Filing E-Filed AM IN THE CIRCUIT COURT OF THE FIFTEENTH JUDICIAL CIRCUIT IN AND FOR PALM BEACH COUNTY FLORIDA Case No JEFFREY EPSTEIN Plaintiff/Counter-Defendant PART7 SCOTT ROTHSTEIN individually and BRADLEY EDWARDS individually Defendants/Counter-Plaintiff PLAINTIFF/COUNTER-DEFENDANT JEFFREY EPSTEINS APPENDIX OF DOCUMENTS IN SUPPORT OF HIS REVISED OMNIBUS MOTION IN LIMINE Plaintiff/Counter-Defendant Jeffrey Epstein Epstein files this Appendix of Documents in support of his revised Omnibus Motion in Limine No Date Document Epsteins Motion to Amend Complaint D.E Plaintiffs Motion to Strike References to Non-Prosecution Agreement or in the Alternative to Lift Protective Order Barring Jane Does Attorneys from Revealing Provisions in the Agreement D.E Jane Doe Jeffrey Epstein S.D Fla Case No Plaintiffs First Amended Complaint D.E Jane Doe Jeffrey Epstein S.D Fla Case No Jeffrey Epsteins Deposition Transcript Excerpts pp E.W Jeffrey Epstein th Judicial Circuit Case No FILED PALM BEACH COUNTY FL SHARON BOCK CLERK AM No Date Document Plaintiffs Motion for Injunction Restraining Fraudulent Transfer of Asserts Appointment of a Receiver to Take Charge of Property of Epstein and to Post a Million Bond to Secure Potential Judgment D.E Jane Doe Jeffrey Epstein S.D Fla Case No 08-cv-80119-MARRA/JOHNSON Order Denying Plaintiffs Motion for Injunction etc D.E Jane Doe Jeffrey Epstein S.D Fla Case No MARRA/JOHNSON Letters from Edwards re depositions Complaint D.E L.M Jeffrey Epstein S.D Fla Case No NIA Court Docket L.M Jeffrey Epstein S.D Fla Case No Re-Notices of Taking Videotaped Deposition of Donald Trump Jane Doe Jeffrey Epstein S.D Fla Case No Plaintiffs Request for Entry Upon Land D.E E.W Jeffrey Epstein th Judicial Circuit Case No Epsteins Motion for Protective Order Regarding Depositions of Lawrence Visoski and David Hart Rogers D.E L.M Jeffrey Epstein th Judicial Circuit Case No Article South Florida Sun-Sentinel Scott Rothstein investment deals seemed too good to be true Article New Times Broward-Palm Beach Scott Rothstein The Jeffrey Epstein and Bill Clinton Ploy Verified Complaint for Forfeiture In Rem D.E United States of America Scott Rothstein Forfeiture Action S.D Fla Case No Article South Florida Sun-Sentinel FBI doubts Rothstein ran a Ponzi scheme alone No Date Document Complaint without exhibits D.E Razorback Funding LLC Rothstein 17th Jud Cir Case No Amended Verified Complaint for Forfeiture In Rem D.E United States of America Scott Rothstein Forfeiture Action S.D Fla Case No Article South Florida Sun-Sentinel Youre in a town full of thieves Article The Miami Herald Feds Scott Rothstein Ponzi scheme paid salaries at law firm Amended Complaint without exhibits D.E Razorback Funding LLC Rothstein 17th Jud Cir Case No Information D.E United States Rothstein S.D Fla Case No Complaint without exhibits D.E Affidavit of Jeffrey Epstein D.E Bradley Edwards Deposition Transcript Excerpts pp Bradley Edwards Deposition Transcript Excerpts pp Bradley Edwards Deposition Transcript Excerpts pp Email from Pricilla Nascimento to Scott Rothstein Email from Bradley Edwards to Priscilla Nascimento Email from Ken Jenne to Scott Rothstein Scott Rothsteins Deposition Transcript Excerpts pp No Date Document Scott Rothsteins Deposition Transcript Excerpts pp Razorback Funding LLC Rothstein 17th Jud Cir Case No Scott Rothsteins Deposition Transcript Excerpts Razorback Funding LLC Rothstein 17th Jud Cir Case No Jeffrey Epsteins Deposition Transcript Excerpts pp Edwards Amended Exhibit List D.E Epsteins Objections to Edwards Amended Exhibit List D.E Edwards Seventh Amended and Supplemental Witness List D.E Jeffrey Epsteins Deposition Transcript Excerpts pp CERTIFICATE OF SERVICE I certify that the foregoing document has been furnished to the attorneys listed on the Service List below on November through the Courts e-filing portal pursuant to Florida Rule of Judicial Administration Jack Scarola LINK ROCKENBACH PA Palm Beach Lakes Boulevard Suite West Palm Beach Florida fax By Isl Scott Link Scott Link FBN Kara Berard Rockenbach FBN Angela Many FBN Primary Scott linkrocklaw.com Primary Kara linkrocklaw.com Primary Angela linkrocklaw.com Secondary Tina linkrocklaw.com Secondary Troy linkrocklaw.com Secondary Tanya linkrocklaw.com Secondary Eservice linkrocklaw.com Trial Counsel for Plaintiff/Counter-Defendant Jeffrey Epstein SERVICE LIST Nichole Segal Searcy Denny Scarola Barnhart Shipley P.A Palm Beach Lakes Boulevard Burlington Rockenbach P.A Courthouse Commons Suite West Railroad A venue West Palm Beach FL mep searcylaw.com jsx searcylaw.com scarolateam searcylaw.com Co-Counsel for Defendant/Counter-Plaintiff Bradley Edwards West Palm Beach FL njs FLAppellateLaw.com kbt FLAppellateLaw.com Co-Counsel for Defendant/Counter-Plaintiff Bradley Edwards Bradley Edwards Marc Nurik Edwards Pottinger LLC Law Offices of Marc Nurik Andrews Avenue Suite One Broward Boulevard Suite Fort Lauderdale FL Ft Lauderdale FL brad epllc.com marc nuriklaw.com staff.efile pathtojustice.com Counsel for Defendant Scott Rothstein Co-Counsel for Defendant/Counter-Plaintiff Bradley Edwards Jack A Goldberger Atterbury Goldberger Weiss P.A Australian A venue Suite West Palm Beach FL goldberger agwpa.com smahoney agwpa.com Co-Counsel for Plaintiff/Counter-Defendant Jeffrey Epstein APP ii ll l6 i Pagel IN THEclRCUlT COURT OF THE F1FTEENTH.JUDICIAL a!RCUIT IN AND FOR PALM BBACH COUNTY FLORIDA CASE NO AG Complex Litigation Fla.R.c::iv:Pr0 JEFFREY BP STEIN _Plaintiff vs VOLUME I OF Il SCOITROTHSTEIN individually BRADLEY EDWARDS individualJy and individually 267oefindallts VlDEOT PED DEPOSlTIONOPJffiADLEYTEDWARDS ESQUlRB i I iuesday,Mar h.23,ZQOlO l5 I p.m Palm Beach Lakes Boulevard Vest Pllhn1?ea