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EFTA02739536

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Case 9:08-cv-80232-KAM Document 54 Entered on FLSD Docket 03/06/2009 Page 1 of 4 
UNITED STATES DISTRICT COURT 
SOUTHERN DISTRICT OF FLORIDA 
CASE NO.: 08-CV-80232-MARRA I 
JANE DOE NO. 3, 
Plaintiff, 
v. 
JEFFREY EPSTEIN, 
Defendant. 
DEFENDANT'S MOTION FOR EXTENSION OF TIME IN WHICH TO RESPOND 
TO PLAINTIFF'S MOTION TO COMPEL ANSWERS TO INTERROGATORIES 
AND PRODUCTION OF DOCUMENTS 
Defendant, Jeffrey Epstein, (hereinafter "Epstein") by and through his 
undersigned attorneys, respectfully moves this Court for an extension of time in which to 
respond to Plaintiffs Motion to Compel Answers to Interrogatories And Production of 
Documents, dated March 2, 2009. Local General Rule 7.1 A.1 and Rule 6, Fed. R. Civ. 
P. (2009). Defendant seeks an extension until March 25, 2009, to file his response. As 
good cause in support of granting the motion, Defendant states: 
1. Defendant's response to the motion to compel would be due on March 16, 2009 
(10 days to respond, not including weekends). As certified below, Plaintiff's counsel is 
in agreement with the requested extension of March 25, 2009. 
2. Plaintiffs counsel also represents other Plaintiffs pursuing claims against 
Defendant, EPSTEIN. A total of four of the Plaintiffs have also filed motions to compel 
bearing the same dates. In order to fully and adequately respond to this and the other 
motions, Defendant is in need of an extension until March 25, 2009. 
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Case 9:08-cv-80232-KAM Document 54 Entered on FLSD Docket 03/06/2009 Page 2 of 4 
Jane Doe No. 3 v. Epstein 
Page 2 
3. In addition to the multiple motions to compel, good cause for the extension also 
includes that counsel has been attempting to resolve discovery issues in this and other 
cases against Defendant, EPSTEIN; an associate of Defendant's 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; Defendant's 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. v. OLD MARSH PARTNERS, et al, Case No. 50 
2006CA001667XXXXMBAD — set on trial docket beginning March 16, 2009; 
CARDIOPULMONARY & PRIMARY CARE ASSOC. OF TREASURE COAST, P.A v. 
, M.D., Case No. 562008CA001726, specially set for trial beginning May 13 
through 15, 2009). Discovery in both of these cases is ongoing with several depositions 
set to prepare for trial. 
4. 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 motions to compel. 
WHEREFORE, Defendant requests that this Court enter an order granting the 
Defendant an extension until March 25, 2009, in which to respond to Plaintiffs Motion to 
Compel Answers to Interrogatories and Production of documents. 
Local Rule 7.1 Certification 
Counsel for the movant conferred by telephone with counsel for the Plaintiff and 
Counsel for Plaintiff is in agreement with the requested extension until March 25, 2009 
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Case 9:08-cv-80232-KAM Document 54 Entered on FLSD Docket 03/06/2009 Page 3 of 4 
Jane Doe No. 3 v. Epstein 
Page 3 
for Defendant to respond to the motion to compel. 
Robert D. Cr on, 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 CWECF. I also certify that the foregoing document is being served this 
day on all counse ecord identified on the following Service List in the manner specified by 
CM/ECF on this ay of March 2009: 
Stuart S. Mermelstein, Esq. 
Adam D. Horowitz, Esq. 
Mermelstein & Horowitz, P.A. 
18205 Biscayne Boulevard 
Suite 2218 
Miami, FL 33160 
[Phone Redacted] 
Fax: [Phone Redacted] 
ssmesexabuseattornev.com 
ahorowitzesexabuseattornev.com 
Counsel for Plaintiff Jane Doe #3 
Jack Alan Goldberger 
Atterbury Goldberger & Weiss, P.A. 
250 Australian Avenue South 
Suite 1400 
West Palm Beach, FL 33401-5012 
[Phone Redacted] 
Fax: [Phone Redacted] 
jaqesq(a bellsouth.net 
Co-Counsel for Defendant Jeffrey Epstein 
Respectfully subm) d, 
By: 
ROBERT CRITTON, JR., ESQ. 
Florida B No. 224162 
rcritabc claw.com 
MICHAEL J. PIKE, ESQ. 
Florida Bar #617296 
mpikeObciclaw.com 
BURMAN, CRITTON, LUTTIER & COLEMAN 
515 N. Flagler Drive, Suite 400 
West Palm Beach, FL 33401 
561/842-2820 Phone 
561/515-3148 Fax 
(Co-Counsel for Defendant Jeffrey Epstein) 
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Case 9:08-cv-80232-KAM Document 54 Entered on FLSD Docket 03/06/2009 Page 4 of 4 
UNITED STATES DISTRICT COURT 
SOUTHERN DISTRICT OF FLORIDA 
CASE NO.: 08-CV-80232-MARRA 
JANE DOE NO. 3, 
Plaintiff, 
v. 
JEFFREY EPSTEIN, 
Defendant. 
ORDER ON DEFENDANT'S MOTION FOR EXTENSION OF TIME IN WHICH TO 
RESPOND TO PLAINTIFF'S MOTION TO COMPEL ANSWERS TO 
INTERROGATORIES AND PRODUCTION OF DOCUMENTS 
This matter came before the Court on Defendant's, JEFFREY EPSTEIN, Motion 
For Extension of Time in Which to Respond to Plaintiffs Motion to Compel Answers to 
Interrogatories and Production of Documents. Having considered Defendant's motion 
and Plaintiffs counsel being in agreement with the requested extension, it is HEREBY 
ORDERED and ADJUDGED that: 
Defendant's motion is GRANTED. Defendant shall respond to Plaintiffs Motion 
to Compel Answers to Interrogatories and Production of Documents on or before March 
25, 2009. 
DONE and ORDERED this day of , 2009. 
Kenneth A. Marra 
United States District Judge 
Courtesy Copies: Counsel of Record 
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