UNITED DISTRICT COURT-4.8 SOUTHE-3.1RN DISTRICT OF FLORIDA JANE CAS-3.5E NO 93-CIV-MARRA/JOHNSON Plaintiff vs JEFFREY EPST-4.5EIN et al Defendant Related Cases PLAINTIFF-5 JANE DO-8E?S OBJE-3.8CTION TO EXT ENSION OF TIME7.5 TO FILE A7.7PPEAL AND IN THE ALT-4.6E1.6RNATIVE REQUEST DIRECTION TO EPSTEIN BEGIN MATERIALS Plaintiff Jane Doe respectfully files this Objection to Defe ndant?s Motion for Extens-5.5ion of Time dkt Epstein is apparently reques ting an additional days-5.5 from February to file an objection to an or der from the magistrate judge that he produce documents-4.9 that were provided to him by the Government during the discov-5.4e.7ry ph ase of the criminal case As magistrate judge c-5.3oncluded any purported Fifth Am endment objection to producing such documents is utterly groundl ess The Fifth Amendment protects a defendant from revealing things to the Government that it does not know The Government obviously knows-5.1 what is in the documents that it gave to him Therefore there is no legitimate Fifth Amendm ent objection to such production Case Document Entered on FLSD Docket Page of Case Document Entered on FLSD Docket Page of CASE NO In addition,-7.8 days on top of the alr eady prescribed days to appeal is an excess-5ively-5 long period of time As the Co urt is aware the discov-4.9e1.3ry period prescribed in this-5.3 case will s-5.3oon draw to a Jane Doe needs-5.5 the doc um-7.3ents produced quickly-5.3 and in a timely fashion so that she can pu rsue any le-4.2ads revealed in them during the discovery period the alternative if the Court grants any extension of time to file an appeal Jane Doe respectfully requests that the extension or der inc-4.7l2.5ude a direction to Epstein fully assem-6.9b1.3le all of the required documents so that if Epstein?s-5 appeal is-5 rejected the documents can be produced to Jane oe without any further delay DATED February Respectfully submitted Bradley Edwards Bradley Edwards-5.3 FARMER JAFFE WEISSING EDWARDS FISTOS LEHRMAN P.L North Andrews Avenue Suit-7.8e Fort Lauderdale Florida Telephone Facsimile Florida No E-mail brad pathtojustice.com and Salt 2720Lake 2720City Telephone:-7.7 Facsimile:-7.7 E-Mail 110cassellp law.utah.edu Case Document Entered on FLSD Docket Page of Case Document Entered on FLSD Docket Page of CASE NO CERTIFICATE OF SERVICE HEREBY CERTIF-4.1Y that on February I electronically filed the foregoing document with the Clerk of the Court using CM/ECF I also certify that the foregoing document is being served this day on all part ies on the attached Service List in the manner specified either via transmission of Notices of Electronic Filing generated by CM/ECF or in some ot-6.9her authorized manner fo those parties who are not authorized receive electronically filed Notices of Electronic Filing.-7.5 Bradley Edwards Bradley Edwards-5.3 Case Document Entered on FLSD Docket Page of Case Document Entered on FLSD Docket Page of CASE NO SERVICE LIST Jane Doe Jeffrey10.8 Epstein United States District Court Southern District of Florida Jack Alan Goldberger-7.7 Esq Jgoldberger agwpa.c-5.1o1.1m Robert Critton Esq rcritton bclcla-4.3w.com Isidro Manual Garcia isidrogarcia bells-5.2outh.net Jack Patrick Hill iph searc-5.7y-.7law.com Katherine Warthen Ezell KEzell podhurst.com Michael James Pike MPike bclclaw.com Paul Cassell cassellp Richard Ho-4.5race Willits-5.7 lawyerswillits aol.com Robert Josefsberg rjosefsberg podhurst.com Adam Horowitz ahorowitz-5.6 5sexabus-5.6eattorney.com Stuart Mermelstein-4.1 ssm sexabuseattorney.com Case Document Entered on FLSD Docket Page of Case Document Entered on FLSD Docket Page of
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