Florida Repo1ted By Cynthia Hopkins RPR FPR NotaryPublic State ofF.lorida Prose Comt Reporting Job No APPEARANCES On behalfofthe Plaintiffi ROBERTD CIUTION JR ESQUIRE __ BURMAN CRlTTON I.UITIER COLEMAN LLP Banyan Bouleyard Suite400 West Palm BeachlFlorida Phcie and JACK ALAN GOLDBERGER ESQUIRE ATTERBURY GOLDBERGER WEISS P.A Australian Avenue Soi.Uh suite West Palm BeacJ1 Florida Phone and On behalf of lhe Plaintiff ALAN DERSHOWlTZ ESQUIRE HARVARDL WSCHOOL Hauser Camb1 267idge Massachusells Phone On behalf of the Defendant JACK SCAROLA ESQUIRE SEARCY DENNE SCAROLA BARNHART Sl-lJPLBY P,A Palm Beach Likes Boulevard West Palm Beach F!Qrida Phone ALSO PRESENT Jeffrey Epstein __ Joseph Kozak Videographer Prose Reporting Services Page ll Page 3_ INDEX EXAMJNA:rrqN DlRBct GROS IIBDIR,ECT BRA.ptEY i EDWARDS,ESQUIRE BY MR CRlTION EXHIBITS EXHIBIT DESCRIPTION PiAINTIFFtS EX i ALFREDO RODRIGUEZ CRIMlNALCOMPLAINT Zll PLAINTIFFSEX COMPLAINT PLAINTIFFS EX JULY FACSMlLE Page PROCE.EDINCi Deposition takeii before CyrithiaHopkis Registered Professional Reporter and Florida ProfessionalReporler and otary Public in andfor_ the S.tate of Florida at Large in the above cause THE.VlDEOGRAPHER We are now on video record This is Media Number dne hithe videotaped dep_osition of Bradley Edw fo the latter of effrey,Epstein versus Scott Rothstein Bradley_ Edwards and L.M Today is Tuesday March 23rd at a;m Were.here in the law offices qfSe y.-Denney Scarola Baniliart Shipley Palm Beach Lakes Boulevard West Palm Beach Florida My name is Joe Kozak._ amthe videographer The court reporter is Cindy Hopkins froniProseJ Prose CourtReportirig Agency Will counsel pleaseinfroduce yourselves and_ then the _court reporter 267.will swear in the witnesses MR CRITTON BohCrittori ori behalf of the PROSE coURTREPORTING AGENCY INC Pages to ll iG a io i7 Page A dont know that thats a correct statement You dont know one way or the other A The law finn wa constantiy exp3IlcHng and constantly ifader construction For the most part in the beginning the cases were kept in a in a filing cabinet in my offic and later w.ere kepfin a filing cabinet believe in locked storage location in another area of the office And.did any attorney have access to that storage a ea do you know A I believe any attcirrie could have had access And if the attorney could have access You uldl necessadly know about it true A Correct In the trnstees filhlg that they made ln response to my motion to preserve evidence they indicateq that bo es relating to Jeffrey Epstein had.been removed by the FBI or the government when they came into the RR.A offices Do you remember seeing that pleading A No Okay Are you weiethere;in fact boxes of material or at least bankers boxes of material that related to matters directed to whether liatevet the content lelated to Mr Epstein ge that yciu were aware of tl1at is hard copies A Idontknow Okay Could h,ave been more could have beetiless;youjust dontlmow A Correct IfI understood your testimony Mr Rothstein,IylriRosettfeldt any other attomey or investigator could have accessed those 267mes depending or where they were within the finn trite A I am not sure exactly who could have accessed it You asked me xf the attorneys could and the attorneys had swipe cards for various locked arnas Each attomey I believe had access to rui:Yarea vhere those files were located I believe so Okay Well during the time youwere there did tin individual by the name of Ken Jem1e work there A Yes Okay Did an individua y-the name of Mike Fis ten work for the finn A Yes for RRA Were they employees of the firm or were they independent contractors A I dont know Okay Durintdhe time thefwere tl ere ll rn a i9 Page ili did they also have swipe cards soJhatth could access different area.sin the film A believe so With regard to when youjoinecl RRA did you ever have any furthermeetjngs wit Mr Rothsteiil that is from the dayyciu started at RRA did you ever meet Mr Rothstein again Ai meet hirnagain Did yciu ever have a meeting with him again regarding your position in the firm A No Okay D_id you ever meet with him and a number of other individuals with regards to fiim business A,:.No Firm cases A I doiit believe so Was Mr Rothstein ever present in any meeting where a11y of your cases were discussed Let me strike that Was _Mr Rothstein eve1 present wherein at any meeting where any of the cases agaius Jefft Epstein were discussed Dont tell me conte.nt just Vas ever present A How would I know that dotit mow He could he could be in a meeting right now where the case Pagel12 could be discussed for all I lmow Im s6riy Obvimisly where you where 267you were present Whe1 you ever present at a meeting where Mr Rothstein was also present where the Epstein cases were qiscussed A No DTcfn,_e_e_v-er_c_a you to communicate witfi Y,ou call Y.OU eitlier DY.P.hone;vloeo conference in fasnion to discuss artY act aspect ofthecases H1at Y.OU had against JeffreY E2steini MR SCAROLA You can answer that tHifWIINESS:lle has communicateuabout yaHous about leg ifissues re1ateo to tlie"case as"well as commentea about t1ie case to me on ew occasiorisbut I"woula saY less thag three times BY MR CRITTON During the tinie tliatyoti,.frorii Aprilof th.tough late October of correct A fa thaftime period yth.ere is that when these Correct A things happened Well thats the time you were there thats wliat I am asking Pages to l?ROS COtJ_RT REPORTING AGENCY INC is is Page.113 A When I was there i Ahd do you can you remember the date any specific date that you spoke with him A No Do you rememberany specific month that you would have had one of the well what did you say something less than five ccinversatioris dont wa11t to squote you A I said less thaii three conversations