Jack Scarola

Person
Mentions
269
Relationships
54
Events
45
Documents
132

Relationship Network

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Event Timeline

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54 total relationships
Connected Entity Relationship Type
Strength (mentions)
Documents Actions
person Bradley J. Edwards
Client
11 Very Strong
7
View
person CAROLYN
Client
8 Strong
3
View
person Bradley Edwards
Legal representative
8 Strong
4
View
person CAROLYN
Professional
7
3
View
person Jeffrey Epstein
Legal representative
7
3
View
person [Redacted Plaintiff]
Legal representative
6
2
View
person GHISLAINE MAXWELL
Legal representative
6
2
View
person Virginia Roberts
Legal representative
6
2
View
person Plaintiffs
Legal representative
6
1
View
person Donald Trump
Legal representative
6
1
View
person Bradley Edwards
Client
6
2
View
person Brad
Professional
5
1
View
person victims
Professional counsel for
5
1
View
person GHISLAINE MAXWELL
Adversarial defendant vs counsel for victims
5
1
View
person Mr. Edwards
Professional
5
1
View
person Thomas E. Scott
Opposing counsel co counsel
5
1
View
person Virginia Roberts
No prior communication
5
1
View
person Jeffrey Epstein
Adversarial
5
1
View
person Brad
Legal representative
5
1
View
person James E. Hill
Professional press
5
1
View
person BRAD EDWARDS
Business associate
5
1
View
person Plaintiffs
Client
5
1
View
person Robert C. Josefsberg
Professional
5
1
View
organization GOVERNMENT
Professional
5
1
View
person Witnesses who testified
Client
5
1
View
Date Event Type Description Location Actions
N/A N/A Questioning of Attorneys Jack Scarola, Brad Edwards, and Robert Glassman by the defense. Court View
N/A N/A Upcoming trial in Palm Beach County Circuit Court. Palm Beach County Circuit C... View
N/A N/A Malicious prosecution suit against Epstein likely to go to trial. Palm Beach County Circuit C... View
N/A Legal request and opposition The defendant, Ghislaine Maxwell, made a request to call Jack Scarola, Brad Edwards, and Robert G... United States District Cour... View
N/A Representation/bringing to government Jack Scarola represented Carolyn and brought her to the government. N/A View
N/A Conversation Jack Scarola talked to other witnesses. N/A View
N/A Legal action The witness, Carolyn, filed a claim with the Epstein Victim Compensation Fund. N/A View
N/A Legal action The witness filed a claim with the Epstein Victim Compensation Fund. N/A View
2025-12-04 N/A Case in state court pitting Bradley Edwards against Epstein Palm Beach County View
2021-05-03 N/A Issuance and distribution of an Order regarding the trial date in United States v. Ghislaine Maxw... Southern District of New York View
2021-01-26 N/A Conference between Jack Scarola and the witness regarding testimony. Florida (presumed) View
2021-01-21 N/A Approximate date of AUSA's trip to Florida to meet Jack Scarola (referenced as 'last week' in Jan... Florida View
2020-07-17 N/A Scheduled WebEx interview/meeting with the witness at Jack Scarola's office. Jack Scarola's Office View
2020-07-17 N/A Video interview/meeting with witness, Jack Scarola, Mike, and FBI/Prosecutors via WebEx. Jack Scarola's Office (Conf... View
2020-01-01 Legal action Carolyn, through her lawyer, responds and gets in touch with the government, right after the vict... N/A View
2019-08-07 N/A Jack Scarola informs SDNY prosecutors about a victim willing to testify regarding molestation and... Email correspondence View
2019-03-05 N/A Miami federal prosecutors sent a letter recusing themselves from the case. Miami View
2019-01-01 Legal action Carolyn's lawyer, Jack Scarola, contacted the government. N/A View
2018-01-01 Meeting Meetings took place between attorneys for accusing witnesses and SDNY prosecutors concerning or r... Southern District of New York View
2016-08-01 N/A Scarola put Trump on the witness list. Palm Beach View
2016-07-07 N/A Filing of Motion to File an Over Length Reply by Bradley J. Edwards. Southern District of Florida View
2016-07-07 N/A Filing of Motion to Seal Bradley J. Edwards' Motion to Quash Subpoena. Southern District of Florida View
2016-04-08 N/A Filing of Notice of Withdrawal in Edwards & Cassell v. Dershowitz. Broward County, Florida View
2016-02-03 N/A Electronic filing and service of legal documents through the Clerk of Broward County Broward County, Florida View
2016-01-01 Meeting Meetings took place where certain attorneys for accusing witnesses met with SDNY prosecutors to a... Southern District of New York View

