EFTA01003719.pdf
dataset_9 pdf 223.6 KB • Feb 3, 2026 • 4 pages
From: Tonja Haddad Coleman
To: Sigrid McCawle
CC: Jack Scarola Chester Brewer
Subject: Re: Epstein
Date: Tue, 26 Sep 2017 21:00:59 +0000
Hello-
Thank you for your response. However, I am not the attorney who will be taking that deposition, and I have been
informed that due to your last email, the date no longer works for us. Please either you or Mr. Pottinger provide
alternate dates. Thank you.
Tonja Haddad Coleman, Esq.
Tonja Haddad, PA
Advocate Building
315 SE 7th Street
Suite 301
Fort Lauderdale, FL 33301
On Sep 26, 2017, at 4:21 PM, Sigrid McCawley wrote:
Hello Tonja,
I understand your position. We can proceed with the deposition as scheduled on October 5, 2017. If it is easier for you
to take the deposition in our NY office, we are happy to accommodate.
Thank you,
Sigrid
Sigrid McCawley
Partner
BOIES SCHILLER FLEXNER LLP
401 E. Las Olas Blvd. Suite 1200
Fort Lauderdale, FL, 33301
(t)
(m
www. s p.com
From: Tonja Haddad Coleman [I
Sent: Tuesday, September 26, 2017 2:41 PM
To: Sigrid McCawley; Jack Scarola
Cc: Brad Edwards; Chester Brewer;
EFTA01003719
Subject: RE: Epstein
Importance: High
Hi Sigrid-
At your request, we have postponed deposition while you reconsider the specific nature and extent of the
confidential treatment, if any, you would be seeking. In that regard, we note that has been very public about
her allegations against Mr. Epstein and others. Moreover, she is Mr. Edwards's client and is identified on his witness list,
and her allegations have been featuredprominently in Mr. Edwards's pleadings throughout this case, which we assume
was with her permission. Use o deposition testimony, whether in pre-trial motions or at trial, would be
unnecessarily complicated by a confidentiality order. As we are a week away from her deposition, which was scheduled
over a month ago, we are unable to agree to confidential treatment under the circumstances.
Tonja Haddad Coleman, Esq.
TONJA HADDAD, P.A.
Advocate Building
315 SE 7th Street, Suite 301
Fort Lauderdale, FL 33301
direct dial
facsimile
www.TonjaHaddad.com
The information contained in this transmission may contain privileged and confidential information. It is
intended only for the use of the person(s) named above. If you are not the intended recipient, you are hereby
notified that any review, dissemination, distribution or duplication of this communication is strictly prohibited. If
you are not the intended recipient, please contact the sender by reply email and destroy all copies of the
original message.
From: Sigrid McCawley [-
Sent: Tuesday, September 26, 2017 12:46 PM
To: Tonja Haddad Coleman < ; Jack Scarola
Cc: Brad Edwards ; Chester Brewer
Subject: RE: Epstein
Hello Tonja,
Boies Schiller will be representing as a non-party witness at her deposition in this action. As testimony
may implicate sensitive issues o we are requesting your agreement that the deposition will
be designated as confidential and subject to an agreed protective order confirming its confidential treatment. Please
confirm that you are agreeable, because if you are not, then we will need to postpone the deposition to seek a Court
order with respect to the confidential nature of the deposition.
Finally, we are happy to host the deposition at our office in Manhattan if that is more convenient for you.
Thank you,
Sigrid
Sigrid McCawley
Partner
BOIES SCHILLER FLEXNER LLP
EFTA01003720
401 E. Las Olas Blvd. Suite 1200
3301
(t)
(m)
•asrup.
From: Tonja Haddad Coleman
Sent: Saturday, September 23,
To: Jack Scarota
Cc: Brad Edwards; Sigrid McCawley; Chester Brewer
Subject: Re: Epstein
Yes it was I am sorry- we were working on scheduling around one of the three dates you gave us. Mr. Brewers
office is preparing the notices
Tonja Haddad Coleman, Esq.
Tonja Haddad, PA
Advocate Building
315 SE 7th Street
Suite 301
Fort Lauderdale, FL 33301
On Sep 23, 2017, at 1:42 PM, Jack Scarola < wrote:
Tonja-
I assume that my omission from the email copied below was inadvertent, but please be sure I am promptly
provided with the NOTICE OF DEPOSITION , which I have not yet received.
Begin forwarded message:
From: Tonja Haddad Coleman
Date: September 18 2017 at 1: 7:14 PM EDT
To: Brad Edwards <
Cc: '
Subject:
Gentlemen-
This will confirm that eposil yard on October 5, 2017 in NYC and that Mr.
Epstein will pay for (and only travel ex enses. Formal notice to follow.
Brad, I also checked my records and I do not believe that has ever been deposed in any case
involving Mr. Epstein. If I am wrong, can you or Mr. Pottinger kindly provide me with a copy of same, or at
least the style of the case to which you are referring so that we may include a "Schedule A" to her
deposition notice requesting copies of same? Thank you both for your cooperation in this matter.
Tonja Haddad Coleman, Esq.
Tonja Haddad, P.A.
Advocate Building
315 SE 7th Street, Suite 301
Fort Lauderdale FL 33301
EFTA01003721
direct dial
facsimile
www.TonjaHaddad.com
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EFTA01003722
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- 4be37f35-8ad1-4e39-bd03-ac6699a1bfcd
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- Created
- Feb 3, 2026