El WEST PALM BEACH (*Arr.
El WEST PALM BEACH (*Arr.
2139 PALM BEACH LAKES BLVD.
WEST PALM BEACH. FLORIDA 33409
P.O. BOX 3826
WEST PALM BEACH. FLORIDA 33402
%zenith
ATTORNEYS AT LAW
ROSALYN SA DAM 0-11ARNES
H. GREGORY BAR WART
T HARDEE BASS. Ill
LAME J. BR GGGS
BRAN R pNAY
BRENDA S. FULAIER
MARIANO GARCIA
JAMES W. GUSTAFSON. JR.
JACK P PILL
DAVID X. KELLEY.
ARLAN KNOT
DARRYL L. Lnyis'
'WILLIAM A.NORTON
PATO L. DONLAN'
(OHMIC V RICCI
SCAROLA
'CHRISTIAN 0. SEARCY
'JOHN A. SINTTLEY
CHRISTOPHER K. SPEED"
BRIAN F. SULLIVAN'''
KAREN LTERRY
T. CALVIN WARRINER It
CCKAASA
'CARL L DCINEY.
SHAREHOLDERS
*HOARD CEITPPIED
arcommnru
'KENTUCKY
MAINE
IAARY LAM
'Lusaka -Winn;
1ms-sissy',
GREW HAMPSIRRE
T TO- JERSEY
VIRGIN%
.WASTINGICA DC
PARALEGALS.
VNLANAYNK•E.ECIA
RANCH V. DUFRESNE
DAVID W GILMORE
ADTPT C MORIONS
DANA B 'MEM
DEBORAH IA 10MAP
VACE•47 L LEONARD.A.
JADES PETER LOVE
ROBERT W PITCHER
MARK P PORGY
KMITLEETI SIMON
SIEVE M. WITH
BONNE S STARK
WALTER A. STEN SEARCY DENNEY SCAROLA
BARN HART
iw--SH I PLEYA
VIA EMAIL AND U.S. MAIL
September 14, 2011
Joseph L. Ackerman, Jr., Esquire
Christopher Knight, Esquire
Fowler White Burnett, P.A.
901 Phillips Point West
777 S Flagler Drive
West Palm Beach, FL 33401-6170
Jack A. Goldberger, Esquire
Atterbury, Goldberger & Weiss, P.A.
250 Australian Avenue South, Suite 1400
West Palm Beach, FL 33401
Re: Edwards adv. Epstein
Our File No.: 291874
Gentlemen: OTALLAHASSEE ()Mex.
THE TOWLE HOUSE
517 NORTH CALHOUN STREET
TALLAHASSEE. FL 32301.1231
PO. BOX 1230
TALLAHASSEE. FLORIDA 32302
Pursuant to Section 57.105(4), Fla. Stat., you are hereby notified that we will be filing
the enclosed Motion of Defendant/Counterplaintiff, Bradley J. Edwards, for
Attorney's Fees pursuant to Florida Statute §57.105 unless, within twenty-one (21)
days after service of this letter, you voluntarily withdraw your Section 57.105 Notice
of September 2, 2011 in Case No. 502009CA040800)OOO3M, Division AG in the
Circuit Court of the Fifteenth Judicial Circuit in and for Palm Beach County, Florida.
Section 57.105 provides for the award of attorney's fees against both a party and that
party's attorney.
It is our position that your Notice is not supported by the material facts and/or the
application of existing law to those facts, as set forth in the enclosed motion. Your
assertion that Mr. Edwards' Counterclaim which has survived various attacks by you
is somehow without legal and factual support is contradicted by all of the arguments
and evidence detailed in our pending Motion for Summary Judgment. But even
clearer contradiction is found in the fact that at the very same time you are threatening
a,sr-Ots. WWWSEAR CVLAW.COM
EFTA01120060
Joseph L. Ackerman, Esquire
Christopher Knight, Esquire
Jack A. Goldberger, Esq.
Edwards adv. Epstein
September 14, 2011
Page 2
to have us sanctioned for prosecuting a spurious claim, you are offering to settle that
claim by paying hundreds of thousands of dollars.
Please be advised that we will therefore file the enclosed Motion for Attorney's Fees
pursuant to §57.105, Fla. Stat., with the trial court, in accordance with the
requirements of Section 57.105, if you do not voluntarily withdraw your baseless
motion within 21 days.
Please govern yourself accordingly.
SCAROLA
mep
nc.
cc: Bradley J. Edwards, Esquire
EFTA01120061
IN THE CIRCUIT COURT OF THE
FIF [LENIN JUDICIAL CIRCUIT, IN AND
FOR PALM BEACH COUNTY, FLORIDA
CASE NO.: 502009CA040800)OOOCMBAG
JEFFREY EPSTEIN,
PlaintiffIs),
vs.
SCOTT ROTHSTEIN, individually,
BRADLEY J. EDWARDS, individually, and
L.M., individually,
Defendant(s). DRAFT
DEFENDANT/COUNTERPLAINTIFF, BRADLEY J. EDWARDS' MOTION FOR
ATTORNEY'S FEES PURSUANT TO FLA. STAT. O7.105
Defendant/Counterplaintiff, BRADLEY J. EDWARDS, by and through his undersigned
counsel, respectfully moves this Court, pursuant to §57.105, Fla. Stat., for an award of
reasonable attorney's fees incurred in defending PlaintifUCounterdefendant, JEFFREY
EPSTEIN'S Motion for Attorney's Fees Pursuant to Fla. Stat. §57.105, and in support thereof
states as follows:
1. Section 57.105 provides, in relevant part:
(1) Upon the court's initiative or motion of any party, the court shall award a
reasonable attorney's fee to be paid to the prevailing party in equal amounts by the losing party
and the losing party's attorney on any claim or defense at any time during a civil proceeding or
action in which the court finds that the losing party or the losing party's attorney knew or should
have known that a claim or defense when initially presented to the court or at any time before
trial:
EFTA01120062
Edwards adv. Epstein
Edwards' Motion for Attorney's Fees Pursuant to 57.105
Case No.: 502009CA040800XXXXMBAG
(a) Was not supported by the material facts necessary to establish the claim or
defense; or
(b)
material facts. Would not be supported by the application of then-existing law to those
2. The amendments to §57.105, Fla. Stat. expanded the scope of the statute to apply
to any claim or defense. See Boca Burger, Inc. v. Forum, 912 So.2d 561 (Fla. 2005).
