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Case 9:09-cv-80802-KAM Document 29 Entered on FLSD Docket 06/14/2010 Page 1 of 9 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE NO.: 08-C1V-80119-MAR/a JANE DOE NO. 2, Plaintiff, vs. JEFFREY EPSTEIN, Defendant. Related cases: 08-80232, 08-08380, 08-80381, 08-80994, 08-80993, 08-80811, 08-80893, 09-80469, 09-80591, 09-80656, 09-80802, 09-81092 FILED by Vi JUN 1 4 2010 STEVEN M. LARIMEno-CLERK U.S. Oisi CT S.D. OF FLA. - *pa: D.C. Defendant, Jeffrey Epstein's Emergency Motion For Protective Order, Motion to Ouash and Motion for Attorneys' Fees, With Incorporated Memorandum Of Law Defendant, JEFFREY EPSTEIN, (hereinafter "EPSTEIN") by and through his undersigned attorneys, hereby files his Emergency Motion For Protective Order, Motion to Quash and Motion for Attorneys' fees and Costs, With Incorporated Memorandum Of Law. In support, Defendant states as follows: 1. As this Court is well aware, these cases have been consolidated for discovery. However, on April 1, 2010, Plaintiff's counsel, Spencer Kuvin, filed C.L. v. Epstein, Case No. 10-80447-cv-Marra_, and that case has not been consolidated with the other related cases for purposes of discovery. 2. On April 20, 2010, Mr. Kuvin served Maritza Milagros Vasquez with a subpoena for deposition, which is set to occur tomorrow. See Exhibit "A". However, this Notice and subpoena for deposition must be stricken/quashed as Mr. Kuvin, on behalf of his client, has failed to comply with Fed.R.Civ.P. 26 (d). That rule states, in pertinent part, EFTA02743466 Case 9:09-cv-80802-KAM Document 29 Entered on FLSD Docket 06/14/2010 Page 2 of 9 that: "[a] party may not seek discovery from any source before the parties have conferred as required by Rule 26(0. . . ." Mr. Kuvin, on behalf of his client, has not complied with Rule 26(0 and, therefore, the subpoena for deposition must be stricken/quashed and a Protective Order should be entered pursuant to Rule 26(c) forbidding the deposition from occurring for non-compliance with the applicable rules. In Varo, Inc. v. Litton Systems, Inc., 129 F.R.D. 139, 141 (N.D. TX 1989), the court held that one cannot be compelled to comply with a withdrawn subpoena. Id. Likewise, the court here cannot compel Maritza Milagros Vasquez to attend any deposition when the subpoena itself is invalid, especially when it will require those involved in these matters to incur substantial attorneys' fees. 3. Next, Mr. Brad , counsel for Jane Doe, cross-noticed Maritza Milagros Vasquez's deposition in Jane Doe (#08-80893 - Exhibit "B"), which matter is already set for trial in July 2010. Discovery concluded on May 31, 2010 see DE 531). Accordingly, the cross notice served by Jane Doe must be stricken/quashed and a protective order entered because the subpoena itself in invalid due to C.L.'s counsel's failure to comply with Rule 26(d) and discovery in Jane Doe (80893) has concluded. Rule 7.1 Certification I hereby certify that counsel for the respective parties communicated by e-mail in a good faith effort to resolve the issues set forth above prior to the filing of this Motion and none of the issues were resolved. WHEREFORE, Defendant requests that this Court enter an order granting Defendant's motion for protective order and motion to quash. Defendant further requests that this Court award his attorney's fees and costs associated with this motion, in accordance with Rule 37, Fed.R.Civ.P. and applicable Local Rules and specifically: a. Quash CL's subpoena attached as Exhibit "A"; EFTA02743467 • Case 9:09-cv-80802-KAM Document 29 Entered on FLSD Docket 06/14/2010 Page 3 of 9 b. Quash and/or strike Jane Doe's cross notice as to Exhibit "A" because Exhibit "A" is invalid and discovery has concluded in Jane Doe; c. Award attorneys to Defendant for CL and Jane Doe's noncompliance with these discovery matters; and d. for such other and further relief as this co d proper. By: MIC Flori 17296 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 1461 day of June. 2010 Respectfully submitte By: ESQ. Flo Bar No. 224162 [Email Redacted] MICHAEL J. PIKE, ESQ. Florida Bar #617296 [Email Redacted] 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 Jeffiey Epstein) Certificate of Service Jane Doe No. 2 v. Jeffrey E stein Case No. 08-CV-80119- Stuart S. Mermelstein, Esq. Adam D. Horowitz, Esq. Mermelstein & Horowitz, P.A. 18205 Biscayne Boulevard Brad Esq. Rothstein Rosenfeldt Adler 401 East Las Olas Boulevard Suite 1650 EFTA02743468 • Case 9:09-cv-80802-KAM Document 29 Entered on FLSD Docket 06/14/2010 Page 4 of 9 Suite 2218 Miami, FL 33160 [Phone Redacted] Fax: [Phone Redacted] [Email Redacted] [Email Redacted] Counsel for Plaintiffs In related Cases Nos. 08-80069, 08-80119, 08-80232, 08-80380, 08-80381, 08-80993, 08-80994 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] juesqObellsouth.net Counsel for Defendant Jeffrey Epstein Fort Lauderdale, FL 33301 Phone: [Phone Redacted] Fax: [Phone Redacted] [Email Redacted] Counsel for Plaintiff in Related Case No. 08-80893 Paul G. Cassell, Esq. Pro Hac Vice 332 South 1400 E, Room 101 Salt Lake City, UT 84112 [Phone Redacted] [Phone Redacted] Fax [Email Redacted] Co-counsel for Plaintiff Jane Doe Isidro M. M. Esq. glilLav7FirTn, P.A. 224-Watura Street, Suite 900 West Palm Beach, FL 33401 [Phone Redacted] [Phone Redacted] F [Email Redacted] Counsel for Plaintiff in Related Case No. 08-80469 EFTA02743469 • Case 9:09-cv-80802-KAM Document 29 Entered on FLSD Docket 06/14/2010 Page 5 of 9 AO ISA (Rev. 06/09) Sub:acne to ratty at a Deposition ins Civil Action UNITED STATES DISTRICT COURT for the Southern District of Florida C.L. Plaintiff v. JEFFREY EPSTEIN Defendant Civil Action No. 10-80447-cv-Mama (If the motion is eiending in another district, state when: SUBPOENA TO TESTIFY AT A DEPOSITION IN A CIVIL ACTION To: MARITZA MILAGROS VASQUEZ, 1253 SW 21ST TERRACE, APT 21, MIAMI, FL 33145-2922 iTestimony: YOU ARE COMMANDED to appear at the time, date, and place set forth below to testify at a deposition to be taken in this civil action. If you are an organization that is nonparty in this case, you must designate one or more officers, directors, or managing agents, or designate other persons who consent to testify on your behalf about the following matters, or those set forth in an attachment: Place: INTELLIGENT OFFICE. 701 BRICKELL AVENUE. SUITE 1550, MIAMI, FL 33131 Date and Time: 05/18/2010 10:00 am The deposition will be recorded by this method: VIDEOGRAPHER AND COURT REPORTER 0 Production: Yoµ or your representatives, must also bring with you to the deposition the following documents, electronically stored information, or objects, and permit their inspection, copying, testing, or sampling of the material: The provisions of Fed. R. Civ. P. 45(c), relating to your protection as a person subject to a subpoena, and Rule 45 (d) and (e), relating to your duty to respond to this subpoena and the potential consequences of not doing so, are attached. Date: 04/08/2010 CLERK OF COURT SYgnature of Clerk orDeputy Clerk OR C.L. The name, address, e-mail, and