All right So somethihgless then three conversations you had with Mr Rothstein regarding Epstein cases eithedegal issue or a comment some colentabout the case to you correct Yes All right The first time that he ever spoke to you did he call you or did you call him A I,I never called Scott Rothstein about ai1ything Oh take that back Aboufanythingrelated 267to.Jeffrey.Epstein where either a Iegalissue or a comment.was macie aboutJ effrey Epstein by Mr Rothstein to you he obvfouslyfoitiated the call A lt.wastifa calL What was it Page A A commentin passing And I believe lwas sitting at a table in BOVA when he walked over to my table and commented aboud effrey Epstein Okay Who were you there with at the time A i dont remember Were you wiU1 sornefriends Were you wit.h other lawyers A All right I amjoggingmymemory I I have no idea What did he say MR S.CAROLA To the extent that you can answer.th.at qt1estion without 9isclosing any merital inipressioris withregru:d to the law or any attorrie:Y:.clietit privileged communicationsi you can answer To the exten that it 1pight invade either the work-product or attomey-clierit privilege you should not respond THE WITNESS Can I talk to you MR SCAROLA Sure A briefrecess was held 225?vIR.SCAROLA Are we on 267THE VJDEOGRAPHER Yeah MR SCAROLA TI1e record should reflect Page li5 that we have had an opportunity te c.onsult and lhave advised Mr Edwards that there is no privilege protection for the particular communications invo1ved BY MR CRITTON What did he say A He commented to me want you to get that pedophile And your response was what A didnt respond An tight Second conversation that you can reinember where were you I had just come outofthe c6riferericeroom on tile ms,in floor after taking a deposition iri another case And he walke by and said did.you get that Fing pedophile yet And your response A 4gain No response A 225Didntrespond On the first occasion whell he came ovei nd if understand correctly a11he saidwas the comment thatyoi.l refere11ced and then he left You didnt respond and then he just made the bonunent and then left Page A Right He was walldng by in his n.onnal loud osteiifatiotts kind of way greeting eve1ybodyjn the restaurant Came over to my table and he feels at _Jeasf my Jmpr 247jon was opliged fo say something to everyone Anet thati he conu.n he said io me And if youve ever seen hirn lie is 267basically.always just skipping arow1d and he hoped on over somewh.ere else yes it was in literally in passhig Okay How how,how did he even know you lid cases involving Mr Epstein A i dont know Because think you testified earlier that you had never discussed an Epsteiri case with Mr Rothstein one-on-one correct A Absolutely Yoti never discussed anEpsteiri.case or either of your three clients with Mr Rothstein even with a group of people around correct A Correc.t Alrngli.tJ Do you rememoer a tliirq occasion tnathespoketo OU regarding 247estein relateo ccas1on cas A else me abouf1 relateutoEpsteirelateo 267issues is attorney-client ana tPc:tges to PROSE COURT REPORTING A.GENc iINC ᯛf IL?i V??nW r??F 7rY 6K 1MQ CxR?e pΤU M?N ٲNM rF5 id v?BX I?о Ca8N e??A _Ɛ?M g2 NP?ow Ř?c e?v?3?oA?w v??j?cr bc??l S?g O4Aݏ9 I hf Dc7 UX F,ۼ B?ҵ P?ǽ wm?ww q??U ֈ?k үj sy ʍ??b?Bxz vx AY1 CC?nV?(A?B u?E er B?Xuݸ?X WMM LĿ qHپ A _v FN dKmjO cV NUQ X?gH??E Qv?Ai?bH?U9?C??y?kA?n?S 5yE i?j Tf 5vz?n?ɚ??a?q e?Y KJ?T Rӣ?ti ږa f??T u?q qy c?e f8 Op m??zv E??ZEC H9?X??ai h?P UT J??Q I4 ε?s?w w?x Fq6ɷm?R ԼU6 Fa _?TA P?Ρ z8?P OHh?9?d hG?ޘ?I?d W?Y w?ʱ Dѫ?ƔC bG?8 w?Cj UG yEp??s?1L?P?m??l?yi a?c m?Չ T?V oY z.X 齟tn c??I Wx?8?V:h 죍?e?e ʤ?O?g nhO XqH eLzAJ?4?vjB q?f u?q ū?ґJ?7?i 7?nQ sL Ľ?c w0 E?N YY0 u?hp??iE r?Q?t Fk?Z 3Q z??h J/x?z e?A q?xƁj?aJb?e?e lk x?g zf TB?E??eb Dx ST UI SC qv9 O?D圦5 ǃB?A?b pP m?c7 ok Mԙ??uE x??a I yf?6o?vd ɓC Z??Ğ?ڮ Na Y?wyOp t0 0Y?na?0c i?a iG i?5J??ˉ0ȿA SR?s L??M h?N B??Zص Fq?8 qD R??v sz v?Wz1?k bb BUv a aѐFɈ x?:?ns J?ZB ߴ?_d v??ϙ y?P gS d?k?y Zs??B Dh Oo?Z?pI?a??Nl?w i??ŭ DCXuh?0:?D ď?F?v?J Q?vϴ Qoo?Ȋ?u kJ G?AY Eo mEẖ?Qx js LY x?Җ yz ɼCuI??D?/K ܚÊ_;?ip cC A?Zh W?G?Z h?s;f?z t?g X?x?x i?n D?F I P??ѣ K?u k?H拜 d;a?x??a?6xt QiΔCգ Nt XBJ qZ c??Rpi?p?4 ᒃr S??d?U?C?E c?bc?U2 vȜ Ψ?x?Ԍ?a M?l Sڹ ҚT X?G EH Yl C?rI?G R6G3??gHpy S胠 FMFi w4 ᨴ0 w??Fʙ??Z!ᤔ ܬb қk cS p4ZKf?In??Jd Dúb cD?)o?ݷH 4jIA??Fb??vM I q0 G??Ba N?ro?Tam?jW qξ I?y?S?P?vZ jܙ d?z U??e bĠ I A YL6c?t?o?g SE?w 5dKR _?aI?K ZQ?4 UX h?:ѕ cän-ہ Ë?Óf a v?d A I0 I??Vq?a?L??qs ߨd IG R?N?B U??U H?x i I Page work am not going lo""divul Okay _I a1ot I need to s_tili ask the last question tl1ough I thougiit you said eadier is that you never had any substantive ooitversatiims maybe I misundersfood,with Mr Rothstein about the Epstein cases Did tnisuMersta11d you A I:iicint believe that that was lhad conversations at a point about legal issues relateii to effrey Epstein and thatSi thats it Was that a cme c:onversation that a nuri1ber of conversations.that you l1ad wl1ere legal issues were discussed as to separate and apart from t11e two comments he made ab?ut the case to you which you were you waived any p1ivilege York-product or attoiey-client privilege A I can tell you If you and I this mominghad a conversation and then we took a bathroom 1fre ancl had the same c6ntinulng corive:rsaiion,I dont know if thats one coriversatioii of twcL ButTcan teU you the the only time I remembe1 Scott Rothstein participatif!g in any way shape orfotm in any conversation related to anything substantive dealing with alJd not dealing with any specific clierit but a legal issue was on a particular one day event one-day Page conversation if you want to caff it And thats at what.time At that tinfo legalissues were discussed 1R SCAROLA Legal issue.was the testim ny a pai:ticular legal issu.e Iv.IR CRITTON