BRAD EDWARDS

Person
Mentions
349
Relationships
88
Events
67
Documents
174

Relationship Network

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Interactive Network: Click nodes or edges to highlight connections and view details with action buttons. Drag nodes to reposition. Node size indicates connection count. Line color shows relationship strength: red (8-10), orange (6-7), yellow (4-5), gray (weak). Use legend and help buttons in the graph for more guidance.

Event Timeline

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88 total relationships
Connected Entity Relationship Type
Strength (mentions)
Documents Actions
person Jeffrey Epstein
Legal representative
14 Very Strong
10
View
person Jane Doe
Client
11 Very Strong
7
View
person Kate
Client
8 Strong
3
View
person Virginia Giuffre
Client
7
3
View
person GHISLAINE MAXWELL
Legal representative
7
3
View
person Ms. Maxwell
Legal representative
6
1
View
person Courtney Wild
Client
6
2
View
person the witness
Business associate
6
2
View
person Jeffrey Epstein
Adversarial
6
2
View
person Three young women
Client
5
1
View
person AK
Professional
5
1
View
person witness
Legal representative
5
1
View
person Witnesses who testified
Client
5
1
View
person victims
Professional
5
1
View
person Jack Scarola
Client
5
1
View
person SCOTT ROTHSTEIN
Professional
5
1
View
person Several young women (victims)
Client
5
1
View
person Virginia Roberts
Previous communication
5
1
View
person JANE DOE NO. 1
Client
5
1
View
person Jack Scarola
Business associate
5
1
View
person E.W.
Client
5
1
View
person MR. SCAROLA
Client
5
1
View
person witness
Acquaintance
5
1
View
person Questioner (Q)
Client
5
1
View
person Kate
Professional
5
1
View
Date Event Type Description Location Actions
N/A Meeting A meeting where Kate asked the Government to look into sponsoring her for a U-Visa. Brad Edwards ... N/A View
N/A N/A Epstein filed a lawsuit against the affiant, Brad Edwards, and Scott Rothstein alleging conspirac... Court (implied) View
N/A Proffer session Brad Edwards provided a U-Visa application to the government on behalf of Kate. N/A View
N/A Legal consultation Kate reached out to attorney Brad Edwards to report the abuse she suffered. N/A View
N/A Legal proceeding A trial that the author indicates might not have happened without her attorneys. N/A View
N/A N/A New court filing submitted asking for Jane Doe #3 and another woman to join a pending case. West Palm Beach, Fla. View
N/A N/A Questioning of Attorneys Jack Scarola, Brad Edwards, and Robert Glassman by the defense. Court View
N/A N/A Fundraisers and parties at witness's home Witness's Home View
N/A N/A Start of Brad Edwards' investigation. N/A View
N/A N/A Win/Settlement with Deutsche Bank Legal Court/Settlement View
N/A N/A Meeting and Contacts with Peter Skinner, Stan Pottinger, and Brad Edwards by AUSA [REDACTED]. N/A View
N/A N/A Filing of Florida Defamation Action (Case No. CACE 15-000072). Broward County Circuit Court View
N/A N/A Lawsuit brought by Epstein against Brad Edwards. Florida View
2025-10-01 N/A Brad Edwards called the FBI. N/A View
2025-08-01 N/A Alfredo Rodriguez's second deposition. N/A View
2025-07-01 N/A Alfredo Rodriguez's first deposition. N/A View
2025-07-01 N/A Alfredo Rodriguez's first deposition where he mentioned handwritten notes/journal. N/A View
2025-07-01 N/A Brad Edwards had access to 'the list'. N/A View
2021-12-09 Legal proceeding appearances Listing of appearances by legal counsel and other personnel for the Plaintiff and Defendant in ca... N/A View
2021-11-20 N/A Discussion regarding trial order and witness testimony logistics. N/A View
2021-04-23 N/A Plea Hearing SDNY Court View
2020-07-17 N/A FBI received a USB drive containing photographs from Brad Edwards. New York Office View
2020-06-12 N/A Filing of Joint Stipulation and Proposed Order Staying Action New York, New York View
2020-06-12 N/A Joint Stipulation dated by counsel New York, New York View
2020-02-06 N/A Filing of Joint Proposed Discovery Schedule New York, New York View

066.pdf

This document is a Joint Stipulation and Order Staying Action from June 2020 in the Southern District of New York. The plaintiff 'VE' and the defendants (Epstein's estate executors Indyke and Kahn, and associated entities) agreed to pause the litigation to allow the plaintiff to participate in the 'Epstein Victims' Compensation Program,' a non-adversarial alternative. Judge Debra Freeman signed the order, staying the case and requiring a status report by August 14, 2020.