3. Pursuant to §57.105, Fla. Stat., attorney's fees may be awarded if the party or its
counsel knew or should have known that the claim or defense asserted was not supported by the
facts or an application of then-existing law. See, e.g., Read v. Taylor, 832 So.2d 219 (Fla. 4
DCA 2002).
4. On or about September 2, 2011, EPSTEIN filed a Notice of Intent to File a F.S.
§57.105 motion seeking to sanction EDWARDS and his counsel for the prosecution of
EDWARDS' Counterclaim against EPSTEIN. The assertion that the Counterclaim lacked
factual and legal support is clearly spurious in light of the factual and legal support detailed in
EDWARDS' pending Motion for Summary Judgment and Motion to Assert Claim for Punitive
Damages. Moreover, at the very same time that EPSTEIN takes the position in his §57.105
motion that EDWARDS' claim is baseless; he has filed a Proposal for Settlement offering to pay
hundreds of thousands of dollars to settle that same claim.
WHEREFORE, Defendant/Counterplaintiff, BRADLEY J. EDWARDS, respectfully
requests that his Motion for Attorney's Fees Pursuant to §57.105, Fla. Stat., be granted and that
this Court grant such other and further relief as deemed necessary and proper.
2
EFTA01120063
Edwards adv. Epstein
Edwards' Motion for Attorney's Fees Pursuant to 57.105
Case No.: 502009CA0408007OOO/MBAG
I HEREBY CERTIFY that a true and correct copy of the foregoing has been furnished by
U.S. Mail to all Counsel on the attached list, this 2011.
Jack S
Flori No.: 169440
S enney Scarola Barnhart & Shipley
2 Palm Beach Lakes Boulevard
est Palm Beach Florida 33409
Phone:
Fax:
Attorney for BRADLEY J. EDWARDS
3
EFTA01120064
Edwards adv. Epstein
Edwards' Motion for Attorney's Fees Pursuant to 57.105
Case No.: 502009CA040800)OOOCM13AG
COUNSEL LIST
Jack A. Goldberger, Esquire
Atterbury, Goldberger & Weiss, P.A.
Attorney For: Jeffrey Epstein
250 Australian Avenue South, Suite 1400
West Palm Beach, FL 33401
Phone:
Fax:
Fanner, Jaffe, Weissing, Edwards, Fistos &
Lehrman, PL
Attorney For: Jeffrey Epstein
425 N. Andrews Avenue, Suite 2
Fort Lauderdale, FL 33301
Phone:
Fax:
Marc S. Nurik, Esquire
Law Offices of Marc S. Nurik
Attorney For: Scott Rothstein
One E Broward Blvd., Suite 700
Fort Lauderdale. FL 33301
Phone:
Fax:
Joseph L. Ackerman, Jr., Esquire
Fowler White Burnett, P.A.
Attorney For: Jeffrey Epstein
901 Phillips Point West
777 S Flagler Drive
West Palm Beach. FL 33401-6170
Phone:
Fax:
4
EFTA01120065
📷 Images in this document (6 detected)
AI-generated factual descriptions of embedded images (llava:13b). These are searchable across the corpus.
[Image 1] The image shows a document that appears to be a letter or a formal communication. The document is addressed to "Vincent A. Jackson" and is dated September 15, 2014. It is from "Searcy Denney Scarola Barnhart & Shipley," which is likely a law firm. The letter mentions a "Dr. William H. McDonald" and refers to a "Senate Bill 1076." There is a reference to a "Senate Bill 1076" and a "Dr. William H. M
[Image 2] The image shows a document, which appears to be a court order or a legal document. It contains text and numbered paragraphs, which are typical of legal documents. The text is too small to read in detail, but it includes references to a case number, a plaintiff, a defendant, and various legal terms and phrases. The document is structured with headings and subheadings, and there are sections that se
[Image 3] The image shows a document that appears to be a legal draft or a court filing. It is a formal document with a header that includes the names of the parties involved, the case number, and the title "DRAFT." The document is addressed to a person named Jeffrey Epstein and is signed by a person named Scott Christensen. The text of the document is not fully visible, but it includes sections with headin
[Image 4] The image shows a document with text, which appears to be a list or a schedule. The document is titled "COURTROOM SCHEDULE" and includes a list of names, dates, and times, presumably for courtroom appearances or hearings. The names are listed in a column, and each entry includes a date and a time. The document is a standard printed page with a header and footer, and the text is in a standard font.
[Image 5] The image shows a document that appears to be a letter or a formal notice. The document is addressed to an individual named "Rebecca R. Banks." It mentions a "settlement agreement" and refers to a "case number." The document is signed by a person whose name is not fully visible, but the initials "J.A." are visible, suggesting the initials of the sender. The document includes a date, which is not f
[Image 6] The image shows a document with text and signatures. The document appears to be a letter or a formal communication, as indicated by the header and the presence of a signature at the bottom. The text is too small to read in detail, but it includes a date, a recipient's address, and a sender's address. The sender's address is redacted, and the recipient's address is not fully visible. The document h