Case Document Entered on FLSD Docket Page of Jane Doe No Epstein Page2 other cases against Defendant EPSTEIN an associate of Defendants undersigned counsel who works extensively on this case was out of the office for two weeks during the month February caring for two of her children who had the flu and the associate herself also caught the flu Defendants counsel is also in the midst of preparing for two state court trials one on a March trial docket and the other specially set in mid-May OLD MARSH GOLF CLUB INC OLD MARSH PARTNERS et al Case No set on trial docket beginning March CARDIOPULMONARY PRIMARY CARE ASSOC OF TREASURE COAST P.A LEWIS M.D Case No specially set for trial beginning May through Discovery in both of these cases is ongoing with several depositions set to prepare for trial The requested extension is fair in reasonable under the circumstances as it will provide time to allow the Defendant EPSTEIN to fully and adequately respond to this and the other amended complaints In addition this action is still at its early stages As certified below counsel for Defendant conferred with counsel for Plaintiff and Plaintiffs counsel is in agreement with the requested extension WHEREFORE Defendant requests that this Court enter an order granting an Defendant an extension until April in which to respond to the Second Amended Complaint Local Rule Statement Counsel for the movant conferred by telephone with counsel for the Plaintiff and Counsel for Plaintiff is in agreement with the requested extension until April for Case Document Entered on FLSD Docket Page of Jane Doe No Epstein Page3 Defendant to respond to the Second Amended Complaint Robert Cri Jr Attorney for efendant Epstein Certificate of Service I HEREBY CERTIFY that a true copy of the foregoing was electronically filed with the Clerk of the Court using CM/ECF I also certify that the foregoing document is being served this day on all counsel of recqnj Pentified on the following Service List in the manner specified by CM/ECF on this day of March Stuart Mermelstein Esq Adam Horowitz Esq Mermelstein Horowitz P.A Biscayne Boulevard Suite Miami FL Fax ssm sexabuseattorney.com ahorowitz sexabuseattorney.com Counsel for Plaintiff Jane Doe Jack Alan Goldberger Esq Atterbury Goldberger Weiss P.A Australian Avenue South Suite West Palm Beach FL Fax jagesg bellsouth.net Co-Counsel for Defendant Jeffrey Epstein Respectfully submitted By __ ROBERT ITTON JR ESQ Florida Bar rcrit bcl aw.com MICHAEL PIKE ESQ Florida Bar mpike bclclaw.com BURMAN CRITTON LUTTIER COLEMAN Flagler Drive Suite West Palm Beach FL Phone Fax Co-Counsel for Defendant Jeffrey Epstein Case Document Entered on FLSD Docket Page of UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE NO 08-CV-80380-MARRA-JOHNSON JANE DOE NO Plaintiff JEFFREY EPSTEIN Defendant I ORDER ON DEFENDANTS MOTION FOR EXTENSION OF TIME IN WHICH TO RESPOND TO SECOND AMENDED COMPLAINT This matter came before the Court on Defendants JEFFREY EPSTEIN Motion For Extension of Time In Which to Respond to Second Amended Complaint Having considered Defendants motion and Plaintiffs counsel being in agreement with the requested extension it is HEREBY ORDERED and ADJUDGED that Defendants motion is GRANTED Defendant shall respond to the Second Amended Complaint on or before April DONE and ORDERED this __ day of Kenneth A Marra United States District Judge Courtesy Copies Counsel of Record
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