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EFTA02738665

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Case 9:09-cv-80591-KAM Document 70 Entered on FLSD Docket 08/07/2009 Page 1 of 3 
UNITED STATES DISTRICT COURT 
SOUTHERN DISTRICT OF FLORIDA 
CASE NO.: 09-80591-MARRa 
JANE DOE No. 101, 
Plaintiff, 
v. 
JEFFREY EPSTEIN, 
Defendant, 
 / 
DEFENDANT JEFFREY EPSTEIN'S UNOPPOSED MOTION FOR EXTENSION 
OF TIME IN WHICH TO FILE A REPLY TO PLAINTIFF JANE DOE 101'S RESPONSE 
TO DEFENDANT'S MOTION TO DISMISS AMENDED COMPLAINT 
Defendant, Jeffrey Epstein, (hereinafter "Epstein") by and through his undersigned 
attorneys, respectfully moves this Court for an extension of time in which to reply to 
Plaintiff, Jane Doe 101's Response to Defendant, Epstein's Motion to Dismiss Amended 
Complaint [DE 56] dated June 26, 2009. Defendant seeks an extension until October 
15, 2009, to file his reply. As good cause in support of granting the motion, Defendant 
states: 
1. On May 1, 2009, Plaintiff filed an Amended Complaint [DE 9]. 
2. On May 26, 2009, Defendant filed a Motion to Dismiss Amended Complaint [DE 
29]. 
3. On June 26, 2009, Plaintiff filed her Response to Defendant's Motion to Dismiss 
Amended Complaint [DE 56]. 
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Case 9:09-cv-80591-KAM Document 70 Entered on FLSD Docket 08/07/2009 Page 2 of 3 
Doe 101 v. Epstein 
Page 2 
4. Defendant's Reply to Plaintiff's Response to Defendant's Motion to Dismiss 
Amended Complaint is currently due on August 21, 2009. 
5. The parties continue to work together to find a resolution in this case. 
6. The requested extension is fair and reasonable under the circumstances as it will 
provide time to allow the Defendant, EPSTEIN, to fully and adequately respond. 
7. As certified below, counsel for Defendant conferred with counsel for Plaintiff, and 
Plaintiff's counsel is in agreement with the requested extension. 
WHEREFORE Defendant respectfully requests that this Court enter an Order 
granting an extension until October 15, 2009, to file a Reply to Plaintiff's Response to 
Defendant's Motion to Dismiss Amended Complaint. 
Local Rule 7.1 Statement 
Counsel for the movant conferred by telephone and correspondence with 
counsel for the Plaintiff and Counsel for Plaintiff is in greement with the requested i 
extension until October 15, 2009 for Defendant to res / d to Plaintiff's Complaint. 
Robert . Cri(tonAr., EL. 
Attorn for Osfendant 
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 record identified on the following Service List in the 
manner specified by CM/ECF on this 7th day of August 2009 
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Case 9:09-cv-80591-KAM Document 70 Entered on FLSD Docket 08/07/2009 Page 3 of 3 
Doe 101 v. Epstein 
Page 3 
Robert C. Josefsberg, Esq. 
Katherine W. Ezell, Esq. 
Podhurst Orseck, P.A. 
25 West Flagler Street, Suite 800 
Miami, FL 33130 
[Phone Redacted] 
Fax: [Phone Redacted] 
[Email Redacted] 
[Email Redacted] 
Counsel for Plaintiff 
Jack Alan Goldberger, Esq. 
Atterbury Goldberger & Weiss, P.A. 
250 Australian Avenue South 
Suite 1400 
West Palm Beach, FL 33401-5012 
[Phone Redacted] 
Fax: [Phone Redacted] 
[Email Redacted] 
Counsel for Defendant Jeffrey Epstein 
Respectfull7csubnited, 
By: 
ROBERD RITTON, JR., ESQ. 
Florid ar o. 224162 
rcrit bcIclaw.com 
MICHAEL J. PIKE, ESQ. 
Florida Bar No. 617296 
mike@ bcIclaw.com 
BURMAN, CRITTON, LUTTIER & COLEMAN 
515 N. Flagler Drive, Suite 400 
West Palm Beach, FL 33401 
561/842-2820 Phone 
561/515-3148 Fax 
(Counsel for Defendant Jeffrey Epstein) 
EFTA02738667
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