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

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

036.pdf

A legal filing (Sur-Reply) by Ghislaine Maxwell's attorneys arguing that Plaintiff Bradley Edwards must produce solicitation letters sent to former Epstein employees and their responses. The defense argues Edwards waived work-product privilege by failing to produce a privilege log and that the letters sent to third parties do not constitute work product.

Legal filing (defendant's sur-reply to supplemental reply)
2025-12-26

024.pdf

This document is a legal notice filed by Ghislaine Maxwell's attorneys on December 16, 2016, in the Southern District of Florida regarding a subpoena served on Bradley J. Edwards. Maxwell argues that rulings made by the Southern District of New York on a similar subpoena served on Paul Cassell (another attorney for Virginia Giuffre) should be binding (res judicata) on the Edwards subpoena. The filing includes a table comparing the requests in both subpoenas and the corresponding rulings from the SDNY court, asking the Florida court to issue a consistent order requiring production of certain documents and granting the motion to quash for others.

Legal notice / court filing
2025-12-26

023.pdf

This document is a formal notice filed on December 16, 2016, in the Southern District of Florida, by attorneys for Ghislaine Maxwell. It informs the court and opposing counsel (specifically Bradley J. Edwards' attorney Jack Scarola) that 'Exhibit B' related to a subpoena status notice has been filed under seal. The underlying case referenced is Virginia L. Giuffre v. Ghislaine Maxwell in the Southern District of New York.

Legal notice (notice of filing under seal)
2025-12-26

022.pdf

This document is a motion filed on December 16, 2016, by Ghislaine Maxwell's attorneys in the Southern District of Florida. The motion requests permission to file 'Exhibit B' under seal, noting that the exhibit is a sealed order from the Southern District of New York in the underlying 'Giuffre v. Maxwell' case. The document lists legal counsel for Maxwell and for Bradley J. Edwards, who is the subject of a subpoena in this miscellaneous action.

Legal motion (motion to file under seal)
2025-12-26

015.pdf

This document is a Motion to Seal filed on July 7, 2016, by attorney Jack Scarola on behalf of Bradley J. Edwards in the U.S. District Court for the Southern District of Florida. Edwards seeks to seal exhibits attached to his Motion to Quash a subpoena, specifically referencing confidential depositions of Ghislaine Maxwell and Rinaldo Rizzo, as well as documents related to Alan Dershowitz, which are already under seal in the Southern District of New York. The motion argues that sealing is necessary to comply with protective orders from the underlying case.

Legal motion (motion to seal)
2025-12-26

013.pdf

This document is a reply filed by Bradley J. Edwards in support of his motion to quash a subpoena served on him by Ghislaine Maxwell in the case of Giuffre v. Maxwell. Edwards argues that the subpoena imposes an undue burden on him as a non-party and opposing counsel, seeking information that is already in Maxwell's possession, privileged, irrelevant, or available from other sources. The brief details the history of related litigation, including the CVRA case and a defamation suit against Alan Dershowitz, to support the argument that the subpoena is harassing and unnecessary.