Legal order / joint stipulation
2025-12-26

065.pdf

This document is a Joint Stipulation and Proposed Order filed on June 12, 2020, in the U.S. District Court for the Southern District of New York (Case No. 1:19-cv-07625). The plaintiff, identified as 'VE', and the defendants (Executors of the Epstein Estate and associated entities) agreed to stay the lawsuit to allow the plaintiff to participate in the 'Epstein Victims' Compensation Program', a non-adversarial alternative for resolving sexual abuse claims. The document is signed by attorneys Brad Edwards (for the plaintiff) and Bennet J. Moskowitz (for the defendants).

Legal filing (joint stipulation and proposed order)
2025-12-26

054.pdf

This document is a Joint Proposed Discovery Schedule filed on February 6, 2020, in the case of VE v. Indyke et al. It outlines the agreed-upon timeline for the exchange of evidence, including initial disclosures, medical records, and expert reports. The filing identifies the key subjects of discovery as Epstein's alleged torts against the plaintiff, the liability of the corporate defendants, and the plaintiff's damages.

Legal filing (joint proposed discovery schedule)
2025-12-26

036.pdf

This document is a transcript of a bail hearing for Jeffrey Epstein held on July 15, 2019, in the SDNY. The government argued for detention based on flight risk (citing wealth, foreign ties, and a fake passport found in a safe) and danger to the community, while the defense argued for release on house arrest, citing his 14-year record of appearing for court and lack of recent convictions. Two victims, Annie Farmer and Courtney Wild, spoke in court opposing bail.

Court transcript (bail hearing)
2025-12-26

032.pdf

This document is a Decision & Order by U.S. District Judge Richard M. Berman denying Jeffrey Epstein's request for pretrial release and granting the Government's motion for remand (detention). The Court concludes that the Government has shown by clear and convincing evidence that Epstein poses a danger to the community, citing testimony from victims and evidence of potential witness tampering and non-compliance with sex offender registration. Additionally, the Court finds by a preponderance of the evidence that Epstein is a flight risk due to his vast wealth, international ties, and the potential for a lengthy prison sentence, and determines that the defense's proposed bail package is inadequate to mitigate these risks.

Court order / legal decision
2025-12-26

089.pdf

Court minutes from a June 25, 2009 hearing presided over by Judge Jeffrey Colbath regarding the Jeffrey Epstein case (Nos. 2006CF009454AXX / 2008CF009381AXX). The proceedings involved motions to unseal records and intervene, argued by attorneys for the Palm Beach Post and unidentified parties (likely victims), with the Judge granting the motions to unseal and intervene. Defense counsel Jack Goldberger moved to stay disclosure.

Court minutes / clerk's notes
2025-12-26

059.pdf

An exhibit list from the 15th Judicial Circuit in Palm Beach County, Florida, dated June 25, 2009, for the case State of Florida v. Jeffrey Epstein (Case No. 2008CF4351). The document lists three exhibits submitted by the defense: two orders involving attorney Jack Goldberger and a copy of a 'Victims Petition for enforcement of Crime Victims Rights Act' associated with attorney Brad Edwards. The hearing type is noted as a 'Motion to Unseal records'.

Court exhibit list
2025-12-26

055.pdf

This document is a transcript of court proceedings from June 26, 2009, regarding State of Florida vs. Jeffrey Epstein. The hearing concerns a 'Motion to Stay' filed by Epstein's defense to prevent the immediate release of sealed documents, specifically a Non-Prosecution Agreement (MPA) and grand jury materials, pending an appeal. The Judge denies the indefinite stay and the request for a bond but grants a short delay until the following Thursday to allow the defense time to file with the appellate court. The document also touches on potential redactions of children's names, which the Judge notes were not actually found in the documents in question.

Court transcript (circuit court of the fifteenth judicial circuit, florida)
2025-12-26

049.pdf

A court disposition form from the State of Florida vs. Jeffrey E. Epstein case (No. 502008CF009381AXXXMB) dated June 26, 2009. The hearing addressed a 'Motion to stay' which was denied by Judge Colbath, with a written order to follow. Handwritten notes indicate that documents are delayed until July 2, 2009, and a motion to compel the defendant to post bond was denied; attorney Brad Edwards was present representing a redacted party.

Court minute sheet / disposition form
2025-12-26

020.pdf

This document is a Reply in Support of a Motion to Quash Service of Process filed by Jeffrey Epstein's legal team in November 2010. The defense argues that the plaintiff failed to properly serve Epstein because the papers were left with an individual named 'Mark' at Epstein's New York home (9 East 71st St), but the plaintiff failed to prove 'Mark' resided there or was of suitable discretion. The filing also seeks to strike allegations regarding obstruction of justice in prior litigation and opposes sanctions against Epstein.