Correct Alegafissue BY MR CRITTON When did that occur that is this one-day discussion or a ay discussion occ_llr regarding a specific legal issue A I dont know 267yras_he present;heMr Rothstein and you present at tlle same time A Yes Okay Was anyone else there with OU A Yes I i Page A ScottRothsteins office Had.you be:e11 called up to meet Vit4 Mr R.othstein A Yes Okay And who contacted you and told you I that Mr Rothstein Watited to see you A His his secretary or paralegal or something A..nd did you get a call saying Mr Rothstein would like tosee you rightnow or VaS it something that was scheduled A It was not scheduled So you got a caU and somebody told you come up Scott Scott wants to see you A I dcinfremember exactly whatwas used but it Vas I believe Russell is discussing a legalissue with Scott Rothstein conie to his office Okay Waithe legal i sue did it involve one of the Epstein cases or the Epstein cases A It it was a legal issue related to yes Okay Jlov-rlong how 1nuchtiJ:ne did spend well let me strike that So whenyou wentup to Mr Rothsteins office its I understancl you Jacl to go through some security to get in A Youve seen the video I actually havent A reaUy Okay Yeah its Jn.ordertQ get into Mr Rothstein A lt sJike a compotmd Page Kind of concern you that this guy running the finn had a compound A I at the time no In retrospect okay now that we all ki1ow.how this whole thing unfoided but at the time no iliad yo_u ever worked in an office And you had worked at some big offi c.es YOU worked a the I State Attorneys office in Broward County A True YouworkedJor I thinl for Kubicki Draper A Correct Who.else was present Did Mr Kubicki Gene Kubickfeverhave a A Russ Adler someone was on the telephone Im compo_und arounJhi officethat you Iiad to go not remembering who that was I cant remember lwill through any type ofsecmity either people and/or tell you ifI cio relemb.er locked doors or secured cloors in order to access Was Bill Berger there him A And you dont So there was you Well Had Yoll ever worked otherJhan the Broward Jet me sti.ikc that Where did the conversation take County Sheriffs at the Broward CouritYState place Attorneys Office with and with Kubicki Draper had l;;m i SBlS i i ma i;a __ li;!l m:;mi;;i cl.l Pages to PROSE COURT REPORTING AGENCY INC is 1Sl lZ 2L Pag_e YCltl ever worked for a large fltJ A No Youjustnamed1ltheplaces have worked All right Is this the first tinie then that you had been to Mr Rothstein office that he called you up there A No You had beenin his office before A One time And what was tl1atoccasion A I was havbig backsi.irgery arid I went iere to tellhim I am having back surgery As you know I had pack st1rgery and I.was telling him ldontlmowhow long Im going to be off because you know the recovery time is different for everybody Is.that the only thing you talked about thel acl surgery A Thats tho only thhig we talked about a Did the meetil you Irnd with Scott when you went up en Ju were called up to his office i that day did th1lt occur before your back surge1y episode or lneetirig or aft-ei A After So you would.you ld back surgery think you were out two or thre.e weeks anci then you Page rel nec!_ tlie office ano thenlliatm.eeling WOlo have occurreE A Yeah thats corre Wlien you i order to get ifitotlie offiq Jt1st ll aye ile nl:ie a err ow mru.2n did you have to go througliany security people to gefifit qmpOUllO CRITIQN V!ll use comp_o1md you more colfifo able"withcoiliP,biliid or aburlkeri I have see descri ed b6thWays I navel een the video;butJliave seenirnescribed liWays IBEWITNESS:"Twili-describeiff Vell I ur que tioru Security people I don 9w if er _was ve time whehfohe Wotild Have tQ go thro11g1J se??Uo/i:Jeopleto eftohis office But o1 the day or two days thatlhavebeeri iilhi office I clid nofencounter any securi ff tioimeq crurr 1JJdyou ye ecl e"office?J A:i Ifwas more complicated than that Page How many security differ nt security levels did you have to go through in order to get to go have yourmeetingwith Mr Rothstein and Mr.Adler A Two Anq to yourrecoilection you don 225rerne1ber ever seeing a security person A Right Okay who was in the office A Well sorry A I do not remember se i11g a security person manning the door or.granting access to his office saw security people every dayin the office of RRA AII right And wlien you got 1titolne o:ffice,Mi:Rollistein was there Yes Mf Aaler CQ telephone who Y.OU dont re UJ A Yes Okay.i:_Was there an one else 2resent CA Not iliat rememb Okay Wa were PageJ.24 was Mr Jenne or Mr Fisten P.resent No C..Q A-d I-er-,L-n iimeone on llie phonej thats A o!Jl_i.-".hll ti lJ Ho,v loiig did the nieeti ast _r doni Jmow how long tlle e-e-tin_g __ J.,as-te C..Q Five minutes or was it a substantiall meeting a Do y2u._w_ail in-th rn-ee_ri,_n g,J 243fil!_give Y.OU an answer How long the meeting lasted I ve ic.1 How long didtlie meeting last while y:ou iy 247_prese i A:-Cesstlian five minutes Was the value of an th_e..,,thr lscussed at all?i lQ Ri4.M Ao.!Jl ln d!dMr Rothsteig PP.ear to be knowledgeable abouty:our cases No a-s s""o_m_e"o:n-e liad discussed the cases with on a somewhat re l:iasi8 MR cARc o,-ec Pages PROSE COURT REPORTING AGENCY INC 1l Page BY-MR CRIITON:J ot te;1t Was Mr Adler someone tlmtyou had discussed these Epstein cases.with prior.to that rneeting?J Jves.J Was he familiar with the cases generally A He attended Jeffrey Epsteins deposition so he lieard the questions asked and heard the Fifth Amendmenfinvocation and so the adverse inferences and was therefore infonned MR CRITTON Move to strike as nonresponsive BY MR.CRITTON My question is was he familiar generally with the subject matter of theHtigation against Mr Epstein A In that he read the newspaper