andrew A. Harris, Esquire aah®FLAppellateLaw.com; jew®FLAppellateLaw.com; Burlington & Rockenbach 444 W Railroad Avenue, Suite 430 West Palm Beach, FL 33401 Phone: (561)-721-0400 Fax: (561)-721-0465 Attorneys for Bradley Edwards Bradley J. Edwards, Esquire staftefile®pathtojustice.com Farmer Jaffe Weissing Edwards Fistos 425 North Andrews Avenue, Suite 2 Fort Lauderdale, FL 33301 Phone: (954)-524-2820 Fax: (954)-524-2822 Fred Haddad, Esquire [email protected]; [email protected] Fred Haddad, P.A. One Financial Plaza, Suite 2612 Fort Lauderdale, FL 33394 Phone: (954)-467-6767 Fax: (954)467-3599 Attorneys for Jeffrey Epstein Tonja Haddad Coleman, Esquire [email protected]; efiling®tonjahaddad.com Tonja Haddad, P.A. 315 SE 7th Street, Suite 301 Fort Lauderdale, FL 33301 Phone: (954)467-1223 Fax: (954)-337-3716 Attorneys for Jeffrey Epstein EFTA01200016 WEST PALM BEACH — Multi-millionaire sex offender Jeffrey Epstein is suing a Los Angeles public relations agency in a West Palm Beach court over the firm's attempt to collect $155,000 from him. It's yet another Gossip Extra scoop: Palm Beacher Epstein, 61, who was convicted of soliciting underage girls from the area's poorer suburbs for prostitution, claims in court papers here he wasn't served properly the judgment won by Sitrick & Co. in a previous Los Angeles court action. It seems that the Wall Street prodigy Epstein hired Sitrick to clean up the public relations mess he created when he and Brit Prince Andrew were photographed together in Central Park in 2011 in NYC. The London press went berserk when it found out Andrew hung out with a man forced to register as a sex offender in 2008 for his sexual hijinx with underage girls in his Palm Beach dungeon! In suing Sitrick, Epstein now claims he doesn't live at 358 El Brillo Way in Palm Beach where a process-server dropped the papers, but in the U.S. Virgin Islands. We checked. And while Palm Beach property records show the $8 million-house on El Brillo is still owned by Epstein, the state's sexual offender tracking system shows Epstein indeed is in his home in St. Thomas, V.I. Michele Dargan Staff Writer Palm Beach Daily News Palm Beach Daily News COXMEI - 30* GROUP Palm Ono EXHIBIT #1 EFTA01200017

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Email addresses, URLs, phone numbers, and other technical indicators extracted from this document.

Domainagwpa.com
Domainausley.com
Domainflappellatelaw.com
Domaingagwpa.com
Domainpathtojustice.com
FaxFax: (561) 383-9451
FaxFax: (561)-721-0465
FaxFax: (561)-835-8691
FaxFax: (850)-222-7560
FaxFax: (954)-337-3716
FaxFax: (954)-524-2822
FaxFax: (954)-745-3556
FaxFax: (954)467-3599
Phone(561) 383-9451
Phone(561) 686-6300
Phone(561)-655-4777
Phone(561)-659-8300
Phone(561)-721-0400
Phone(561)-721-0465
Phone(561)-835-8691
Phone(850)-222-7560
Phone(850)-224-9115
Phone(954)-337-3716
Phone(954)-467-6767
Phone(954)-524-2820
Phone(954)-524-2822
Phone(954)-745-3556
Phone(954)-745-5849
Phone(954)467-1223
Phone(954)467-3599

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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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