This document is a page from a legal filing filed on March 24, 2015, in the Southern District of Florida (Case 9:08-cv-80736-KAM). It contains the Defendant's responses to specific requests for production of documents. The requests seek evidence supporting the Defendant's assertions that attorney Paul G. Cassell acted unethically, corruptly, or in a 'sleazy' manner, and failed to investigate allegations made by Jane Doe #3.
This is page 24 of a legal filing from Case 9:08-cv-80736-KAM, dated March 24, 2015. The Defendant is responding to document requests regarding Jane Doe #3's alleged history of prostitution and perjury, as well as requests for evidence supporting the Defendant's previous assertions that attorney Bradley J. Edwards is 'sleazy,' 'unethical,' and 'corrupt.' The Defendant objects to the prostitution request as unduly burdensome but agrees to produce documents regarding Jane Doe #3's alleged lying.
This document is page 23 of a legal filing (Case 9:08-cv-80736-KAM) containing the Defendant's responses to specific document requests. The requests specifically seek evidence regarding allegations that Jane Doe #3 had sex with President Bill Clinton on Jeffrey Epstein's Little Saint James Island. The Defendant agrees to produce non-privileged documents regarding the Clinton allegations but objects to producing copies of their passports.
This document is page 21 of a legal response entered on March 24, 2015, in the Florida Southern District Court. The Defendant (referencing Alan Dershowitz) agrees to produce documents supporting the claim that 'Jane Doe #3 is a serial liar.' However, regarding the request for documents proving President Clinton never visited Little Saint James, the Defendant objects, clarifying that his declaration relied on information regarding Secret Service records, and states he personally has no responsive documents to produce on that matter.
This document is a page from a legal discovery response filed in the Southern District of Florida in 2015. The Defendant (likely Alan Dershowitz) agrees to produce documents regarding the presence of his wife and daughter on Little Saint James Island, at Epstein's New Mexico ranch, and on Epstein's private plane. Notably, the Defendant explicitly confirms there was a 'sole occasion' where he was physically present at the New Mexico ranch.
This document is a page from a legal filing (Case 9:08-cv-80736-KAM) originating from the Southern District of Florida, dated March 24, 2015. It contains the Defendant's legal objections to document requests regarding IT systems and metadata. Crucially, it includes a response to a request for documents regarding visits to Little Saint James Island; the Defendant agrees to produce documents relating to the 'sole occasion' they were physically present on the island, a visit referenced in a sworn declaration by Alan Dershowitz.
This page contains the 'General Objections' section of a legal filing (Case 9:08-cv-80736-KAM) entered in the Southern District of Florida in 2015. The Defendant outlines five standard objections regarding the production of documents, citing relevance, admissibility, timing of discovery, attorney-client privilege, and undue burden. The document bears a House Oversight Committee bates stamp.
This document is the first page of Alan Dershowitz's legal objections and responses to initial document production requests filed by plaintiffs Bradley Edwards and Paul Cassell. The document was filed in the Circuit Court of Broward County, Florida (Case CACE 15-000072), but appears here as an exhibit in a federal case (Case 9:08-cv-80736-KAM) docketed on March 24, 2015. It contains standard legal preliminary statements reserving rights regarding discovery and trial preparation.
This document is a Certificate of Service page from a legal filing in the case of Edwards, Bradley vs. Dershowitz (Case No. CACE 15-000072). It certifies that attorney Jack Scarola sent a copy of the Plaintiffs' Motion to Compel Production of Documents via E-Serve on March 2, 2015. The document includes Scarola's contact information at Searcy Denney Scarola Barnhart & Shipley, P.A., and bears a House Oversight stamp.
This document is page 6 of a Motion to Compel Production of Documents filed by Bradley Edwards against Alan Dershowitz in March 2015. The plaintiffs argue that Dershowitz failed to produce documents proving he never met Jane Doe No. 3, despite claiming to the media he possessed such proof, and failed to file a privilege log while asserting blanket privileges. The motion requests the court to order immediate production of materials, declare privileges waived due to the lack of a log, and award attorneys' fees.
This document is page 5 of a 'Motion to Compel Production of Documents' in the case of Bradley Edwards vs. Alan Dershowitz (Case No. CACE 15-000072), filed in federal court on March 24, 2015. The text details a dispute over discovery delays, noting that on February 11, 2015, Dershowitz's legal team (specifically a paralegal from Cole, Scott & Kissane) promised documents that were then retracted by an attorney. By February 23, 2015, Dershowitz had produced zero documents, offering only 'evasive' standard responses objecting to requests for the 'absolute proof' he referenced in a sworn declaration.
This document is a page from a legal motion filed by Bradley Edwards against Alan Dershowitz in March 2015. It details Dershowitz's public denial of sexual abuse allegations made by 'Jane Doe No. 3' (Virginia Giuffre) and his claims on Fox Business that he possesses records proving his innocence and her dishonesty. The text outlines the timeline of legal filings in early January 2015, including Dershowitz's motion to intervene and Edwards' subsequent request for the production of the specific exculpatory records Dershowitz claimed to hold.
This document is a Certificate of Service filed on March 24, 2015, in Case 9:08-cv-80736-KAM (Southern District of Florida). It confirms that attorney Bradley J. Edwards served a document via the CM/ECF system to government attorneys Dexter Lee and A. Marie Villafaña, as well as to Thomas Scott, the attorney representing Alan Dershowitz. The document includes contact information for the recipients and bears a House Oversight Bates stamp.
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