Legal reply brief
2025-12-26

013-02.pdf

This document is a Notice of Withdrawal of Motion for Partial Summary Judgment filed on April 8, 2016, in a Florida Circuit Court case between Bradley J. Edwards/Paul G. Cassell and Alan M. Dershowitz. The plaintiffs withdraw their motion pursuant to a confidential settlement agreement but explicitly state that their client, Virginia Giuffre, reaffirms her allegations and that the withdrawal is not an admission that her allegations were mistaken. They concede that filing certain allegations in a separate Crime Victims' Rights Act case was a 'tactical mistake' that caused distractions.

Legal filing (notice of withdrawal of motion)
2025-12-26

012.pdf

This document is a motion filed on July 7, 2016, in the Southern District of Florida by attorney Jack Scarola on behalf of Bradley J. Edwards. Edwards requests permission to file a reply exceeding the standard page limit (up to 25 pages) in support of his motion to quash a subpoena served by Ghislaine Maxwell. The motion explains that the extra length is necessary to address allegations made by Maxwell regarding Edwards' prior filings and alleged discovery withholding by his client, Virginia Giuffre.

Legal motion (motion for leave to file over length reply)
2025-12-26

010.pdf

Declaration by Jeffrey S. Pagliuca, attorney for Ghislaine Maxwell, filed on June 30, 2016, in the Southern District of Florida. The document lists 18 exhibits (A-R) supporting Maxwell's opposition to Bradley J. Edwards' motion to quash a subpoena. Several exhibits are filed under seal, while others include procedural documents from related cases (Cassell v. Dershowitz, Epstein v. Rothstein, Jane Doe v. US) and communications regarding discovery and subpoenas.

Legal declaration
2025-12-26

010-15.pdf

This document is a press release and joint statement dated April 8, 2016, announcing the settlement of a defamation lawsuit between Professor Alan Dershowitz and attorneys Bradley Edwards and Paul Cassell. The attorneys acknowledged it was a mistake to have filed sexual misconduct accusations against Dershowitz on behalf of their client, Virginia Roberts, and withdrew those claims. Dershowitz withdrew his counterclaims regarding unethical conduct and reiterated his denial of the allegations, citing travel records as evidence of his absence during the alleged events.

Press release / legal exhibit
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

010-05.pdf

This document is a civil complaint filed on January 6, 2015, in Broward County, Florida, by attorneys Bradley J. Edwards and Paul G. Cassell against Alan M. Dershowitz. The plaintiffs allege that Dershowitz defamed them in media interviews (specifically on CNN) by accusing them of misconduct and lying after they filed court pleadings alleging Dershowitz participated in Jeffrey Epstein's criminal conduct. The complaint asserts that Dershowitz's statements were false, malicious, and intended to distract from his own alleged involvement in Epstein's crimes and the negotiation of Epstein's non-prosecution agreement.

Legal complaint (civil lawsuit)
2025-12-26

007.pdf

This document is a 'Notice of Filing' submitted to the U.S. District Court for the Southern District of Florida on June 29, 2016. It serves to notify the court and opposing counsel that Defendant Ghislaine Maxwell has filed Exhibits A, G, H, I, and N under seal. These exhibits are attached to a declaration by her attorney, Jeffrey S. Pagliuca, in support of her opposition to Bradley J. Edwards' motion to quash a subpoena.

Legal notice (notice of filing under seal)
2025-12-26

006.pdf

This document is a motion filed on June 29, 2016, by attorneys for Ghislaine Maxwell in the Southern District of Florida. The motion requests permission to file specific exhibits (A, G, H, I, and N) under seal because they were designated as confidential in the underlying case (Giuffre v. Maxwell) in the Southern District of New York. The document includes a certificate of service indicating the motion was served electronically to attorney Jack Scarola representing Bradley J. Edwards.