articles about molesting a buncb of children yes he was familiar with lhe subject matter And he read--did you provide him with copies of the pleadings in tl1ese cases when they came to RRA A No What was the topic What was the legal issue that you discussed well lei me 267ike that Who raised the legal issue did Mr Adler lise it or did Mr Rothstein A I dont know page Okay Well how did the who started the if you were there I think you said five mitmt who did the talldng A When I came in the in the office it was in the middle ofa discussion Was a question posed to you A The question was on tlte table at least from my perspective coming into the room and was then directed at me whats the answer to this particular legal issue And what was the legal issue MR SCAROLA Lets talk for just a second 267THE VIDEOGRAPHER Are we going off the record MR SCAROLA Actually we dont even have to go off the record Stay right here If this was an issue that yias identified during the course of the legal pi 267oceedings to opposing counsel then I arii going to aUow you to you identify the issue without getting into any of the substance of the discussion regarding that l4 is Page issue If it was not an issue that was identified in the course ofthe proceedings to opposing counsel I an1 going to object and instruct you not to answer on the basis of the work-product privilege THE WITNESS Work-product privilege MR CRITTON Do you know.an individual by the nam of Fandry A That name doesnt ring a bell right now Do you lmow him to be does that name mean anything with regard to as an investigator Fandry A Thats a male Pardon A Thatts a first name OF a last name Last name Richard Fandry A I Jmow an investigator named Rick that did work was contracted out by RRA to clo investigative work I dont lmow his last name but Did did Rick ever do any work on ru1y of the Epstein cases to your knowledge A I believe so l?age Do you know what the name of his business was A No Is Rick still being employed at the current time by your firm to do investigation A No Is Mr asked you earlier.if you lmew Ken Jenne and Michael Fisten and you said yes and you knew that they had an association with RRA is that correct A Yeah thats correct And do you know whether they were employees or whether they were independent contra:ctols A You asked me that and I still have no idea Did they have offices within RRA Mr Jenne and Mr Fisten A They Mr Jenne definitely had an office within RRA Mr Fisten was normally in the field and I assume he had a place to go in RRA I dont lmow if you call it an office Did you ever go A Thats it Did you ever go meet with him within RRA A Yes Pages to PROSE COURI REPORTING AGENCY INC a?Jz?Gϒ i h?-ݦ?G(A?C Y6?w?l V?I C?R rJM 0I ۓ?Z0 r?gN(4 HZxLS q?ۻ?P??L?S?ս?u5r L??i S?t A x?PO J?fc)?ɂփB i E?sp?H 7jR??d U?pW hՃ?u""k g8n??M EY a 0M 䋦w XE?e K??f?ݥv ASXPw??h?N UB AQT h?rɁ?ʅ r?1N i q?qW7?ox ϗw BK?H?z X?n?g aB?i CSC Ʃ?Ћ a?p2 HH vn E?YH ם?I1?t X?a??I pć i 睙?S o?lcC?q n?A TSU Z?R z??l Hӛ i?l?Y??ҁ cp nI zwkM?p?j?z?i m٧ Ԯy W?A?m_k VozAz Q??Ʈ fL s?A gMN"?8 pCV b9UH b?mm p??q b?3t jw0?P?f Qh hT хZ?Y?C p?sZ?W ȷuF e?e u?mo?r?b?v 㢺M 5?xN g?H N??F b?spL?5_ _J w??wR 燣F Xח9 V?9Y?g?ID??vPg bR 1?NT?u D?I v1 wR??gvx/t E1 Ŀ?s L?mmS j8 q?j rh?iM A GOS?M F?M 3T ٦Z?Ƶ JJ?d VM?u ܠ?Dq?3 l?RoǙ C?bsb J?w yAw úJ lv?I uL t2Zm Ej zƋ?k??x P?-U HhE Mt燑?6 ig z?Y Z??Q CG A 9?iȈ FrN k?i?qQ DYt?TA??5Ea ss_ Q?ϐ 0v 7j ẍx?Z wD?LT?a?UpԬ ԟ?jrQDM ONdZ1?Q??.?p?9Ӵ?Ra j?wm?W?nC Qt 4?ʌl x?S?,K bε-?A?x g;?ܠg i?y Oa E4m9?Ǘ A3L q?eX?3?ݴ I ŐF s?Mf 9Iʎ sO??R?шt ʦ??K?IA 1uw?d?i P?S g5 늮J m?A?iN M?!d?K KޞG h?L?G?W?Ll?x?8m?ODŽr S?lI GA?Q??LʏL A??i 0?h?gܡ z??KA?S??e Q?.D V4B wr s?偠շCk?9 k?Ak?6 xX l嚧 m0E??i EE Y?r M??9zJ 2L SS I 짚F gp1 ЏNW h?d o2 4?Ps?T Ϋn TT?o d?l f.?i E?i i t?D ѵLo c??F g?W E?R,B z?eBoEp Ck?8?C t?ϵ IJ 2P أF6 Y?m0?lO v?H?Bv JQۄS쇉 T?h E??G O??ڲ T?No9l L?M Ǡ"e1 ABi3 1r G??F wΏKOC d?y?ϑ A zE?D pO J?Nxw/k?ה?5 m?K M?j 0Y IX zvRt Ĵ?V 9(eRa??T vu?!??GɌOEJ z?;Yt fU?sLV??ra?r ĕU?5 2kc??Q;匧 u??S 鄠P?3 P?d Tk??Y L?lų y?O bccMNo r??4vӡ w3 WI?8J 1H?Uj 3Һ eJ??W?r md?l?d2ܝy X?x SC 4I fy5 l?C 7?RK?ζ?y?GI g8?2LJ 4IC?j k?D LhZ?U ЦL 3??sTC?ȫ X??d?ꥺ?T?j 5?ED1zA e?c?F C??œꇠ gA?j?z wA Y??vUu p?i Y??k UƱޢ??0 b?C 0b t?B?j C?f mK Ds CD l/ȍ.?s Ds p?w mb n??J ԯf L??N I ll 2i I Page You have testified that investigations were done during the time on Mr relating to Mr l3pstein during the time that you were at RRA A Right My question to you is did you firsfof all did you receive WJ.itteri 1;eports in addition to oral reports A From the investigators Yes,sir THE WITNESS Answer MR.SCAROLA Yeah THE WITNESS The reports were es I did BY.MR CRITION An4 were the reports pr vided by mail or were they provided by in the form9f a memo that would be sent from the inyestigatorJo you or both A I do nofre1nember there being anY in the form of an e-mail Does not mean that there was ncit I did communicate by e-inail with other members of the firm 2o and otherrnerribers of the inv stlgative teatrton all cases as has.been my practice aU along practicing Jaw There we1e memos though,,thatwere givefftomci that were.riot e-mail fonn that were the standard memos thatTwould 267incorporate into a witness memo file Page And again that would just be in your would that be in your electronic storage as well as in the hard copies A The versionlsaw was the electronic o,that would be stored in th Fortis prqgr A Thats correct All right And again other individmils in the finn other lawyers in the finn might be able to acce.ss that program you just don know ll A 243light V,eU the program obviouslythats tJ1e program that the firiri used Now whether they could access if you could go across cases that werent cases you worked on I really just don know As an example could Mr Fisten on tl1e