Extraction Summary

8
People
4
Organizations
2
Locations
2
Events
3
Relationships
2
Quotes

Document Information

Type: Legal pleading (motion for extension of time)
File Size: 87.7 KB
Summary

This document is an unopposed motion filed on November 29, 2010, by Jeffrey Epstein's legal team requesting a 10-day extension to respond to two plaintiff motions regarding protective orders and evidence preservation. The motion states that the parties are currently in discussions to resolve the matters and that plaintiff's counsel, Gary Farmer, does not oppose the extension. The document lists M.J. as the plaintiff and Jeffrey Epstein and Sarah Kellen as defendants.

People (8)

Name Role Context
M.J. Plaintiff
Plaintiff in the civil case against Epstein and Kellen.
Jeffrey Epstein Defendant
Primary defendant requesting extension of time.
Sarah Kellen Defendant
Named as a co-defendant in the case caption.
Lilly Ann Sanchez Attorney
Counsel for Defendant Jeffrey Epstein; signer of the motion.
Christopher E. Knight Attorney
Counsel for Defendant Jeffrey Epstein.
Helaine S. Goodner Attorney
Counsel for Defendant Jeffrey Epstein.
Gary Farmer Attorney
Opposing counsel who advised that Plaintiff has no objection to the extension.
Bradley J. Edwards Attorney
Attorney for Plaintiff M.J., listed on the Service List.

Organizations (4)

Name Type Context
United States District Court, Southern District of Florida
Court where the case is filed.
Fowler White Burnett P.A.
Law firm representing Jeffrey Epstein.
Farmer, Jaffe, Weissing, Edwards Fistos & Lehrman, PL
Law firm representing Plaintiff M.J.
U.S. Attorney's Office
Mentioned in the title of a previous motion regarding correspondence.

Timeline (2 events)

2010-10-11
Plaintiff filed Motion for Protective Order (D.E. 16) and Motion for Preservation of Evidence (D.E. 17).
Southern District of Florida
2010-11-29
Filing of Defendant Jeffrey Epstein's Unopposed Motion for Extension of Time.
Southern District of Florida

Locations (2)

Location Context
Address for Fowler White Burnett P.A.
Address for Bradley J. Edwards / Farmer, Jaffe, Weissing, Edwards Fistos & Lehrman, PL.

Relationships (3)

Jeffrey Epstein Co-defendants Sarah Kellen
Listed together as Defendants in the case caption.
Lilly Ann Sanchez Attorney-Client Jeffrey Epstein
Signed as Counsel for Defendant Jeffrey Epstein.
Gary Farmer Attorney-Client M.J.
Identified as opposing counsel representing Plaintiff.

Key Quotes (2)

"The parties have recently been engaging in discussions to resolve the foregoing pending motions."
Source
025.pdf
Quote #1
"counsel for Defendant has conferred with opposing counsel, Gary Farmer, who has graciously advised that Plaintiff has no objection to the extension requested herein."
Source
025.pdf
Quote #2

Full Extracted Text

Complete text extracted from the document (3,984 characters)

Case 9:10-cv-81111-WPD Document 25 Entered on FLSD Docket 11/29/2010 Page 1 of 4
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF FLORIDA
Case No. 9:10-cv-81111-WPD
M.J.,
Plaintiff,
vs.
JEFFREY EPSTEIN and
SARAH KELLEN,
Defendant.
________________________________________/
DEFENDANT JEFFREY EPSTEIN'S UNOPPOSED MOTION FOR EXTENSION OF
TIME TO RESPOND TO PLAINTIFF'S MOTION FOR A PROTECTIVE ORDER
BARRING DIRECT OR INDIRECT CONTACT BY EPSTEIN AND MOTION FOR
PRESERVATION OF EVIDENCE RELATING TO CORRESPONDENCE WITH U.S.
ATTORNEY'S OFFICE
Defendant Jeffrey Epstein, by and through undersigned counsel, respectfully moves for a ten
(10) - day enlargement of time in which to respond to Plaintiff's Motion for a Protective Order
Barring Direct or Indirect Contact by Epstein (D.E. 16) and Motion for Preservation of Evidence
Relating to Correspondence with U.S. Attorney's Office (D.E. 17) and states as follows:
1. On October 11, 2010, Plaintiff filed a Motion for a Protective Order Barring Direct
or Indirect Contact by Epstein (D.E. 16) and a Motion for Preservation of Evidence Relating to
Correspondence with U.S. Attorney's Office (D.E. 17). Defendant's response to the foregoing
motions is presently due on November 29, 2010.
2. The parties have recently been engaging in discussions to resolve the foregoing
pending motions.
Case 9:10-cv-81111-WPD Document 25 Entered on FLSD Docket 11/29/2010 Page 2 of 4
Case No. 9:10-cv-81111-WPD
3. The parties require an additional ten (10) days in which to resolve all matters
pertaining to the pending motions.
4. In order to facilitate the resolution of the foregoing motions, and to avoid unnecessary
attorney's fees and utilization of judicial resources, Defendant respectfully requests that this Court
grant a 10-day enlargement of time for Defendant to respond to the above-listed motions.
5. Pursuant to Local Rule 7.1, counsel for Defendant has conferred with opposing
counsel, Gary Farmer, who has graciously advised that Plaintiff has no objection to the extension
requested herein.
6. This enlargement is sought for the reasons stated and will not prejudice any party.
WHEREFORE, Defendant Jeffrey Epstein respectfully requests that a 10-day enlargement
of time be granted and that the Court grant such other and further relief as deemed necessary and
proper.
Respectfully submitted,
s/Lilly Ann Sanchez
Lilly Ann Sanchez
Fla. Bar No. 195677
las@fowler-white.com
Christopher E. Knight
Fla. Bar No. 607363
cknight@fowler-white.com
Helaine S. Goodner
Fla. Bar No. 462111
hgoodner@fowler-white.com
FOWLER WHITE BURNETT P.A.
Espirito Santo Plaza, 14th Floor
1395 Brickell Avenue
Miami, Florida 33131-3302
Telephone: (305) 789-9200
Case 9:10-cv-81111-WPD Document 25 Entered on FLSD Docket 11/29/2010 Page 3 of 4
Case No. 9:10-cv-81111-WPD
Facsimile: (305) 789-9201
Counsel for Defendant Jeffrey Epstein
CERTIFICATE OF SERVICE
I hereby certify that on November 29, 2010, I electronically filed the foregoing document
with the Clerk of the Court using CM/ECF. I also certify that the foregoing document is being
served this day on all counsel of record or pro se parties identified on the attached Service List in the
manner specified, either via transmission of Notices of Electronic Filing generated by CM/ECF or
in some other authorized manner for those counsel or parties who are not authorized to receive
electronically Notices of Electronic Filing.
s/Lilly Ann Sanchez
Lilly Ann Sanchez
Fla. Bar No. 195677
-3-
Case 9:10-cv-81111-WPD Document 25 Entered on FLSD Docket 11/29/2010 Page 4 of 4
Case No. 9:10-cv-81111-WPD
SERVICE LIST
M.J. v. Epstein
Case No. 9:10-cv-81111-WPD
United States District Court, Southern District of Florida
Bradley J. Edwards
brad@pathtojustice.com
Farmer, Jaffe, Weissing, Edwards
Fistos & Lehrman, PL
425 North Andrews Avenue, Suite 2
Fort Lauderdale, Florida 33301
Telephone: (954) 524-2820
Facsimile: (954) 524-2822
Attorneys for Plaintiff M.J.
Served via CM/ECF
-4-

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