Legal motion (motion to file under seal)
2025-12-26

005.pdf

This document is a Motion to Appear Pro Hac Vice filed on June 29, 2016, in the Southern District of Florida. Attorney Denise D. Riley requests that attorney Jeffrey S. Pagliuca of the Colorado firm Haddon, Morgan and Foreman be admitted to represent Defendant Ghislaine Maxwell in matters related to a subpoena issued to Bradley J. Edwards. The document includes contact information for the attorneys involved and a certificate of service to opposing counsel Jack Scarola.

Legal motion (motion to appear pro hac vice)
2025-12-26

001-01.pdf

Legal declaration by attorney Bradley J. Edwards filed on June 13, 2016, in support of a motion to quash a subpoena from Ghislaine Maxwell. Edwards details his representation of Virginia Giuffre and the undue burden of reviewing over 200,000 emails for communications with journalists. He explicitly states that Ghislaine Maxwell and Jeffrey Epstein share a joint defense agreement and mentions Giuffre's association with the organization 'Victims Refuse Silence, Inc.'

Legal declaration (court filing)
2025-12-26

073.pdf

This document is a legal response filed on November 28, 2009, by Plaintiff Carolyn M. Andriano (Jane Doe No. 2) in her civil case against Jeffrey Epstein. The filing opposes a motion by third-party witness Igor Zinoview—Epstein's driver, bodyguard, and trainer since November 2005—who sought to avoid being deposed by claiming he had no knowledge of relevant facts. The Plaintiff argues that Zinoview must be deposed because he worked for Epstein during the active Palm Beach Police investigation (2005-2006) and likely possesses knowledge regarding activities at the Epstein residence, especially since Epstein himself invoked the Fifth Amendment.

Legal pleading (response to motion for protective order)
2025-12-26

071.pdf

A 2009 legal motion filed in the Southern District of Florida on behalf of Jeffrey Epstein requesting permission to attend mediation in a case involving Carolyn Andriano (C.M.A.). The motion notes that a prior 'no contact order' exists regarding Andriano, but states that neither she nor her counsel object to Epstein's presence at depositions, mediation, or trial. The document includes a comprehensive service list of attorneys involved in multiple related cases against Epstein.

Legal motion (motion to attend mediation)
2025-12-26

069.pdf

This document is a legal motion filed on November 9, 2009, by Igor Zinoviev, a third-party witness and employee of Jeffrey Epstein, seeking a protective order to prevent or limit his deposition in the civil case 'Jane Doe No. 2 v. Jeffrey Epstein'. Zinoviev claims he has no relevant information for the civil cases as his employment with Epstein began in November 2005, after the period of the alleged misconduct, and he has not discussed Epstein's criminal or civil cases with him.

Legal motion / court document
2025-12-26

050.pdf

This document is a Notice of Compliance filed by Jeffrey Epstein's legal team (Burman, Critton, Luttier & Coleman) on July 28, 2009, in the US District Court for the Southern District of Florida. It addresses a court order regarding the preservation of evidence and a protective order, noting that while the parties agreed on many sections, they could not finalize a joint order, leading Epstein to submit his own proposed order separately. The document lists numerous related civil cases involving Jane Doe plaintiffs and provides a comprehensive service list of attorneys involved in the various Epstein-related litigations at that time, including Bruce Reinhart representing Sarah Kellen.

Legal filing - notice of compliance
2025-12-26

032.pdf

This document is a legal reply filed on June 4, 2009, by Plaintiffs Jane Doe No. 101 and 102 in the US District Court for the Southern District of Florida. The plaintiffs are requesting a court order prohibiting Jeffrey Epstein and his agents from contacting them directly or indirectly, citing his status as a convicted sex offender and their fear of intimidation. The document also includes a service list detailing the legal representation for various parties, including Bruce E. Reinhart representing co-defendant Sarah Kellen.

Legal reply to motion (civil litigation)
2025-12-26
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As Sender
38
As Recipient
36
Total
74

Motion to Seal

From: Jack Scarola
To: Laura A. Menninger, Je...

Service of the motion via CM/ECF filing system.

Electronic service
2016-07-07

Service of Motion to File Over Length Reply

From: Jack Scarola
To: Laura A. Menninger, Je...