Court filing (reply in support of renewed motion to quash service of process)
2025-12-26

017-17.pdf

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.

Legal motion (motion for leave/protective order)
2025-12-26

017-15.pdf

This document is a Motion for Protective Order filed on June 28, 2010, by Jeffrey Epstein's legal team in the case of Jane Doe No. 2 vs. Jeffrey Epstein. The motion requests that the court issue an order of confidentiality regarding information Epstein was compelled to produce, specifically his tax returns, passport, and information provided by the federal government during prior criminal proceedings. The defense seeks to prevent this information from being disclosed to third parties or the media and to limit its use strictly to the current litigation.

Legal motion
2025-12-26

017-12.pdf

This document is an appeal by Defendant Jeffrey Epstein against a Magistrate's Order compelling him to produce discovery materials, including correspondence with prosecutors, tax returns, and passport/travel records. Epstein argues that producing these documents violates his Fifth Amendment right against self-incrimination because he still faces a real threat of federal prosecution outside the Southern District of Florida, despite his Non-Prosecution Agreement (NPA). The filing also details privacy concerns for third parties (alleged victims), claims attorney work-product privilege over files selected by his defense counsel, and argues that his offer to stipulate to a high net worth renders the production of his tax returns unnecessary.

Legal pleading (defendant's consolidated rule 4 review and appeal)
2025-12-26

017-09.pdf

This document contains a Motion for Reconsideration filed by Jeffrey Epstein's legal team in February 2010, arguing against a Magistrate's order compelling him to produce sensitive documents. The motion relies heavily on Fifth Amendment protections against self-incrimination, arguing that despite a Non-Prosecution Agreement, Epstein faces real risks of prosecution in other jurisdictions. Attached exhibits include the Plaintiff's 2009 requests for production of massage logs, photos of Epstein's Palm Beach home, financial records, and medical records from Dr. Stephan Alexander, to which Epstein consistently objected.

Legal motion and discovery requests/responses
2025-12-26

017-02.pdf

This document is a legal response filed by Jeffrey Epstein's legal team on October 6, 2009, opposing a Motion to Compel discovery filed by Plaintiff Jane Doe No. 2. Epstein asserts his Fifth Amendment privilege against self-incrimination to refuse the production of photographs of his Palm Beach home (specifically massage rooms), financial records, tax returns, passport/travel records, and medical records from Dr. Stephan Alexander. The defense argues that despite the Non-Prosecution Agreement (NPA), the threat of federal prosecution remains real and substantial, particularly in districts outside the Southern District of Florida, and that the act of producing these documents would be testimonial and incriminating.

Legal pleading (response in opposition to motion to compel)
2025-12-26

016-02.pdf

This document is a Motion for No-Contact Order filed by Plaintiffs Jane Doe No. 101 and 102 against Jeffrey Epstein in the Southern District of Florida on May 22, 2009. The plaintiffs argue that despite a state plea agreement prohibiting contact, Epstein's counsel refused to confirm he would not contact federal victims. The filing includes exhibits of correspondence between attorneys and a transcript of the 2008 plea conference where Judge Pucillo explicitly defined 'indirect contact' to include Facebook and MySpace.

Court filing (motion for no-contact order) with exhibits
2025-12-26

019.pdf

A Notice of Appearance filed on June 16, 2010, in the US District Court for the Southern District of Florida (Case 09-CIV-81092-Marra/Johnson). Attorneys Robert D. Critton, Jr. and Michael J. Pike of Burman, Critton, Luttier & Coleman, LLP formally enter their appearance as counsel for the Defendant, Jeffrey Epstein. The document includes a certificate of service to Brad Edwards, counsel for the Plaintiff.

Legal filing (notice of appearance)
2025-12-26

018.pdf

This document is a Notice of Appearance filed on June 16, 2010, in the United States District Court for the Southern District of Florida for Case No. 09-CIV-81092 (L.M. v. Jeffrey Epstein). The law firm Burman, Critton, Luttier & Coleman, LLP, specifically attorneys Robert D. Critton, Jr. and Michael J. Pike, formally enters their appearance as legal counsel for the defendant, Jeffrey Epstein. The document includes a certificate of service indicating that the notice was electronically served to Brad Edwards, attorney for the plaintiff.

