Valikko
Etusivu Tilaa päivän jae Raamattu Raamatun haku Huomisen uutiset Opetukset Ensyklopedia Kirjat Veroparatiisit Epstein Files YouTube Visio Suomi Ohje

This is an FBI investigation document from the Epstein Files collection (FBI VOL00009). Text has been machine-extracted from the original PDF file. Search more documents →

FBI VOL00009

EFTA01078765

90 pages
Pages 41–60 / 90
Page 41 / 90
EXHIBIT 6 
EFTA01078805
Page 42 / 90
rfyinallrttr=~fltilr 
D sl.ict Court Fremont County, Colorado 
Court Address: 
136 Justice Center Rd 
Canon City, CO 81212 
Pleintfiffs)/Pebtionerlsk Edwards, et al. 
Defendant(syRespondent(s): Dershowllz 
A 
COURT USE ONLY 
Case Number 2015c1.10 0 s; 
Courtroom: 
SUBPOENA TO °ATTEND 
ATTEND AND PRODUCE 
'
1 
To 
You are ordered to attend and give testimony a 
e rs 
District Court o• remont ounty, located at 136 Justice 
Canter Road, Canon City, CO 81212. Room #105. on Tuesday. May 12 2015 at 9 30 a.m. asa witness for the 
OPIalelfffsyPett oner(s) IMDefendant(s)/Respondenks; in this action 
t'-at tirra and place, you also shall produce the following items now in your custody or control: 
See attached Schedule A 
Names. addresses and telephone numbers of all counsel of recoro in this action ana of any party represented by 
=ensel are as follows. 
Name 
For Plaintiffs Bradley J Edwards 
and Paul G Cassell 
Jack Scarola, FL Ber No 169440 
Seatv Denney Scarola Barnhart & Shjpey. PA 
For Defendant Alan M. Dershowitz 
Thomas E Scott, Florida Bar No. 149100 
! Steven R Sofro. Florida Bar No. 057028 
Cole, Scott & Kissane, PA 
 
/3ddross 
2139 Palm Beach Lakes Blvd. 
West Palm Beach. FL 33409 
er 
9150 South Dadeland Blvd., #1400 
Miami, FL 33156 
Cierk/Deputy Clerk or Attorney 
JDF 80.2 COUNTY COURT SUBPOENA TO ATTEND OR ATTEND AND PRODUCE 1/13 
C 7012 (Main& ludic inl °torment '1w uw. in the fount 
EFTA01078806
Page 43 / 90
itc:AVIT OF SE TOCE 
cot a pa:171c 
hrro• rtz itaratetta:bacoora to 
rat
 
