Extraction Summary

13
People
5
Organizations
2
Locations
4
Events
6
Relationships
2
Quotes

Document Information

Type: Legal correspondence / court filing
File Size: 343 KB
Summary

This document is a letter dated January 10, 2020, from attorney Bradley J. Edwards to Magistrate Judge Debra C. Freeman regarding five specific cases involving 'Doe' plaintiffs against Darren K. Indyke and other Epstein-related entities. Edwards informs the court that while discussions with the Epstein Victims' Compensation Program are productive, his clients do not wish to stay their lawsuits. The letter also outlines an agreed-upon discovery schedule with the Estate's counsel, Mr. Moskowitz.

People (13)

Name Role Context
Bradley J. Edwards Attorney
Author of the letter, representing the Plaintiffs, partner at Edwards Pottinger LLC
Debra C. Freeman Magistrate Judge
Recipient of the letter
Darren K. Indyke Defendant
Named defendant in multiple lawsuits listed in the 'Re:' section, executor of Epstein Estate
Mr. Moskowitz Attorney
Likely representing the Estate/Defendants, working with plaintiffs on discovery schedule
VE Plaintiff
Plaintiff in case 19-cv-07625
Katlyn Doe Plaintiff
Plaintiff in case 19-cv-07771
Pricilla Doe Plaintiff
Plaintiff in case 19-cv-07772
Lisa Doe Plaintiff
Plaintiff in case 19-cv-07773
Anastasia Doe Plaintiff
Plaintiff in case 19-cv-11869
Seth M. Lehrman Attorney
Listed on letterhead
Brittany N. Henderson Attorney
Listed on letterhead
Matthew D. Weissing Attorney
Listed on letterhead
J. Stanley Pottinger Attorney
Listed on letterhead

Organizations (5)

Name Type Context
Edwards Pottinger LLC
Law firm filing the document
Epstein Victims’ Compensation Program
Program discussed regarding alternative resolution for victims
Nine East 71st Street et al.
Defendant entity listed in case caption
United States District Court (S.D.N.Y.)
Court where cases are filed
The Estate
Referring to the Estate of Jeffrey Epstein

Timeline (4 events)

2019-11-21
Case Management Conference
United States Courthouse
2020-01-23
Deadline for initial disclosures
N/A
Plaintiffs The Estate
2020-01-30
Deadline to exchange proposed discovery plans
N/A
Parties
2020-02-06
Deadline to jointly submit proposed discovery plan
N/A
Parties Judge Freeman

Locations (2)

Location Context
Edwards Pottinger Florida Office address
Address of Daniel Patrick Moynihan United States Courthouse

Relationships (6)

Bradley J. Edwards Legal Representation VE
We represent the five Plaintiffs referenced above
Bradley J. Edwards Legal Representation Katlyn Doe
We represent the five Plaintiffs referenced above
Bradley J. Edwards Legal Representation Pricilla Doe
We represent the five Plaintiffs referenced above
Bradley J. Edwards Legal Representation Lisa Doe
We represent the five Plaintiffs referenced above
Bradley J. Edwards Legal Representation Anastasia Doe
We represent the five Plaintiffs referenced above
Darren K. Indyke Executor/Administrator Jeffrey Epstein Estate
Implied by being named defendant in place of Epstein and context of 'The Estate' mentioned in text

Key Quotes (2)

"in our view, it remains important to every aspect of the process that our cases are not stayed and that they proceed accordingly."
Source
051.pdf
Quote #1
"those who have filed lawsuits do not wish to delay the expeditious litigation of their claims."
Source
051.pdf
Quote #2

Full Extracted Text

Complete text extracted from the document (2,412 characters)

Case 1:19-cv-07625-AJN-DCF Document 51 Filed 01/10/20 Page 1 of 1
EDWARDS
POTTINGER LLC
Florida Office
Bradley J. Edwards *◊ⱡ
Seth M. Lehrman *†
Brittany N. Henderson *◊
Matthew D. Weissing *ⱡ
425 North Andrews Avenue
Suite 2
Fort Lauderdale, FL 33301
_________________________
Telephone (954)524-2820
Fax (954)524-2822
New York Office
J. Stanley Pottinger ‡
† Admitted in California
◊ Admitted in District of Columbia
* Admitted in Florida
‡ Admitted in New York
ⱡ Board Certified Civil Trial Lawyer
January 10, 2020
FILED VIA ECF
Magistrate Judge Debra C. Freeman
Daniel Patrick Moynihan
United States Courthouse
500 Pearl St., New York, NY 10007
Re: VE v. Nine East 71st Street et al., No. 19-cv-07625 (S.D.N.Y.) (Nathan, J.)
Katlyn Doe v. Darren K. Indyke et al., No. 19-cv-07771 (S.D.N.Y.) (Castel, J.)
Pricilla Doe v. Darren K. Indyke et al., No. 19-cv-07772 (S.D.N.Y.) (Carter, J.)
Lisa Doe v. Darren K. Indyke et al., No. 19-cv-07773 (S.D.N.Y.) (Ramos, J.)
Anastasia Doe v. Darren K. Indyke, et al., No. 19-cv-11869 (S.D.N.Y.) (Nathan, J.)
Dear Judge Freeman:
We represent the five Plaintiffs referenced above whose cases have all been assigned to Your Honor. While we agree with Defendants’ assertion that our discussions with the designers and administrator of the Epstein Victims’ Compensation Program have been positive and productive, in our view, it remains important to every aspect of the process that our cases are not stayed and that they proceed accordingly.
As we explained during the Case Management Conference that was held on November 21, 2019, our clients have varying views of the process, and while each will maintain an open mind about potential alternative resolution, those who have filed lawsuits do not wish to delay the expeditious litigation of their claims.
We have and will continue to work with Mr. Moskowitz to ensure that we arrive at as many agreements as possible. Consequently, we agree with the following discovery schedule as proposed in his report: Plaintiffs and the Estate will make initial disclosures by January 23, 2020; the Parties will exchange proposed discovery plans by January 30, 2020; and the Parties will jointly submit to Your Honor a proposed discovery plan by February 6, 2020.
Respectfully Submitted,
[Signature]
Bradley J. Edwards
425 North Andrews Avenue, Suite 2, Fort Lauderdale, Florida 33301
954.524.2820 office 954.524.2822 fax

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