on t11e ortis could he acce.ss your your file on an Epstein case A I dont know If someone accessed yoifr file accessed your electronic file would you necessarily know ili A No Ah right So A I.doilt believe so rtwouldnt show.up that Michael Fisteri Page and Im usirigjust as.an example is that he came in or Scott Rothstein came in and looked ata particular file of yours whetherit related fo Mr Epstein or not you don lmow k_ lcan tansvverthat question accurately Okay Did you ever send investigatiye reports to other lawyers regarding vlr Epstein that is if you got an investigative report from Mr Fisten or Mr Jenne or whomever would you send those on to certain lawyers on a regular basis MR SCAROLA You ll answer that question THEWITNESS No I BY MR CRITTON Wllaflawyers other than yourself,were Cniyo1vec!1n tlieEP.stein cases during tnetiwyoil as ociat witliRRA A What do Y.OU mean o,-y I"g_u_e"ss What what lawyers actually worke on CfiltljlmowMr Berger worked on the Epstein correct A Jiniit ct Hy _qtl Okay Mr Adleil lmow attciniled CMi pstajns d_epOS!tiQll,_QQ_Iref!l Page correcu Did did any oth lawyers other t_hai1 Mr Adler or Mr Bergei a,ttehd any depositions A Your memory is going fo be as good as mine there rm thinking MarkEpstein deposition was attend byRu se11Adler He went_ with you Ne VYoi:k A No Ieclidnt go with me to New York Ile atte1ided the deposition andlalso attended the deposition Bothjn person A Right Was he there for notherfile or did he meet you there to specifically attend Mark Epsteirrs depositkin A Coincidence that he was in New York during the time when his deposition was befog taken Any other lawyer that you can recall being at a deposition other than Adler Berger a_nd yourself A Notrightnow Ifyouremiridme,I may remember I dontremeniber right now Did otherJawyers in the-firm at RRA perfo1m sei:vJces on ihe files thatis and by that I mean did they were they involved drafting Pa to PROSE CQURI REPORTING AGENCY INC Electronically signed by cynthia hopkins Elecfronlcally signed by cynthla hopklns Electronlcally signed bi cynUifa hopkt11s ff76c2ea APP IN THE CT:RCULT COURT OF THE 15TH JUDICIAL CIRCUIT IN AND FOR PALM BEACH COUNT-Yr FLORIDA qAf NO JEFFREY EPSTEI i Pla;Lptiff VS COTT ROTH.STEIN ipgiyJd 265ally a,nd_ BRJ DLEY EPWARDS individually Defehdahts VIPEOTAJ?El DEPOSITION coLlt 6F BMbLEY EDWARDS VO:LU0E I QF II PAGES iib October 10th A East Las Olas Bl.vd suite Fort Lauderdale FL stehographicaily Reported By WENDY ROBERTS RER Not:ary Pu.blic State of Florio.a Ernpi,re Legal 267Supp9rt Ina fort LalJ._derdale Office Phone EMEIRE LEGAL SUPP.ORT INC f4cfd Page in which cases were handled while Edwards was a partner at RRA The one meeting that you had in Mr Rothsteins office with Russell Adler and some persons unknown some unknown person on the phone were you given any direction at that time that certain discovery should be done or tactics should be used with regard to prosecuting the Epstein cases CU Ll cm No A Q_k_ At the meetings that you at th meetings that occurred with these various lawyersJ 9s Adler Stone Rob Buschel were present and Epstein was discussedJ was the discovery that discovery and/or investigation regarding psteirn ever discussed I would assume so Well In meetings that we were talking about was Epstein discussed Yeah assume based upon the what we saw in the e-mails todayJ hat is exactly th urpose of the meetingJ 0orrect Exactly_ that was the purpose of the meeting MR INDYKE Discovery I think was the purpose of the question MR HADDAD Im sorry EMPIRE LEGAL SUPPORT INC APP from To Ccl subject Date Monday Tuesday Pdsdla A Nasdmento Scott Rothstein Amy Howard Adelita Cabelio Week"sAppts Sunday July PM fil!Qm EQsteln Conference Brad Edwards Steven Jaffe and Keh Jenne Wednesday 1rom1 T1 S11bJ11ctt D1:a fira.9le Pdstila Nesctmento saxon Thursday Aull AM Ok I have the keys with me to the other office iwent and tested thel out last night eoon can we get saxon over there to pick up the printer and move It Also li:Scott fraij some point this morning to chat about E:ps_teln Bradfay Edwards Partner Rolhotaf Roauntefdt Adlart Attorneys at Law Las Olas City _Centro Eaet Las Olas aoulevatd Suite 267Fort Laucferdara:FL facslmlle bedwards o:a-Jaw,com From lwo Jenne TCII Srott Rothstein cc FdscJin A Nasc1mento Mike sswo Frld11y Octobar AM Scolt The lawyers ancJ lnyestlgaiors working the Epeteln matter are mae ng on e,;ii th loor at 2pm today to df _as whera we"ere In the fnvesttgatlon If you have moment I know ttfat everyone wouldJ Jave for you to be there Ken Ken Jenna Rothotefn Rosenfeldt Adler Lat OIM Blvd Suite Fort Lauderdale FL Ematr kleooa o::a-law.com Work fax APP If-J IN THE CIRCUIT COURT OF THE FIF,TEENT.H JUDICIAL CIRCUIT IN AND FOR PALM BEACH COUNTY FLORIDA GENERAL JURISDI.CTION DIVISIQN JEFFREY EPSTEIN Plaintiff vs No XMBAG SCOTT RQTHSTEIN indiyiduc:1.lly and BRADLEY EDWARDS individually Deferida.nts East Broward Boulevard Ft Lauderdale Florida Thursday June a.m_ p.in I I Of SCOTT ROTHSTEI13.1 Via Video Conference Taken On beha.lf of the Trustee pursuant a notice pf _ta.k:ing deposition FRIEDMAN LOMBARDI OLSON Ri Please do A The Ponzi scheme was running yery low on Cctpital co--co_n pir_ators and I rieeded to find a new feeder fu.rid,_ new investment sources We had a couple of very large significantly wealthy p9t ntic1l invE!stor_s out there I wasf looking fOr something that would have been,very 267a.ttractive We had had a lot of inqui during the due diligence pt r:iocL 267:with these people that were doing due diligence on the putative cases that we were selling And 267when I thought about the Epste,i ca,se realizing that it was a substantial actual file iri the office I came up with the idea that if I created a