Extraction Summary

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

Document Information

Type: Legal correspondence / court filing
File Size: 358 KB
Summary

This document is a letter from attorney Bradley J. Edwards to Judge Alison J. Nathan in the case of VE v. Nine East 71st Street, et al., dated November 12, 2019. Edwards opposes the Defendants' request for a two-week extension to respond to the complaint, arguing that they have already been granted a 45-day extension and that the upcoming Rule 26(f) conference should proceed. The letter notes that the Defendants' delay is related to a filing in the U.S. Virgin Islands regarding a 'claims resolution program' for the Estate of Jeffrey E. Epstein, which the Plaintiff argues should not halt the current litigation.

People (8)

Name Role Context
Bradley J. Edwards Attorney
Plaintiff's counsel, author of the letter, partner at Edwards Pottinger LLC.
Alison J. Nathan Judge
Recipient of the letter, presiding judge at United States Courthouse.
VE Plaintiff
The plaintiff in the case VE v. Nine East 71st Street, et al.
Jeffrey E. Epstein Deceased Subject
Mentioned in relation to his Estate and a 'claims resolution program' in the US Virgin Islands.
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 (New York Office).

Organizations (4)

Name Type Context
Edwards Pottinger LLC
Law firm representing the Plaintiff.
United States District Court
Southern District of New York (implied by Foley Square address).
Estate of Jeffrey E. Epstein
Mentioned as the subject of proceedings in the US Virgin Islands.
Nine East 71st Street
Defendant entity in the case caption.

Timeline (4 events)

2019-08-20
Plaintiff filed her complaint.
Court
VE
2019-09-10
Counsel for Defendants agreed to accept service of Plaintiff's complaint.
N/A
Counsel for Defendants
2019-11-15
Current deadline for Defendants to respond to complaint and deadline for Rule 26(f) conference.
N/A
Plaintiff Defendants
2019-12-06
Initial Pretrial Conference set to occur.
Court
Plaintiff Defendants Court

Locations (3)

Location Context
United States Courthouse address.
Edwards Pottinger LLC Florida office address.
Location of a court regarding the Estate of Jeffrey E. Epstein.

Relationships (2)

VE Attorney-Client Bradley J. Edwards
We represent Plaintiff VE in the above-captioned action.
Case caption implies Nine East 71st Street is a defendant; body mentions proceedings relating to the Estate of Jeffrey E. Epstein.

Key Quotes (4)

"Plaintiff does not believe that the use of any alternative dispute resolution mechanism should stay or modify the course of litigation in this matter."
Source
028.pdf
Quote #1
"Defendants represented to Plaintiff that the need for further extension arises from Defendants’ intent to file a pleading in a Court in the United States Virgin Islands relating to the Estate of Jeffrey E. Epstein, which will provide information on a 'claims resolution program.'"
Source
028.pdf
Quote #2
"Plaintiff intends to issue discovery and begin taking depositions as soon as permitted..."
Source
028.pdf
Quote #3
"...it is certainly not the first request for extension nor the first extension as Plaintiff has already graciously provided Defendants with a forty-five (45) day extension..."
Source
028.pdf
Quote #4

Full Extracted Text

Complete text extracted from the document (4,921 characters)

Case 1:19-cv-07625-AJN-DCF Document 28 Filed 11/12/19 Page 1 of 2
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
November 12, 2019
VIA ECF
Hon. Alison J. Nathan
Thurgood Marshall
United States Courthouse
40 Foley Square
New York, NY 10007
Re: VE v. Nine East 71st Street, et al., 1:19-cv-07625 (AJN)
Dear Judge Nathan:
We represent Plaintiff VE in the above-captioned action. On November 12, 2019, counsel for Defendants authored a letter to the Court requesting a two-week extension to answer, move or otherwise respond to Plaintiff’s Complaint, from November 15, 2019 to November 29, 2019. [DE 27].
Plaintiff filed her complaint in this matter on August 20, 2019. On September 10, 2019, counsel for Defendants agreed to accept service of Plaintiff’s complaint on behalf of all Defendants thereby making Defendants’ respective responsive pleadings due on October 1, 2019—twenty-one days later. At the request of Defendants, Plaintiff granted all Defendants an extension of time to respond to Plaintiff’s complaint through and including November 15, 2019, pending court approval of said agreement. All parties also agreed to adjourn to a mutually agreeable date after November 15 any court conferences scheduled to occur before then pending approval.
Counsel for Defendants now seek an additional “two week extension of Defendants’ time to answer, move or otherwise respond to Plaintiff’s Complaint from November 15, 2019 to November 29, 2019” while representing that “[t]his is the first request for an extension of this deadline.” While it may be semantically true that this is the first request for an extension of this deadline that Defendants have made to this Court, it is certainly not the first request for extension nor the first extension as Plaintiff has already graciously provided Defendants with a forty-five (45) day extension to respond to her complaint.
Furthermore, in framing Plaintiff’s position on such request for further extension, Defendants represented to the Court that Plaintiff “cannot agree to postpone the conference” indicating that Defendants are not seeking an adjournment of the Initial Pretrial Conference. However, the conference that Plaintiff does not agree to postpone is the Rule 26(f) Conference that per the Federal Rules of Civil
425 North Andrews Avenue, Suite 2, Fort Lauderdale, Florida 33301
954.524.2820 office 954.524.2822 fax
Case 1:19-cv-07625-AJN-DCF Document 28 Filed 11/12/19 Page 2 of 2
November 12, 2019
Page 2
Procedure and the local rules of this Court must occur by November 15, 2019—twenty-one days prior to the Initial Pretrial Conference which is set to occur on December 6, 2019. To date, Plaintiff has asked counsel for Defendants to provide dates and times to conduct the Rule 26(f) Conference on more than one occasion to no avail. At this time, Plaintiff requests that the Court Order Defendants to comply with their Rule 26(f) obligations and engage in the conference by the November 15, 2019 deadline.
Pertinently, in seeking the additional fourteen (14) day extension, counsel for Defendants represented to Plaintiff that the need for further extension arises from Defendants’ intent to file a pleading in a Court in the United States Virgin Islands relating to the Estate of Jeffrey E. Epstein, which will provide information on a “claims resolution program.” Plaintiff does not believe that the use of any alternative dispute resolution mechanism should stay or modify the course of litigation in this matter.
Plaintiff intends to issue discovery and begin taking depositions as soon as permitted by the Federal Rules of Civil Procedure and the local rules of this Court given the voluminous discovery that is anticipated to occur in this case as it pertains to all Defendants. There is no reason to provide Defendants with an additional fourteen (14) day extension as they have already been provided with an additional forty-five (45) days to respond to Plaintiff’s Complaint. Furthermore, absent relief from the Court, Defendants are obligated to participate in the Rule 26(f) conference in this matter by Friday, November 15, 2019. Being that the basis for Defendants’ currently requested extension relates to alternative dispute resolution mechanisms, Plaintiff respectfully requests that this Court deny Defendants’ request and allow her case to proceed without further delay.
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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