Legal filing (notice of appearance)
2025-12-26

017.pdf

This document is a legal notice filed on June 14, 2010, in the United States District Court for the Southern District of Florida, regarding the case of Jane Doe No. 2 v. Jeffrey Epstein. The filing, submitted by attorney Spencer T. Kuvin on behalf of Plaintiff 'C.L.', serves to withdraw a subpoena and cancel the scheduled deposition of Maritza Milagros Vasquez, which was set for the following day, June 15, 2010. The document also includes a certificate of service listing various attorneys representing different parties in related cases against Epstein.

Legal notice (notice of withdrawing subpoena)
2025-12-26

014-01.pdf

This document is a Notice of Taking Videotaped Deposition and a Subpoena issued by the US District Court for the Southern District of Florida in the case of Jane Doe v. Jeffrey Epstein. It commands Jean Luc Bruhel to appear for a deposition on September 22, 2009, at Esquire Court Reporters in New York City. The subpoena was issued by Brad Edwards, attorney for the plaintiff.

Legal notice of deposition and subpoena
2025-12-26

010.pdf

This is a motion filed by Defendant Jeffrey Epstein's attorneys requesting a court order to allow him to attend mediation, deposition, and trial in the case of Jane Doe No. 2 v. Jeffrey Epstein. The motion notes that a prior no-contact order involving Carolyn Andriano might technically preclude this, but states that Plaintiff's counsel and Ms. Andriano have no objection. The document includes a certificate of service listing numerous attorneys involved in related cases.

Legal motion and memorandum
2025-12-26

009.pdf

Legal filing from November 2009 in the case of Jane Doe No. 2 v. Jeffrey Epstein. Epstein's attorneys argue for the preservation of evidence held by the law firm Rothstein Rosenfeldt Adler (RRA), noting that the DOJ has seized boxes of documents from RRA, including 13 boxes related to Epstein. The document also disputes delays in the deposition of RRA's Chief Restructuring Officer, Herbert Stettin, citing upcoming trial deadlines.

Legal filing (reply to response to motion for order for preservation of evidence)
2025-12-26

008.pdf

This document contains a Motion for Protective Order filed by Igor Zinoview and Jeffrey Epstein to limit the scope of depositions in a civil case. Zinoview asserts via affidavit that he only began working for Epstein in November 2005, after the alleged events, and thus has no relevant knowledge. The filing also includes excerpts from the depositions of Epstein's pilots, Larry Visoski and Larry Eugene Morrison, where they are questioned about their personal beliefs regarding the sexual abuse allegations and whether they would trust Epstein with their own daughters. Flight logs and passenger manifests are referenced in the deposition indexes ('PLAINTIFF'S EX. 1 FLIGHT LOG BOOK' and 'JEGE, Inc., Passenger Manifest') but the actual log content is not present in these specific pages.

Legal motions and deposition transcripts
2025-12-26

010-16.pdf

This document is a transcript of a court hearing on April 21, 2016, in the case of Giuffre v. Maxwell. The hearing addresses motions to admit Brad Edwards and Paul Cassell as counsel for the plaintiff, which the defense opposes citing conflicts with other litigation (Florida cases) and their status as potential witnesses. The judge also rules on various discovery disputes, including the production of Giuffre's medical records (limited to 1999-2002), tax returns (15 years ordered), and statements made to law enforcement (to be reviewed in camera).

Court transcript (hearing)
2025-12-26

010-06.pdf

This document is Plaintiff Virginia Giuffre's second amended supplemental response to discovery requests from Defendant Ghislaine Maxwell, dated April 29, 2016. It details Giuffre's legal representation history from 2009 to 2016, listing specific attorneys and cases including actions against Jeffrey Epstein, the US Government, and Alan Dershowitz. The document also contains objections to requests for financial records regarding payments from Epstein or media organizations, asserting attorney-client privilege and irrelevance.

Legal filing (plaintiff's second amended supplemental response and objections to discovery requests)
2025-12-26
Total Received
$0.00
1 transactions
Total Paid
$0.00
0 transactions
Net Flow
$0.00
1 total transactions
Date Type From To Amount Description Actions
N/A Received Firm/Ponzi Scheme BRAD EDWARDS $0.00 Potential bonuses discussed regarding work on c... View
As Sender
26
As Recipient
14
Total
40

Cases

From: BRAD EDWARDS
To: local and regional inv...

Edwards denies participating in any communications with investors or 'pumping' cases.

General communications
N/A

U-Visa Application

From: BRAD EDWARDS
To: ["government"]

Brad Edwards provided a U-Visa application to the government on behalf of Kate during a proffer session.

Proffer session
N/A

U-Visa Application

From: BRAD EDWARDS
To: ["government"]

Brad Edwards provided a U-Visa application to the government on behalf of Kate during a proffer session.