fake qonfide,ntiaJ set.tll:!ment circling around based upon this actu.ai case they would be able to increase the level of due dilig_ence that I was able to ffer t9 my potential investors How did you know this was a substantial file in your office at hat time A Agctin through the people I spoke to in the office Such as who A Again Sc!,I people Adler Farine:f Jaffe Fistos You never spoke to Brad about this case didnt say that but I had a lot more FRIEDMAN,.LOMI3ARDI OLSdN _c interaction S,orry Tonja I didnt mean.to speak over you If you talk to the people in the firm ifj they are honest with you they tell you interaction was far more significant with Russ Adler probably more so because he waf a co conspirator jnine My interaction with Russ was far greater many many percents over my interaction with Brad and then you go down the line I had more interaction CJ with Mr Farmer than did with Mr Fistbsi mor interaction with Jaffe than did with Mr Edwards and so on Russ tll,e he.ad of your tort group right Yes So these cases fell under the tort group that correct Yes it fefi under the fell tinder Russ purview ultimately yes And Brad was a partner at yo1.J.r fi 267rrn cluring the time these cases were there correct A I believe that was his title He was either partner or shareholder dont think we had made him CJ a shareholder yet 13ut he wasn coming in,as an associate FRIEDMAN LOMBARDI OLSON fl a __ I iJ correct A TO the best of iny recollec 267tion no So you stated that you learned this case was I don I want t:o misquote you and listen to a long speakingob::iectiori but what did you call this case MR SCAROLA Who wants tile quote THE WITNESS It was a substantial case with a what I perceived to be a h:ighly collectible pedophile as a defendant BY MS HADDAD ffi 243ght How did you know at the time wheri you said these investors wanted to i:nvestigate and you sai you were going to create fake settlement ho did you know that this case was the case that yoli could use From talking to all the people that I justj said Adler Fistos Jaffe Farmer Edwards tq the extent that I 247poke to him about Did you speak with Mr Edwards about th case I don have pecific recollection orie waYi or the other I remember speaking to him at least briefly the day or the day of or the day before th actual investor Is due diligence was going on as tq FRIEDMAN LOMBARDI OLSON __ what was going on And I may have spoke to him know Jj spoke to Russ but I may have spoke to him a.s well within a couple of dc1ys just prior to this due 1ligence because was trying to at least get some iriformation in my head that could ll;Se wheri wa creating this story for the investors Scott what Q_:ta.sk A task is a web based software system tha.t I had invested flliori in And what was the pu.rpose of th.is internet system A To be able to commu.nica te in a secure fashion.and in a unique group fashion about specific files So forgive me we all know Im not g:ood with the computer That was something that 267would be useful within a law firm why A Because it allowed you to crea.te groups a.rid have both general and privc:1te cha organize data a very unique fashion Tha.t was at least to our way of thinki11g would have been very_ very helpful in the law firm setting wi_th multiple practice groups Did you belong to any group qn Q-tas:k A I certain tha.t I d:td I dbn remember which groups I belonged to I never got into the full FRIEDMAN LOMBARDI OLSON fs A I don reca:11 Did you check A I don remember one way or the otl;ter It was irisign:i_f i.cant to me Wel.l then expla to me You testified earlier that what was im12ortant to the investors to is that there was eal ca eJ orredt Yes What did you look at or show them what did you look at first of all to see if it was in fact real case knew it was a real case How did you know Bee a us my lawyers told me it was a real case believed them what lawyers to.ld you that already told you it was a mixture of Russ and Jaffe and Fistos and Farmer and Mr Edwards mean knew it was real case We had all these boxes we 267had ple really working on the file How do you know or they were pulling a hell of scam on me Not that J1 didri I deserve it but How did you know y-_Q _just said you knew people were working really hard on this case Who do FRIEDMAN LOMBARDI OLSON_ io __ you know was working on the case The orily people that knew for certain were working on the case was Brad Edwards and Russ Adler was doing his supe:rvisory schti whatever that was But other than that dont know which other lawyer were assisting Mr Edwards get irivol""ved that level As fa.r as the Ponzi schem goes the only thj,ng I cared about Tonja was being abie to show the i.nvest6rs that this case that I was utilizing to steal a significant amount of money from therri was a real case That cS all I cared about That case came into your office through Mr Edwards cor _ect He brought it with hint when he came to RRA A Yes Q_ Jle was lead counsel on the case correct A I assume he 267was lead counsel I never checked to see if he listed himself as lead c::Ourisel Do you ltnow if any additional complaints were fiJ.ed whiie the case was at RRA A I have no idea one way or the other Did ypu ever instruct furtherance of your Ponzi scheme Mr Edward or anyone that litigation group to file additional complaints FRIEDMAN LOMBARDI OLSON APP I?i HE CIRCUIr COURT OF THE 17TH JUDICIAL CIRCUIT IN AND FOR BROWARD COUNTY FLORIDA CASE NO RAZORBACK FUNDING LLC et al Plaintiffs vs SCOTT ROTHSTEIN et al Defendants DAY AFTERNOON sr ssioN DEPOSITION OF SCOTT-UOTHSTEI DA.TE TAKEN Monday i beceinberl p.i:n p.m TIME PLACE N.E Fourth Street Hiami FL Taken bn Behalf bf Razorback Examination of the witness taken before Terri Wright United Reporting Inc