041.pdf

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Extraction Summary

11
People
8
Organizations
4
Locations
6
Events
3
Relationships
4
Quotes

Document Information

Type: Legal motion (motion to make court records confidential)
File Size: 116 KB
Summary

This document is a 'Motion to Make Court Records Confidential' filed by Jeffrey Epstein's attorneys on June 11, 2009, in the Circuit Court of Palm Beach County. The defense seeks to maintain the seal on the Non-Prosecution Agreement (filed July 2008) and its Addendum, citing threats to the administration of justice and privacy rights of third parties. The motion references interventions by the Palm Beach Post and a non-party identified as 'EW' (whose name is redacted in one section) seeking access to these records.

People (11)

Name Role Context
Jeffrey Epstein Defendant
Subject of the criminal case and the motion to keep records confidential.
Jack A. Goldberger Attorney
Attorney for Jeffrey Epstein; signed the motion. Firm: Atterbury, Goldberger & Weiss, P.A.
Deborah Dale Pucillo Judge
Honorable Judge who presided over the June 30, 2008 hearing and ordered documents sealed.
EW Non-Party
Filed a Motion to Vacate Order Sealing Records on May 15, 2009.
R. Alexander Acosta U.S. Attorney
Recipient of the Certificate of Service. Southern District.
Judith Stevenson Areo Attorney
Recipient of the Certificate of Service. State Attorney's Office.
William J. Berger Attorney
Recipient of the Certificate of Service. Firm: Rothstein Rosenfeldt Adler.
Bradley J. Edwards Attorney
Recipient of the Certificate of Service. Firm: Rothstein Rosenfeldt Adler.
Deanna K. Shullman Attorney
Recipient of the Certificate of Service.
Robert D. Critton Attorney
Attorney for Defendant; signed the Certificate of Service. Firm: Burman, Critton, Luttier & Coleman.
Charlene A. Griffith Notary Public
Notarized the document on June 11, 2009.

Organizations (8)

Name Type Context
Circuit Court of the Fifteenth Judicial Circuit
Court where the case is being heard (Palm Beach County, Florida).
State of Florida
Plaintiff in the case.
Palm Beach Post
Non-party organization that filed a Motion to Intervene and Petition for Access.
United States Attorney's Office
Southern District, recipient of service.
State Attorney's Office
West Palm Beach, recipient of service.
Rothstein Rosenfeldt Adler
Law firm representing William J. Berger and Bradley J. Edwards.
Burman, Critton, Luttier & Coleman
Law firm representing the Defendant.
Atterbury, Goldberger & Weiss, P.A.
Law firm representing the Defendant.

Timeline (6 events)

2008-06-30
Hearing where documents were ordered sealed.
Palm Beach County Court
Judge Deborah Dale Pucillo
2008-07-02
Non-Prosecution Agreement filed under seal in the court file.
Palm Beach County Court
2008-08-25
Addendum to the Non-Prosecution Agreement filed under seal.
Palm Beach County Court
2009-05-15
Motion to Vacate Order Sealing Records filed by Non-Party EW.
Palm Beach County Court
EW
2009-06-01
Motion to Intervene and Petition for Access filed by Palm Beach Post.
Palm Beach County Court
2009-06-10
Court granted intervention to Non-Party (Redacted/EW) and Palm Beach Post.
Palm Beach County Court

Locations (4)

Location Context
Jurisdiction of the court.
Location of attorneys' offices and court.
Location of Rothstein Rosenfeldt Adler law firm.
Location of Deanna K. Shullman.

Relationships (3)

Jeffrey Epstein Attorney-Client Jack A. Goldberger
Motion states 'Defendant, JEFFREY EPSTEIN, by and through his undersigned attorney's' and is signed by Goldberger.
Jeffrey Epstein Attorney-Client Robert D. Critton
Critton signed the Certificate of Service as attorney for the defendant.
R. Alexander Acosta Legal Adversary/Prosecutor Jeffrey Epstein
Acosta is served as U.S. Attorney regarding the Epstein case.

Key Quotes (4)

"Defendant moves this Honorable Court to enter an Order keeping the above referenced records confidential, and maintaining them under seal."
Source
041.pdf
Quote #1
"To prevent a serious imminent threat to the fair, impartial, and orderly administration of justice."
Source
041.pdf
Quote #2
"To avoid substantial injury to innocent third parties."
Source
041.pdf
Quote #3
"To avoid substantial injury to a party by disclosure of matters protected by a common law and privacy right"
Source
041.pdf
Quote #4

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