Proffer session
N/A

Information regarding abuse/Dershowitz

From: Doe
To: BRAD EDWARDS

Jane Doe No. 3 provided information related to the subject of abuse by Dershowitz.

Telephone calls
N/A

Epstein case status

From: the witness
To: BRAD EDWARDS

"Hey, Brad how are you? How is the Epstein stuff going?"

Conversation
N/A

TV Interviews

From: BRAD EDWARDS
To: People in the area

Urging people to watch Virginia Roberts' interview scheduled on three TV programs.

Communication
N/A

Congratulations

From: Redacted Sender
To: BRAD EDWARDS

Congratulating Brad on the Deutsche Bank win and asking about the settlement figure and the JP Morgan lawsuit.

Email
N/A

Reporting abuse by Ghislaine Maxwell

From: Kate
To: BRAD EDWARDS

Kate reached out to attorney Brad Edwards when her daughter was 1 or 2 to tell him the full extent of the manipulation and abuse instigated by Ghislaine Maxwell.

Conversation
N/A

[EXTERNAL] Trial

From: BRAD EDWARDS
To: USANYS Recipient (Reda...

Discussing an Order, next steps, and potential travel/scope of testimony for a witness.

Email
2021-11-20

doc 001 Doe vs Epstein estate complaint.pdf

From: BRAD EDWARDS
To: [REDACTED]

Original email sending a PDF attachment of a legal complaint.

Email
2020-03-23

Re: [Redacted]

From: [Redacted] (AUSA)
To: BRAD EDWARDS

Following up on document request; specifically asking for photographs of the witness.

Email
2019-09-30

RE: [Redacted]

From: BRAD EDWARDS
To: [Redacted] (AUSA)

We will send you all of the emails we have.

Email
2019-09-23

N/A (Body of email shown)

From: BRAD EDWARDS
To: Miles Alexander and Ka...

Legal outreach requesting cooperation and truthful testimony regarding events on Little St. James and recruitment by Ghislaine Maxwell.

Email
2016-05-17

Questioning regarding Jane and dates

From: BRAD EDWARDS
To: Alessi

Alessi was questioned by Brad Edwards in Fort Lauderdale.

Testimony/deposition
2016-01-01

Resolution of matter regarding a tape

From: BRAD EDWARDS
To: Anne B. Carroll

Edwards explained the legal necessity of the tape for the Jane Doe case; Carroll warned that Mr. Rush's disclosure was a 'stupid move' putting his job at risk.

Meeting
2010-04-23

Voicemail

From: BRAD EDWARDS
To: [REDACTED] assistant

Voicemail left in the morning, likely regarding the Rothstein firm complaint.

Call
2009-12-09

Deposition of Larry Visoski

From: BRAD EDWARDS
To: LARRY VISOSKI

Questioning regarding Visoski's knowledge of Epstein's activities and belief in allegations.

Deposition
2009-10-15

Deposition of Larry Eugene Morrison

From: BRAD EDWARDS
To: Larry Eugene Morrison

Questioning regarding Morrison's knowledge of Epstein's activities and willingness to leave his daughter with Epstein.

Deposition
2009-10-06

Reporting evidence related to Epstein

From: BRAD EDWARDS
To: FBI

Brad Edwards allegedly called the FBI to report evidence, including the 'Epstein list'.

Call
2009-10-01

Notice of Taking Videotaped Deposition

From: BRAD EDWARDS
To: All counsel on attache...

Service of notice via U.S. Mail and email transmission (exact date in August illegible, likely mid-August)

Mail/email
2009-08-01

Draft Protective Order

From: [Redacted] (USAFLS)
To: BRAD EDWARDS

Sending draft protective order regarding disclosure of non-prosecution agreement to Edwards and Jane Does 1 and 2.

Email
2008-08-15

RE: Draft Protective Order

From: BRAD EDWARDS
To: [Redacted] (USAFLS)

Discussing the proposed protective order, specifically objecting to paragraph C regarding client acknowledgement requirements.

Email
2008-08-15

Stipulation of facts regarding Epstein case

From: BRAD EDWARDS
To: AUSA [Redacted]

Edwards proposes adding facts about the secret NPA to the court notice and demands a copy of the agreement.

Letter
2008-08-01

Change of course regarding undisputed facts

From: AUSA [Redacted]
To: BRAD EDWARDS

Referenced in the opening paragraph.

Letter
2008-07-25

Response to Proposed Facts

From: BRAD EDWARDS
To: Government officials

Response to proposed facts and request for NPA and interview report.

Letter
2008-07-17

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