Southeast Third Avenue Fort Lauderdale Fl6rida lJnited Reporting Inc Page I Page brought down boxes for you at a show as to show these are the real cases I believe that a substantial number of the boxes were already in my office And there were additional boxes and did have people bring them to me I dont remember who brought them to me but yes And do you recall Ml Legamaro what he did with respect to his review of those boxes of the cases A I recall bringing t:.he boxes in the only real recollection I have of t.hat meeting wa.s after meeting with them and bringing the boxes in I walked out for a period of time let them go through the boxes came back in answered questions that they had and we went forward i t-rnani fest do-you-recall-that ieah.J i tJ And-I ctually-usedJ fJ found-t:.hat-those-mostJ 6f-the-time-in the-moreJ e-had-thatJ feaa-piece-of evidence-and we-usedJWfo-our-advantage-toJ United Reporting Inc I I I i i Page Did Russ help you make,.itmore tantalizing that manifest A Did he help me Did he help you make.it.more tantalizing A he 225only way Russ would have helped me make it more tantalizing was qy just discussing the size of the case But other than that no he didnt do anything that recall du ing that meeting with regard to the actual manifest did D10.nTt you a some sensational names Eo Iylci c9 fllfore were fs:Fio.7::hal:Ehere were a:tfiona marufests i"f-X remer er correctlY Isaia.7:nere werE alcicinalmanTfests7:ha had discovereacoritafiiTfig BT1i-cn:nton name PFinceAnorew ra11.-bei howt fflying""wftli young girls on th prane An""d-do you Jcnow wh lier let ffiicxup Tlie original"ii anf"fests tliat were 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m??CtH?8v r?x d?级 Y;v??A浾p??i?h?Wp0ך cF?d vW3e?G?Z ۏ?F z?jc CRv qW cF?2IF??O 8??jyR a f?ky vx tS I hYc I??I?P K?s afP z?M??V G?ب ɟ6 c??x?z Z?S?חJ?NCQ bӐQ?1?PƊ i??SP?x q?El xs?_??aP?y t?N6ĠF?Xꊶ SF m??x Y??x VZq A LP n?痢 H??Q o?w rњAs?6 lo Page were discussing7:he actual I case Ehe reason it was 15ecoming so uote unquote tasty because tfiey lia9 information that:lie"haa rlying Ifrcrinton arouna an""d-l?rin:ce-Andrews around Ehe pi.ece Ehat was mi:SSing from the real case was tfie connection to tne young girls Tlie young girls connection to tne young girls was7::ict1on p:t was Tiej Not as far as Mr pstein is concerned out as far as tlIBOther people are concernea yes Do you know whether Adl.er Mr Adler or Mr Jndwards injected any of that into the depositions in thereai.case in order to assist withthe Ponzi A I don know No no I dont know whether they did that or not I wouldnit think they would When you were asked this morning a.bout Brad Eciwards you rea1lyliesitated raon you d1cCt You were answering yes no mayl3eso n:i.m yo real1y pausea On""trie question as wnetlier or not he woulcn turneff7:TI1in you mean i wh-;:Eiier"he was a yer or whether lie was invo1ved you didn I quite answer vust""because of the way_ knew Braa"ariq gc1a1Tzedwith-nim rd not now that he was at tlia9 levell There are certain people7 Barry second a lJnitedReporting 267Inc I Page fro_u_n_d i_ w-o_u_l_d h_a_v_e __ a-b_s_o-lu __ t_e_l_y d_o_n_e w_h_a_t w_a sJ I I pprop:dately-.J tandpoint..J n.nd-thenJ there-were-people-who-l ould.:sayJ ould never-do that.J 4iddle.J believe-Brad-EdwardsJ probablyJGJtheJ ifiiddle..J Did you have your investigators that be Jenne and Wayne Black and liistas investigate Epstein himself and try toc.get-evide ce:from-Epstein A A do you have cf any knowledge of thnt No sir Did you instruct them to file any kind of pleadings in federal Court or anything like that in order to help you promote the l?onzi A No As far as the Epstein case is concerned Mr Scherer I never asked Mr Adler or Mr gdwards or anyone else associated with that case to do anything for the purpose of furthering the Ponzi other than bringme the boxes 243hat waif all my creation lhank you Cm going to talk to you about Ted Morse a little bit You said he was one of your best friends he was one of your intercirole A Correct United Reporting Inc APP IN THE CIRCUIl COURT OF THE 17TH JUDICIAL CIRCUIT IN AND EOR BROWARD COUNlY FLORIDA CASE NO RAZORBACK FUNDING LLC et al Plaintiffs vs SCOTT ROTHSTEIN et al Defendants DAY AFTERNOON SESSION DEPOSITION OF SCOTT ROTHSTEIN DATE TAKEN Wednesday Dec mber Pwm p.m TIME PLACE James Lawrence King Federal Justice Building Northeast Fourth Street Miami Florida Examination of the witness tak,en before Terri Wright United Reporting Inc Southeast Third Avenue Fort Lauderdale Florida United Reporting Inc Page Page And you ve testified that among the more interesting terns were doctored flight manifests where you had inserted prominent people who purportedly would have been on the flight where Epstein supposedly did what he was accused of doing CT A A Thats not correct Go ahead and correct me lhe flight manifests that I showed them were real flight manifests I told them a story about other flight manifests that I have never showed them A How 267thick were the flight manifests I dont recall Im trying to understand1 I not going to have you go tlirougfi"ar1-r3-noxes but Im trying to get a frame of reference Youre talking about a fligM mantfest or flight manifests for a private Eght?i This is a very small document It ma have been one or two pages And Ii had it specificall set asiael I-_d eitner ask Mr Adler or Mr Edwards tq Isolate tfie-TlTgnt manifes"q So other than looking at the flight manifest for Epsteins private jet what exactly is it that they were looking at in these boxes A I have no idea I left them alone to look at the boxes for minutes United Reporting Inc A A 4A E0 A4 DE a qr?q rq qrCX HhL Kg lg d?a d6U a M3 flW y??S m/y t0 I F/Z V/j 1a 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