EFTA01111280.pdf
dataset_9 pdf 236.9 KB • Feb 3, 2026 • 4 pages
IN THE CIRCUIT COURT OF THE 15th JUDICIAL CIRCUIT
IN AND FOR PALM BEACH COUNTY, FLORIDA
CIVIL DIVISION
CASE NO. 502009CA040800X3OOCMBAG
Judge David F. Crow
JEFFREY EPSTEIN,
Plaintiff/Counter-Defendant,
v.
SCOTT ROTHSTEIN, individually and
BRADLEY J. EDWARDS, individually,
and ■., individually,
Defendants/Counter-Plaintiffs.
PLAINTIFF/COUNTER-DEFENDANT, JEFFREY EPSTEIN'S MOTION FOR LEAVE
TO USE DOCUMENTS PRODUCED UNDER CONFIDENTIALITY AGREEMENT
Plaintiff/Counter-Defendant, Jeffrey Epstein ("Epstein"), by and through his undersigned
counsel and pursuant to the Florida Rules of Civil Procedure, files this his Motion for Leave of
Court to use certain documents which are not privileged, which were produced under a
Confidentiality Agreement by the Defendant/Counter-Plaintiff, Bradley J. Edwards
("Edwards"). The grounds for this motion are as follows:
I. On or about February 23, 2011, Edwards produced documents under a
Confidentiality Agreement. The production was in two parts. The first documents, were labeled
for review by attorney's only. ("Attorney's Eyes Only"). The Second set of documents, were
labeled irrelevant, but could be reviewed by Epstein ("Irrelevant"). Under the Agreement, if
Epstein's counsel believes the documents were either not privileged or relevant, leave of court
would be sought prior to disclosure.
FOWLER WHTTE BURNETT P.A. • 901 PHILLIPS POINT WEST. 777 sount FLAGLER DRIVE. WEST PALM BEACH. FLORIDA 33901 •
EFTA01111280
Jeffrey Epstein v Scott Rothstein, et al.
CASE NO. 502009CA040800XXXXMBAG
Epstein's M/Leave to Use Docs produced under Confid. Agreement
2. Counsel for Epstein believes the following documents which are being submitted
in-camera to this Court for review, are either not privileged and/or are relevant below and show
the following:
(1) Meetings related to the Non-Prosecution Agreement, which had nothing to
do with the Edwards' victims claims and contain no confidential information;
(2) Memos demonstrating intent to try and force Epstein to settle and
specifically going after the people close to him. These memos are not protected by any
privilege;
(3) Using Q-Tasks for the Epstein matters. These documents are not
privileged and are needed for future discovery requests;
(4) Using media to feature Edwards' firm regarding the Epstein case for the
purpose of attracting investors. No confidential information involved in this document;
(5) Lack of good faith basis for a motion filed in federal court to freeze
Epstein assets pre-judgment was denied. No privilege involved;
(6) Serving subpoena for Epstein medical and prescription records, when no
issue of Epstein's health was in the case. No applicable privilege exists;
Numerous emails scheduling meetings with Edwards and many of the
lawyers in Rothstein, Rosenfeldt & Adler, P.A. ("RRA"), including Scott Rothstein
("Rothstein"), contrary to Edwards' deposition testimony. Documents contain no confidential
communications and are merely evidence of the meetings;
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•
FOWLER WHITE BURNETT. 901 PHILLIPS POINT WEST. 777 SOUTH FLAGLER DRIVE. WEST PALM BEACH. FLORIDA 33401
EFTA01111281
Jeffrey Epstein v Scott Rothstein, et al.
CASE NO. 502009CA040800XXXXMBAG
Epstein's M/Leave to Use Docs produced under Confid. Agreement
(8) Email demonstrating Edwards knowledge of recording devices in firm
including for speaker phone conversations, Not privileged and possible violation of Florida
Criminal Statute relating to wire-taps;
(9) Email demonstrating contacts with U.S. Attorney's Office for the purpose
of interfering with the Non-Prosecution Agreement. It is not privileged because it is a
communication with a third party;
(10) Efforts to depose Donald Trump, a friend of Epstein who had no
knowledge of the case and Alan Dershowitz, one of Epstein's criminal lawyers in the victim
cases also without any knowledge of the case in furtherance of the purpose of going after those
close to Epstein. No privilege information involved;
(11) Emails by and between Rothstein and A.J. Discala ("Discala"), and other
investors showing the need to conclude the receipt of investor monies on Epstein cases so that
Rothstein does not lose his Epstein Plaintiffs to other lawyers and so that one Epstein Plaintiff
does not report him to The Florida Bar. These are communications with third parties and
involve no privilege.
3. These documents were produced under a Confidentiality Agreement and are not
identified on the Privilege Log. A simple review of the documents will clearly show that it
contains no attorney-client communication and no work product information that relates to an
attorney's thoughts or strategies. The emails do contain evidence of the Rothstein's firm to use
other extra-judicial or inappropriate judicial means to further the advancement of the Ponzi
scheme and thus are not privileged.
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FOWLER WHTTE BURNETT P.A. • 901 PHILLIPS POINT WEST. 777 sount FLAGLER DRIVE. WEST PALM BEACH. FLORIDA 33401
EFTA01111282
Jeffrey Epstein v Scott Rothstein, et al.
CASE NO. 502009CA040800XXXXMBAG
Epstein's M/Leave to Use Docs produced under Confid. Agreement
WHEREFORE, Plaintiff/Counter-Defendant, Jeffrey Epstein, respectfully requests that
this Court review these emails and enter an Order granting permission for Epstein to use these
emails and release them from the provisions of the Confidentiality Agreement.
I HEREBY CERTIFY that a true and correct copy of the foregoing was emailed and
mailed this day of July, 2011 to:
Jack Scarola, Esq.
Searcy Denney Scarola Barnhart & Shipley, P.A
2139 Palm Beach Lakes Blvd.
P.O. Drawer 3626
West Palm Beach, FL 33409
Jack A. Goldberger, Esq.
Atterbury Goldberger & Weiss, P.A.
250 Australian Avenue South, Suite 1400
West Palm Beach, FL 33401-5012
Marc S. Nurik, Esq.
Law Offices of Marc S. Nurik
One E. Broward Blvd., Suite 700
Ft. Lauderdale, FL 33301
Respectfully submitted,
Joseph L. Ackerman, Jr.
Fla. Bar No. 235954
Email:
FOWLER WHITE BURNETT, P.A.
901 Phillips Point West
777 South Flagler Drive
West Palm Beach, Florida 33401
Telephone:
Facsimile:
Attorneys Jeffrey Epstein
WASO743).MOTION374.1olion for Leave to Use Does Produced Under Confid. Agreemen1.1LA.ducx
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FOWLER WHOM BURNETT P.A. • 901 PHILLIPS POINT WEST. 777 sount FLAGLER DRIVE. WEST PALM BEACH. FLORIDA 33401
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