| Date | Event Type | Description | Location | Actions |
|---|---|---|---|---|
| N/A | N/A | Presence of Defendant's wife and daughter on Little Saint James Island | Little Saint James Island | View |
| N/A | N/A | Presence of Defendant's wife and daughter on Jeffrey Epstein’s private plane | Jeffrey Epstein’s private p... | View |
This document is page 5 of a legal letter dated February 25, 2015, regarding discovery disputes in the case Edwards and Cassell v. Dershowitz. The text criticizes the Defendant (Dershowitz) for providing evasive, incomplete, or legally unfounded responses to interrogatories concerning his relationship with Jeffrey Epstein, statements made about Bradley Edwards, and potential witnesses. It specifically notes that Dershowitz refused to provide details based on flight logs or the deposition status of Jane Doe #3, and lists Thomas and Joanne Ashe as individuals identified by the Defendant.
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.
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