054.pdf

24.5 KB
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Extraction Summary

6
People
7
Organizations
3
Locations
3
Events
4
Relationships
3
Quotes

Document Information

Type: Legal filing (joint proposed discovery schedule)
File Size: 24.5 KB
Summary

This document is a Joint Proposed Discovery Schedule filed on February 6, 2020, in the case of VE v. Indyke et al. It outlines the agreed-upon timeline for the exchange of evidence, including initial disclosures, medical records, and expert reports. The filing identifies the key subjects of discovery as Epstein's alleged torts against the plaintiff, the liability of the corporate defendants, and the plaintiff's damages.

People (6)

Name Role Context
VE Plaintiff
Plaintiff in the civil suit against the Epstein Estate.
Darren K. Indyke Defendant
Joint Personal Representative/Co-Executor of the Estate of Jeffrey E. Epstein.
Richard D. Kahn Defendant
Joint Personal Representative/Co-Executor of the Estate of Jeffrey E. Epstein.
Jeffrey E. Epstein Deceased
Mentioned regarding his estate and alleged torts committed against the Plaintiff.
Brad Edwards Attorney
Attorney for Plaintiff, Edwards Pottinger LLC.
Bennet J. Moskowitz Attorney
Attorney for Defendants, Troutman Sanders LLP.

Timeline (3 events)

2020-01-14
Court Order issued
SDNY
Court
2020-01-23
Plaintiff and Co-Executors served initial disclosures
New York
Plaintiff Co-Executors
2020-02-06
Filing of Joint Proposed Discovery Schedule
New York, New York

Locations (3)

Location Context
Jurisdiction
Address for Edwards Pottinger LLC
Address for Troutman Sanders LLP

Relationships (4)

VE Accuser/Accused Jeffrey E. Epstein
Reference to 'Mr. Epstein’s alleged torts committed against Plaintiff'
Described as 'Co-Executors of the Estate of Jeffrey E. Epstein'
Described as 'Co-Executors of the Estate of Jeffrey E. Epstein'
Brad Edwards Legal Counsel VE
Signed as 'Attorney for Plaintiff'

Key Quotes (3)

"discovery may be needed on the following subjects: (1) Mr. Epstein’s alleged torts committed against Plaintiff; (2) the alleged liability of any Corporate Defendant for the alleged acts of Mr. Epstein; and (3) Plaintiff’s alleged damages."
Source
054.pdf
Quote #1
"Plaintiff shall provide HIPAA-compliant medical records release authorizations to Defendants"
Source
054.pdf
Quote #2
"Defendants will provide Plaintiff with a standard, proposed electronically stored information (“ESI”) protocol"
Source
054.pdf
Quote #3

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