017-17.pdf
289 KB
Extraction Summary
8
People
4
Organizations
4
Locations
2
Events
2
Relationships
4
Quotes
Document Information
Type:
Legal motion (motion for leave/protective order)
File Size:
289 KB
Summary
This document is a Motion for Protective Order filed on June 30, 2010, by Jeffrey Epstein's defense team in the civil case Jane Doe v. Jeffrey Epstein. Epstein seeks permission to redact specific portions of his tax returns regarding investment vehicles, claiming they contain trade secrets and confidential business information. The motion argues that Plaintiff's counsel, Brad Edwards, has a history of sharing discovery material with media and investigators, specifically citing an instance involving Alfredo Rodriguez's journal.
People (8)
| Name | Role | Context |
|---|---|---|
| Jeffrey Epstein | Defendant |
Filing motion to redact tax records; seeking protection for trade secrets.
|
| Jane Doe | Plaintiff |
Opposing party in the civil suit.
|
| Brad Edwards | Attorney for Plaintiff |
Accused by defense of providing Alfredo Rodriguez's journal to investigators; noted for responding to media inquiries.
|
| Alfredo Rodriguez | Mentioned Person |
Source of a journal/book that Edwards allegedly provided to investigators.
|
| Robert D. Critton, Jr. | Attorney for Defendant |
Signatory on the motion; represents Epstein.
|
| Michael J. Pike | Attorney for Defendant |
Listed on signature block.
|
| Paul G. Cassell | Attorney for Plaintiff |
Co-counsel admitted Pro Hac Vice.
|
| Jack Alan Goldberger | Attorney for Defendant |
Co-counsel for Epstein.
|
Timeline (2 events)
2010-02-04
Court entered order (DE 462) requiring Epstein to produce tax returns and passport.
US District Court Southern District of Florida
Jeffrey Epstein
Court
2010-06-30
Deadline for Epstein to comply with discovery order DE 572.
US District Court Southern District of Florida
Locations (4)
Relationships (2)
Motion states Edwards provided Rodriguez's journal/book to investigators.
Critton is listed as Attorney for Defendant Epstein.
Key Quotes (4)
"Plaintiff's counsel here, and in other cases, has always been quick to respond to media inquiries."Source
017-17.pdf
Quote #1
"Mr. Edwards admittedly has provided the journal and/or book secured from Alfredo Rodriguez to his investigators "who are now following-up [alleged] significant discovery leads found in the book.""Source
017-17.pdf
Quote #2
"The commercially sensitive and trade secret information contained in the tax returns could result in irreparable harm to Epstein if disseminated, and thus should be protected."Source
017-17.pdf
Quote #3
"Defendant expects that the information contained therein will be afforded that same protection."Source
017-17.pdf
Quote #4
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