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FBI VOL00009

EFTA00188608

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Case 9:08-cv-80736-KAM iocument 291-5 Entered on FLSD 
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EXHIBIT 6 
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Case 9:08-cv-80736-KAM -document 291-5 Entered on FLSD L—ket 01/21/2015 Page 2 of 2 
Subject: 
FW: Motion to Add Petitioners 
From: 
(USAFLS) 
Sent: Wednesday, December 10, 2014 4:49 PM 
To: Brad Edwards; Paul Cassell 
Subject: Motion to Add Petitioners 
Brad and Paul, 
The U.S. Attorney is on travel and I do not have an answer for you on whether the government will agree to the addition 
of two new petitioners. I appreciate you not filing your motion until December 10, 2014. If you need to file the 
motion, we understand. Thanks. 
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E 
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EXHIBIT 7 
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Case 9:08-cv-80736-KAM -document 291-6 Entered on FLSD f.,.._.Ket 01/21/2015 Page 2 of 2 
Subject: 
FW: Meeting in January 2015 
From: 
(USAFLS) 
Sent: Tuesday, December 16, 2014 3:03 PM 
To: Brad Edwards; Paul Cassel 
Subject: Meeting in January 2015 
Brad and Paul, 
We would like to schedule a meeting with the Executive Division, as you requested, for January 2015, at a time 
convenient for both of you. Also, do 
and 
wish to attend? 
Please let me know of a suitable time for all parties who wish to attend. Thanks. 
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EXHIBIT 
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Case 9:08-cv-80736-KAM Liocument 291-7 Entered on FLSD 
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Subject: 
FW: Meeting in January 2015 
From: Brad Edwards 
Sent: Tuesday, December 16, 2014 3:49 PM 
To: Redacted (USAFLS); Paul Cassell 
Subject: RE: Meeting in January 2015 
Thanks 
I am hopeful that we can use the meeting time to discuss a plan to bring this case to a streamlined resolution. I will 
check with the clients about attendance at the meeting. I believe that at least 
will want to attend. Paul and I will get 
you some dates that work on our end. 
In the meantime, I would like to get your agreement to our Motion to add • 
and 
as parties. They do not want to 
delay being added, and I see no reason for that delay anyway. Please let me know your position on that Motion. 
Thank you for getting back to me. We will get you some proposed meeting dates quickly and look forward to a 
productive meeting. 
Sincerely, 
Fanny; Jaffa, Wades 
Edwards, Fists, et Lehrman, RI.. 
Brad Edwards 
Board Certified Trial Attorney 
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Case 9:08-cv-80736-KAM 'document 291-8 Entered on FLSD Lk ...Ket 01/21/2015 Page 1 of 2 
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Case 9:08-cv-80736-KAM Liocument 291-8 Entered on FLSD DI—Ket 01/21/2015 Page 2 of 2 
Subject: 
FW: Meeting In January 2015 
From: Brad Edwards 
Sent: Monday, December 22, 2014 12:17 PM 
To: Redacted (USARS); Paul Cassell 
Subject: RE: Meeting In January 2015 
We have a few available dates to choose from. January 21-22 and 28-29. Hopefully one of those will work for you guys. 
On the motion to add 
and 
*, I don't believe you Indicated your position. As we said, we hoped you would agree, or 
at least not oppose, but either way we would like to know your position so that we can so inform the Court. 
Thanks again. Please let me know which meeting date works best so that those coming from out of town can make 
arrangements. 
Sincerely, 
Parravr, Joffe, Waxing, 
Echvards, Fists, te Lehrman, RL. 
Brad Edwards 
Board Certified Trial Attorney 
;,,,,19(0.41D(.M9ii,9469 
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Case 9:08-cv-80736-KAM L,ocument 291-9 Entered on FLSD 
.at 01/21/2015 Page 1 of 2 
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Case 9:08-cv-80736-KAM 
.,current 
291-9 Entered on FLSD L 
,et 01/21/2015 Page 2 of 2 
Subject: 
FW: Meeting in January 2015 
From: 
(USAFLS) 
Sent: Tuesday, December 23, 2014 6:19 PM 
To: Brad Edwards; Paul Cassell 
Subject: RE: Meeting in January 2015 
Brad and Paul, 
We will let you know which dates are good for us. We actually wanted to discuss adding the new parties to the case at 
the meeting. Our position is that we oppose adding new petitioners at this stage of the litigation. 
Best Wishes for a wonderful holiday to you and your families. 
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EXHIBIT 11 
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Case 9:08-cv-80736-KAM Uucument 291-10 Entered on FLSD 
.et 01/21/2015 Page 2 of 7 
IN THE CIRCUIT COURT OF THE 
SEVENTEENTH JUDICIAL CIRCUIT, IN 
AND FOR BROWARD COUNTY, 
FLORIDA 
CASE NO.: CACE-15-000072 - 05 
BRADLEY J. EDWARDS and 
PAUL G. CASSELL, 
Plaintiffs, 
vs. 
