EFTA00589822.pdf
dataset_9 pdf 116.0 KB • Feb 3, 2026 • 1 pages
IN THE CIRCUIT COURT OF THE
SEVENTEENTH JUDICIAL CIRCUIT, IN
AND FOR BROWARD COUNTY, FLORIDA
CASE NO.: CACE 15-000072
BRADLEY J. EDWARDS and PAUL G.
CASSELL,
Plaintiff(s),
vs.
ALAN M. DERSHOWITZ,
Defendant(s).
ANSWERS TO DEFENDANT DERSHOWITZ'S FIRST SET OF DOCUMENT
REQUESTS TO BRADLEY J. EDWARDS AND PAUL G. CASSELL
Plaintiffs, Bradley J. Edwards and Paul G. Cassell, by and through their undersigned
attorneys and pursuant to Rule 1.350, Florida Rules of Civil Procedure, hereby respond to
Defendant, Alan M. Dershowitz's, First Set of Document Requests dated February 11, 2015 to
Plaintiffs as follows:
All production materials as to which there is no objection are available for inspection and
copying at the offices of Plaintiffs' counsel as soon as the Defendant's past due production has
been made available to Plaintiffs.
1. All Documents Concerning the alleged "character assassination" referenced in
paragraph 8 of the Complaint.
See complaint from Jeffrey Epstein v. Bradley J. Edwards. See also pleadings and
materials in the case file in this case.
All production materials as to which there is no objection are available for inspection and
copying at the offices of Plaintiffs' counsel as soon as the Defendant's past due production has
been made available to Plaintiffs.
2. All Documents Concerning Dershowitz's alleged "participation in Epstein's
criminal conduct" referenced in paragraph 16 of the Complaint.
Edwards and Cassell object to this request as being vague, overbroad, and unreasonably
burdensome, as well as seeking irrelevant and inadmissible evidence and information not
EFTA00589822
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