Electronic service via CM/ECF system.

Legal service
2016-07-07

Motion to File Certain Exhibits Under Seal

From: Nicole Simmons
To: Jack Scarola

Service of motion via CM/ECF system

Electronic filing
2016-06-29

Notice of Filing Certain Exhibits to the Declaration of J...

From: Nicole Simmons (on beh...
To: Jack Scarola

Notification of filing sent via CM/ECF system

Electronic filing (cm/ecf)
2016-06-29

Certificate of Service

From: Denise D. Riley
To: Jack Scarola

Service of Motion to Appear Pro Hac Vice via CM/ECF system

Service of motion
2016-06-29

Service of court documents

From: Thomas E. Scott (via e...
To: Jack Scarola

Service of foregoing document

Email
2016-02-03

Service of Court Document

From: Jack Scarola
To: Counsel

Certification that the response was sent to all counsel.

E-serve
2015-11-23

Certificate of Service for Plaintiffs’ Motion to Compel P...

From: Jack Scarola
To: List

Certification that a copy of the foregoing was sent via E-Serve

E-serve
2015-03-02

Service of Court Document

From: Cole, Scott & Kissane,...
To: Jack Scarola

Service of 'true and accurate copy of the foregoing' via E-Serve.

Email
2015-02-23

Re: Question from ABC

From: Jack Scarola
To: James E. Hill

Confirming response and copy of deposition will be sent later that morning.

Email
2015-01-28

RE: Question from ABC

From: James E. Hill
To: Jack Scarola

Thanking Scarola.

Email
2015-01-28

RE: Question from ABC

From: James E. Hill
To: Jack Scarola

Requesting full transcript of 2011 phone interview with VR.

Email
2015-01-28

Question from ABC

From: James E. Hill
To: Jack Scarola

Inquiring about the source of documents for a NY Daily News story regarding Juan Alessi's deposition and Prince Andrew.

Email
2015-01-27

Litigation / Mediation

From: Jack Scarola
To: Unknown (Page 9 of doc...

Discussion of litigation privilege, trial court rulings, and upcoming mediation regarding Epstein.

Letter
2013-09-12

Service of foregoing document

From: Jack Scarola
To: Service List (Recipien...

Certification that documents were served via Fax and U.S. Mail.

Legal service
2011-11-03

Service of Document

From: Jack Scarola
To: All Counsel on attache...

Copy of the Notice of Filing furnished by U.S. Mail.

Mail
2011-05-17

Notice of Filing

From: Jack Scarola
To: All Counsel on attache...

Filing of Virginia Roberts interview transcript via U.S. Mail

Legal filing/mail
2011-05-17

Edwards adv. Epstein

From: Jack Scarola
To: Virginia Roberts

Initial introduction, request for permission to record, confirmation of identity, and beginning of formal questioning.

Call
2011-04-07

Edwards adv. Epstein

From: Jack Scarola
To: Virginia Roberts

Initial introduction and consent to record for legal fact-finding.

Call
2011-04-07

Service of foregoing documents

From: Jack Scarola
To: Service List (unspecif...

Served via Fax and U.S. Mail

Service of legal documents
2010-11-04

Service of foregoing document

From: Jack Scarola
To: Service List (attached...

Served via Fax and U.S. Mail

Legal service
2010-11-04

Service of foregoing document

From: Jack Scarola
To: Service List (attached...

Served via Fax and U.S. Mail

Legal service
2010-11-04

Re: Confidential -- Non Prosecution Agreement

From: Jack Scarola
To: [Redacted] (Assistant ...

Thank you. I will follow your instructions.

Email
2008-12-10

Confidential -- Non Prosecution Agreement

From: [Redacted] (Assistant ...
To: Jack Scarola

Sending the Non-Prosecution Agreement with instructions to restrict disclosure only to those who have signed the Protective Order.

Email
2008-12-09

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