telephone number of the attorney representing (mane ofparty) , who issues or requests this subpoena, are: SPENCER T. KUVIN, ESQ., LEOPOLD-KUVIN, PA, 2925 PGA BOULEVARD, SUITE 200, PALM BEACH GARDENS, FLORIDA 33410 T: [Phone Redacted] F: [Phone Redacted] itA EFTA02743470 Case 9:09-cv-80802-KAM Document 29 Entered on FLSD Docket 06/14/2010 Page 6 of 9 C AO SM (Rev. 06109) Sutooena to Testily tt a Deposition in a Civil Action (Page 2) Civil Action No. 10-80447-cv-Marraa PROOF OF SERVICE (This section should not be filed with the court unless required by Fed R. ay. P. 45.) This subpoena for (name of indirdual and tide, (ferry) was received by me on (dale) O I saved the subpoena by delivering a copy to the named individual as follows: on (date) ; or O I returned the subpoena unexecuted because: Unless the subpoena was issued on behalf of the United States, or one of its officers or agents,! have also tendered to the witness fees for one day's attendance, and the mileage allowed by law, in the amount of S My fees are $ Date: for travel and $ for services, for a total of $ 0.00 I declare under penalty of perjury that this information is true. Saver's signatwe Printed name and tide Server's address Additional information regarding attempted service, etc: EFTA02743471 Case 9:09-cv-80802-KAM Document 29 Entered on FLSD Docket 06/14/2010 Page 7 of 9 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA JANE DOE, Plaintiff, Vs. JEFFREY EPSTEIN, et al. Defendant. CASE NO. 08-CV-80893-CIV-MARFtlia. Related Cases: 08-80119, 08-80232, 08-80380, 08-80381, 08-80994, 08-80811, 08-80893, 09-80469, 09-80591, 09-80656, 09-80802, 09-81092 PLAINTIFF'S CROSS-NOTICE OF VIDEO DEPOSITION OF MARITZA MILAGROS VASQUEZ PLEASE TAKE NOTICE that plaintiff, Jane Doe, will take the video deposition by oral examination, of the persons named below, at the time, on the date, at the hour of the place indicated: NAME DATE AND TIME PLACE OF TAKING DEPOSITON Maritza Milagros Vasquez June 15, 2010 @ 10:00AM Intelligent Office 701 Brickell Avenue, Suite 1550 Miami, FL 33131 upon oral examination before Videographer and a Notary Public, or any other notary public or officer authorized by law to take depositions in the State of Florida. The oral examination will continue from day to day until completed. The depositions are being EFTA02743472 Case 9:09-cv-80802-KAM Document 29 Entered on FLSD Docket 06/14/2010 Page 8 of 9 CASE NO: 06-CV40119-MARRA/EM taken for the purpose of discovery, for use at trial, or for such other purposes as are permitted under the Rules of Court. CERTIFICATE OF SERVICE I HEREBY CERTIFY that a copy of the foregoing was served by e-mail on May 12, 2010 to: See attached service list. 111 1 1. Fistos & Lehrman, PL N. . ndrews Ave., Suite 2 Fort Lauderdale, FL 33301 ([Phone Redacted] ([Phone Redacted] fax [Email Redacted] By: 2 EFTA02743473 Case 9:09-cv-80802-KAM Document 29 Entered on FLSD Docket 06/14/2010 Page 9 of 9 CASE NO: 08-CV-80119-MARRa SERVICE LIST Jane Doe v. Jeffrey Epstein United States District Court - Southern District of Florida Jack Alan Goldberger, Esq. Jqoldberciereaqwpa.com Robert D. Critton, Esq. rcrittonebcIclaw.com Isidro Manual isidroqarciaebellsouth.net Jack iphesearcylaw.com • Katherine Worthen Ezell [Email Redacted] Michael James Pike MPikeebcIclaw.com Paul G. Cassell cassellpelaw.utah.edu Richard Horace Willits lawyerswillitseaol.com Robert C. Josefsberg riosefsberqepodhurst.com Adam D. Horowitz ahorowitzesexabuseattorney.com Stuart S. Mermelstein ssmWsexabuseattorney.com 3 EFTA02743474