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Case 1:17-mc-00025-RWS Document 14 Filed 07/07/16 Page 1 of 4
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 PAUL G. CASSELL
REPLY DECLARATION OF BRADLEY
Underlying case: J. EDWARDS IN SUPPORT OF MOTION
TO QUASH SUBPOENA OR, IN THE
VIRGINIA L. GIUFFRE, Plaintiff ALTERNATIVE, FOR A PROTECTIVE
ORDER
v.
Case No. 0:16-mc-61262-JEM
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
this reply declaration in support of the Motion to Quash Subpoena or, in the Alternative, for a
Protective Order.
Case 1:17-mc-00025-RWS Document 14 Filed 07/07/16 Page 2 of 4
2. Attached as Exhibit 1 is a true and correct copy of the Victims’ Response to
Alan Dershowitz’s Motion to Interview in the Southern District of Florida in the case of Jane
Does v. United States. It is filed under seal.
3. Attached as Exhibit 2 is a true and correct copy of Edwards and Cassell’s
Notice of Withdrawal of Summary Judgment Motion.
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