EFTA00808651Dataset 9
2011-08-217p1,776w
…Edwards' Malicious Prosecution claim against Epstein. The fact that Epstein has failed to pursue his claim against Rothstein in Action #1 is, to be blunt, irrelevant. Epstein's Counsel Continues to Knowingly Inject Privileged Materials into the Public Record 13. Edwards asks the Court to direct its attention to page 7 of Epstein's Motion to Remove Case from Trial Docket, in which Epstein's counsel again references privileged e-mail correspondence listed on Edwards' 2011 Privilege Log. Both Mr…
https://www.justice.gov/epstein/files/DataSet%209/EFTA00808651.pdf