From: jeffrey E. [[email protected]] Sent: 2/10/2015 5:22:52 PM To: Mortimer Zuckerman Subject: time to publish this instead ofthe trite. ore 15 of 141,013 Fwd: Statement for Press From: Carolyn Cohen Date: February 10, 2015 at 10:40:57 AM EST To: Alan Dershowitz ____________...
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Case 9:0€-ase8D T5é6cK AWK 3B RU BenDs6edmémieieh bh ALB De/dk4i 04/BAGH15 oP&ébe 9 of 10 id. at 10). Petitioners do not contend that Jane Doe 3 and Jane Doe 4’s “participation in this case” can only be achieved by listing them as parties. As it stands under the original petiti...
Epstein’s Harassment of Witnesses Against Him 82. At all relevant times Edwards has a good faith basis to believe and did in fact betiens that Epstein engaged in threatening witnesses. See Incident Report, Exhibit “A” at p. 82, US. Attorney’s Correspondence, Exhibit “C” - Indict...
James PaTTERSON perform one or more lewd, lascivious and sexual acts, including masturbation and touching the girl’s vagina. Consistent with the foregoing plan and scheme, Jane Doe was recruited to give Epstein a massage for monetary com- pensation. Jane was brought to Epstein’...
Case 9:08a8e doFSOKAKAS BEA er? QumentiaaSdonted 9 Heeket oP age28 of 1 Page 7 of 10 issue, the Court finds that its action of striking the lurid details from Petitioners’ submissions is sanction enough. However, the Court cautions that all counsel are subject to Rule 11’s manda...
3 of 8 + Case 9:08-cv-80232-KAM Document1 Entered on FLSD Docket 03/05/2008 Page 3 of 6 improper conduct were made. This was an important element of Epstein’s plan. 11. Epstein’s plan and scheme reflected a particular pattern and method. Upon arrival at Epstein’s mansion, the...
allow them to consume time otherwise. It’s all in the greeting. Compare the following: Jane (receiver): Hello? John (caller): Hi, is this Jane? Jane: This is Jane. John: Hi, Jane, it’s John. Jane: Oh, hi, John. How are you? (or) Oh, hi, John. What’s going on? John will now...
MARTIN G. WEINBERG, P.C. ATTORNEY AT LAW 20 PARK PLAZA, SUITE 1000 EMAIL ADDRESSES: BOSTON, MASSACHUSETTS 02116 6x April 24, 2015 Via Email and U.S. Mail John Zucker Assistant Legal Counsel Office of Legal Counsel 77 W 66TH St, Room 1628 New York, NY 10023 Re: Good Morning...
Case 9:08-cv-80736-KAM Document 306 Entered on FLSD Docket 02/02/2015 Page 9 of 19 Fifth, Jane Doe #3 claims that she needed to include Prof. Dershowitz in her filing because her CVRA claim of “unfair” treatment “implicates a fact-sensitive equitable defense which must be consid...
13. Describe in detail Each instance in which Jane Doe #3 has provided information referencing Dershowitz by name that Concern the allegations set forth in Paragraphs 24-31 of the 2015 Jane Doe #3 Declaration. ANSWER: Edwards and Cassell lack sufficient information to determine...
Case 9:0&aé807E5-d0A07 4 oA nilkxeinteniteréd-49 FES@0 DGCkét104/7dQ616 ofPidge 5 of 10 Jeffrey Epstein, and (2) the Government violated their CVRA rights by concealing the non- prosecution agreement with them. (DE 280 at 3; see id. at 7-8). However, the bulk of the Rule 21 Moti...
MARTIN G. WEINBERG, P.C. ATTORNEY AT LAW 20 PARK PLAZA, SUITE 1000 EMAIL ADDRESSES: BOSTON, MASSACHUSETTS 02116 a NIGHT EMERGENCY: April 24, 2015 Via Email and U.S. Mail John Zucker Assistant Legal Counsel Office of Legal Counsel 77 W 66TH St, Room 1628 New York, NY 10023 R...
From: Sent: 8/5/2009 4:25:51 PM To: Jeffrey Epstein [[email protected]] CC: Robert D. Critton Jr. Subject: FW: Jane Doe Certified Paralegal Florida Registered Paralegal BURMAN CRITTON LUTTIER & COLEMAN, LLP 515 N. Flagler Drive Suite #400 West Palm Beach, FL 33401 From: Sent:...
Case 9:6ase-doFeeKarsBbs eR aaumentieaaoniied 9 Weeldet oF age 26 1 Page 5 of 10 Jeffrey Epstein, and (2) the Government violated their CVRA rights by concealing the non- prosecution agreement with them. (DE 280 at 3; see id. at 7-8). However, the bulk of the Rule 21 Motion cons...
» Case 9:08-cv-80232-KAM Document 1 Entered on FLSD Docket 03/05/2008 Page 4 of 6 17. Epstein’s plan and scheme in which he committed such acts upon Jane Doe were done willfully and maliciously. 18. This sexual assault was in violation of Chapter 800 of the Florida Statutes, wh...