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     Case 1:17-mc-00025-RWS             Document 33-1         Filed 03/13/17      Page 1 of 3




 UNITED STATES DISTRICT COURT
 SOUTHERN DISTRICT OF NEW YORK


 BRADLEY J. EDWARDS                                        DECLARATION OF BRADLEY J.
                                                               EDWARDS SUPPORT OF
                         Plaintiff,                     SUPPLEMENTAL REPLYH IN SUPPORT
                                                        OF MOTION TO QUASH SUBPOENA OR,
                 v.                                         IN THE ALTERNATIVE, FOR A
                                                                PROTECTIVE ORDER
 GHISLAINE MAXWELL

                         Defendant.                              No. 1:17-mc-00025-RWS




       I, Bradley J. Edwards, declare as follows:

       1. I am a board certified civil trial 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 declaration in support of the Supplemental Reply in Support of the Motion to Quash

Subpoena or, in the Alternative, for a Protective Order.

       2. I am a counsel of record for plaintiff Virginia L. Giuffre in the case Giuffre v. Maxwell,

No. 15-cv-07433-RWS (S.D.N.Y.), admitted pro hac vice. Other counsel of record include: Sigrid

S. McCawley and Meredith Schulz of Boies, Schiller & Flexner, LLP (Ft. Lauderdale, Florida),

and Paul G. Cassell (who maintains his law office at the University of Utah in Salt Lake City,

Utah). I have great familiarity with the facts surrounding Ms. Giuffre’s case, have taken numerous

of the depositions in this case, and I will be heavily involved in the trial of the case in May,

handling many of the most important witnesses. Preparing for that trial is consuming a great deal

of my time currently and will continue to do so through trial.




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