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Case 1:17-mc-00025-RWS Document 1-1 Filed 06/13/16 Page 1 of 7
Jack Scarola
Florida Bar No.: 169440
Attorney E-Mail(s): jsx@searcylaw.com and
mep@searcylaw.com
Primary E-Mail: _scarolateam@searcylaw.com
Searcy Denney Scarola Barnhart & Shipley, P.A.
2139 Palm Beach Lakes Boulevard
West Palm Beach, Florida 33409
Phone: (561) 686-6300
Fax: (561) 383-9451
Attorney for Bradley J. Edwards
IN THE UNITED STATES DISTRICT COURT
FOR THE SOUTHERN DISTRICT OF FLORIDA
In re: SUBPOENA TO BRADLEY J.
EDWARDS DECLARATION OF BRADLEY J.
EDWARDS IN SUPPORT OF MOTION
Underlying case: TO QUASH SUBPOENA OR, IN THE
ALTERNATIVE, FOR A PROTECTIVE
VIRGINIA L. GIUFFRE, Plaintiff ORDER
v. Case No.
GHISLAINE MAXWELL, Defendant
No. 15-cv-07433-RWS (S.D.N.Y.)
I, Bradley J. Edwards, declare as follows:
1. I am an attorney at law duly licensed in the State of Florida and admitted to
practice in the U.S. District Court for the Southern District of Florida. I respectfully submit
Case 1:17-mc-00025-RWS Document 1-1 Filed 06/13/16 Page 2 of 7
this declaration in support of the Motion to Quash Subpoena or, in the Alternative, for a
Protective Order.
2. Attached as Exhibit 1 is a true and correct copy of the complaint filed in the
Southern District of New York in the case of Virginia L. Giuffre v. Ghislaine Maxwell.
3. Attached as Exhibit 2 is a true and correct copy of the subpoena received by
Bradley J. Edwards.
4. Attached as Exhibit 3 is a composite exhibit, which are true and correct copies
of pages from the
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