ALAN M. DERSHOWITZ, 
Defendant. 
COMPLAINT 
Plaintiffs, BRADLEY J. EDWARDS and PAUL G. CASSELL, by and through their 
undersigned attorneys, sue the Defendant, ALAN M. DERSHOWITZ, and allege: 
1. 
This is an action for damages in an amount in excess of the minimum 
jurisdictional limits of this Court. 
2. 
PAUL G. CASSELL is a resident of the State of Utah, is sui juris, is a former 
United States federal judge, who is a professor at the S.J. Quinney College of Law at the 
University of Utah. He is and at all times material hereto has been a member in good standing of 
the Bar of the State of Utah and has been and continues to be admitted to practice pro hac vice in 
the State of Florida. 
3. 
Prior to assuming his teaching responsibilities, PAUL G. CASSELL clerked first 
for the U.S. Court of Appeals for the D.C. Circuit (1984-1985) and then from 1985 to 1986 
clerked for the United States Supreme Court before serving as an Associate Deputy Attorney 
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Case 9:08-cv-80736-KAM L,,,,ument 291-10 Entered on FLSD 
01/21/2015 Page 3 of 7 
Edwards and Cassell'. Dershowttz 
Complaint 
General with the U.S. Justice Department and as an Assistant United States Attorney for the 
Eastern District of=1. 
4. 
PAUL G. CASSELL was sworn in as a U.S. District Court Judge for the District 
of Utah in July of 2002 and served in that position for over 5 years before turning his full time 
attention to crime victims' rights and criminal justice reform. 
5. 
PAUL G. CASSELL has at all material times enjoyed a highly favorable national 
reputation particularly related to his crime victims' rights work. 
6. 
PAUL G. CASSELL has served as co-counsel with BRADLEY J. EDWARDS in 
representing the interests of multiple victims of billionaire, serial child abuser, Jeffrey Epstein, 
including in particular a pending action in Federal District Court for the Southern District of 
Florida under the federal Crime Victims' Rights Act (CVRA) which challenges the legality of a 
secret deal that immunized Jeffrey Epstein and associates of Epstein from federal criminal 
prosecution despite evidence that Epstein had sexually assaulted over 40 female minors on 
hundreds of occasions with the active help and participation of multiple associates. 
7. 
BRADLEY J. EDWARDS is a resident of Broward County, Florida, is sui juris, 
and is and at all times material hereto has been an attorney duly licensed to practice law and 
regularly engaged in the practice of law throughout the State of Florida and beyond. 
8. 
Despite having previously been the victim of character assassination by the 
Defendant, ALAN M. DERSHOWITZ'S associate and client, Jeffrey Epstein, BRADLEY J. 
EDWARDS enjoys a highly favorable national reputation particularly related to his work in 
defending the rights of child victims of sexual abuse. 
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Case 9:08-cv-80736-KAM uucument 291-10 Entered on FLSD L.....Ket 01/21/2015 Page 4 of 7 
Edwards and Cassell. Dershowitz 
Complaint 
9. 
Before entering the private practice of law, BRADLEY J. EDWARDS was a trial 
attorney at the Broward County State Attorney's Office responsible for the prosecution of many 
major and violent crimes. He is a Florida Bar Board Certified Civil Trial Attorney who has tried 
dozens of jury trials. 
BRADLEY J. EDWARDS has been profiled in The Best Lawyers in America and 
recognized by the National Trial Lawyers Association by inclusion in its "Top 40 Under 40" 
listing. BRADLEY J. EDWARDS' professional peers have given him a Martindale-Hubbell 
rating of "AV" attesting to the highest level of professional excellence and unquestionable ethics. 
10. 
BRADLEY J. EDWARDS has been actively involved for the better part of the 
last decade in representing multiple victims of the billionaire, serial child abuser, Jeffrey Epstein. 
11. 
Defendant, ALAN M. DERSHOWITZ, upon information and belief is a resident 
of the State of Florida and is sui juris. 
12. 
Defendant, ALAN M. DERSHOWITZ, is an attorney whose involvement in 
multiple high-profile legal matters has enabled him to command easy access to mass media news 
sources. 
13. 
Defendant, ALAN M. DERSHOWITZ, was one of a very large team of lawyers 
involved in defending Jeffrey Epstein during his criminal investigation, and according to 
DERSHOWITZ'S own public statements, DERSHOWITZ was responsible for negotiating 
Epstein's secret deal with the federal government which afforded protection not only to Epstein 
but to various of his associates as well. 
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