EFTA02728711.pdf
dataset_11 pdf 247.1 KB • Feb 3, 2026 • 2 pages
IN THE CIRCUIT COURT OF THE FIFTEENTH
JUDICIAL CIRCUIT, IN AND FOR PALM BEACH
COUNTY, FLORIDA
CASE NO. 2006CF009454A
STATE OF FLORIDA
vs.
JEFFREY EPSTEIN,
Defendant.
RESPONSE TO MOTION FOR PROTECTIVE ORDER
COMES NOW the Defendant, JEFFREY EPSTEIN, by and through his attorney and
files his response to the Motion For Protective Order filed by counsel for State's witness
Jane Doe No. 1.
1. In summary fashion, counsel for Jane Doe No. 1 complains that serving a
witness for deposition by the use of a process server and the service of the witness'
parents for the deposition to ensure service, amounts to "continuous and systematic
harassment".
2. The Motion For Protective Order was filed by one of the attorneys purporting to
represent Jane Doe No. 1 in a separate civil proceeding.2 While disagreeing with the
Undersigned counsel for the Defendant responds only to the issues in the Motion for
deposition.
Protective Order concerning service of a subpoena for deposition and the date for that
of any agent of the Defendant going to
Defendant and undersigned counsel have no knowledge
as an attorney who needed to contract
the witness' place of employment representing "himself
Protective
(sp) her" as alleged "on information and belief' in paragraph 8 of the Motion for
Order.
2 The Motion for Protective Order was filed by attorney Theodore Leopold. While he
represent the
purports to represent Jane Doe No.1, attorney Jeffrey Herman also claims to
are presently
interests of Jane Doe No. I. In that separate civil proceeding, the two law firms
litigating who represents the interests of Jane Doe No. I.
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assertion in the Motion For Protective Order that Mr. Leopold and the undersigned agreed
that Mr. Leopold would accept service on behalf of Jane Doe No. 1, and that the
undersigned had agreed not to take the disposition on February 6, 2008, the matter has
been rendered moot.
3. Prior to filing of a Motion For Protective Order, Mr. Leopold and the undersigned
conferred and agreed in writing with the consent of the State Attorney's Office to the taking
of Jane Doe No.1's deposition on February 20, 2008. The parties have also agreed that
Mr. Leopold will accept service for Jane Doe's No.1's appearance on that date eliminating
the need to use a process server to serve Jane Doe No.1. See Exhibit "A" attached. (Jane
Doe No. 1's real name has been redacted from the exhibit.)
WHEREFORE, given the fact that the parties have agreed to a procedure for the
taking of Jane Doe's No.1's deposition, it is respectfully requested that this Court deny
Jane Doe No.1's Motion for Protective Order as moot.
I HEREBY CERTIFY that a copy of the foregoing has been furnished by mail to
Lanna Belohlavek, Esquire, The Office of the State Attorney, 401 North Dixie Highway,
West Palm Beach, Florida 33401, Theodore J. Leopold, Esquire, 2925 PGA Boulevard,
Suite 200, Palm Beach Gardens, Florida, 33410 and Jeffrey Herman, Esquire, 18205
Biscayne Boulevard, Suite 2218, Miami, Florida, 33160, on this 7th day of February, 2008.
ATTERBURY GOLDBERGER & WEISS, P.A.
250 A tralia venu South
Suit 00
rida 33401
CK A. GOLDBERGER, ESQ.
orida Bar No.: 262013
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- 3db08ff3-a778-44ba-8438-d7fc3f22cd05
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- Created
- Feb 3, 2026