az Itle Winces m by cane • 
t
-n arra -time ler 
cccosions but have not t•e* 13e 
meter 
County 
Sitnatme cat troeset 
Name (RIM or him 
Notary Pubht /Deputy C! 
Sr ?CC It.".aar 
.7:92-r•-• 
1-TRIDC: ArrsC .1•4,PRCOAX:E 1/13 
EFTA01078807
Page 44 / 90
•••-••••••• •••• 
cos 
SCAMPI/LE "A" 
1. 
All documents that reference by name. Alan M. Dershowitz,' which support audtor confirm the 
allegations set forth in Paragraphs 24-31 of your Declaration dated January 19. 2015 and/or 
Paragraph 49 of your Declaration dated February 5. 2015, which were filed with the United 
States District Court for the Southern District of Florida. in lane Doc al and jane Doe *2 v. 
United States of America,. Case No. 08-807:16-CTV-MARKABOIINSON, IECF No. 291-11 (the 
"Federal Action"). 
2. 
All photographs and video in the original, native format in which they were taken (not a paper 
copy) of you with Alan M. Dershowitz. 
3. 
All photographs and video in the original, native format in which thcy were taken (not a paper 
copy) not produced in response to Request No. 2, above, of Alan M. Dershowitz at (i) JetTrey 
Epstein's Manhattan home in New York City, New York; (ii) Mr. Epstein's home in Palm 
Beach, Florida; (iii) Mr. Epstein's Zorro Ranch in Santa Fe. New Mexico; (iv) little Saint James 
island in the U.S. Virgin Islands; and (v) Mr. Epstein's airplane, on the same date and time that 
you were also present at such location. 
4. 
All photographs and video in the original, native format in which they were taken (not a paper 
copy) of you not produced in response to Request No. 3, above, that evidence and/or show you 
were present at the same location as Alan M. Dershowitz on that same dale and time. 
5, 
Any documents and information that support and/or confirm your presence at the various 
locations named in Paragraphs 24-31 of your Declaration on the particular dates and times when 
Alan M. Dershowitz was also present. 
6. 
Any documents and information that show Alan M. Dershowitz was present at the various 
locations named in Paragraphs 24-31 of your Declaration on the particular dates and times when 
you allege to have been present in your response to Request No. 5, above. 
7. 
All statements, written or recorded, which you have provided to anyone that reference by name, 
Alan M. Dershowitz. 
8. 
All notes of, or notes prepared for. any statements or interviews in which you referenced by 
name or other description, Alan M. Dershowitz. 
9. 
All documents concerning any communications by you or on your behalf with any media outlet 
concerning Alan M. Dershowitz or the Federal Action, whether ur not such communications 
were "on the record" or "off the record." 
10. 
All notes, writings, photographs. and/or audio or video recordings made or recorded by or of you 
on the dates on which you allege you were present with Alan M. Dershowitz; including but not 
limited to your calendar, diary or journal entries on those dates, regardless whether the notes, 
writings, photographs, and!or audio or video recordings refer to Mr. lkrshowitz. To the extent 
I For purposes of this Schedule "A", reference to "Alan M. Dershowitz" herein shall mean and refer to 
any reference to the Defendant in this action, including but not limited to, as "Alan", "Alan M. 
Dershowitz", "Professor Dershowitz", Of "Dershowitz", and the like. 
JOE 80.2 COUNTY COURT SUBPOENA TO ATTEND OR ATTEND AND PRODUCE VI 3 
O 20(2 Colorado Judicial Deparuneat for use in the Courts of Colorado 
EFTA01078808
Page 45 / 90
21. 
that any responsive materials arc photographs or video recordings, please provide them in the 
originl. native format in which they were taken (not a paper copy). 
12. 
All documents relating to your travel to or from locations for those occasions when you allege 
you were present with Alan NI. Dershowitz. 
13. 
To the extent not produced in response to the above list of requested documents, all notes, 
writings, photographs, and/or audio or video recordings made at any time that refer or relate in 
any way to Alan M. Dershowitz. 
14. 
All drafts of declarations or affidavits by you that relate in any way to Alan M. Dershowitz 
and/or Jeffrey Epstein. 
15. 
All documents relating to any telephone, including any cellular telephone, used by you between 
January 1, 1999 and December 31, 2002. 
16. 
Any diary, journal or calendar concerning your activities between January 1, 1999 and December 
31, 2002. 
17. 
All documents concerning any actual or potential book, television or movie deals concerning 
your allegations about being a sex slave. 
18. 
All documents concerning any monetary payments or other consideration received by you from 
any media outlet in exchange for your statements (whether "on the record" or "off the record") 
regarding Jeffrey Epstein. Man M. Dershowitz, Prince Andrew, Duke of York, and/or being a 
sex slave. 
19. 
All documents showing, concerning, relating or referring to when you were at or on (i) Jeffrey 
Epstein's Manhattan home in New York City, New York; (ii) Mr. Epstein's home in Palm 
Reach, Florida; (iii) Mr. Epstein's ,'aro Ranch in Santa Fe, New Mexico; (iv) Little Saint .lames 
island in the U.S. Virgin islands; and (v) Mr. Epstein's airplane from January I. 1999 through 
December 31. 2002. 
20. 
All documents showing any payments or remuneration of any kind made by Jeffrey Epstein or 
any of his agents or associates to you from January I, 1999 through December 31, 2002. 
All travel records of any kind, including hut not limited to tickets, hotel room receipts or other 
documents concerning, relating or referring to any travel undertaken by you between January I. 
1999 and December 31, 2002. 
22. 
All records of any interviews given by you to any party concerning, relating or referring to 
Jeffrey Epstein or any of his agents or associates. 
23. 
All manuscripts and/or other writings, whether published or unpublished, created in whole or in 
part by you, concerning, relating or referring to Jeffrey Epstein and any of his agents or 
associates. 
24. 
All documents concerning, relating or referring to your assertions that you met Tomer President 
Bill Clinton, former Vice President Al Gore and/or Mary Elizabeth "Tipper" Gore on Little Saint 
James island in the iJ.S. Virgin islands. 
JDF 80.2 COUNTY COURT SUBPOENA TO ATTEND OR ATTEND AND PRODUCE 1113 
2012 Colorado Judicial Department fur use in the Courts of Colorado 
EFTA01078809
Page 46 / 90
25. 
AU documents concerning your retention of the law firm Boles. SChil:CI 4: FieNile,' ELP, 
including but not limited to: signed letter of retainer, retention agreement, explanation of fees, 
and/or any documents describing the scope of retention. 
JDF 80.2 COUNTY COURT SUBPOENA TO ATTEND OR ATTEND AND PRODUCE 113 
V 2012 Colorado Judicial Department fun use in the Canna ct Colorado 
EFTA01078810
Page 47 / 90
Crarar.:. 
District Court Fremont County. Colorado 
Court Address. 
136 Justice Center Rd 
Caron City, CO 81212 
Plainliff(sWelitioneds). Edwards, el al. 
v. 
Defendant(s)/Respondent(s): Dershcwitz 
COURT USE ONLY 
Cise Number: 
I Division:
SUBPOENA TO OATTEND ÷SATTEND AND PRODUCE 
To: _Aline Doe F3 (address redacted (  purpose of Gaud Minim 
You are ordered to attend and give testimony al the OlSeCt Court of Fremont Cocain. located at; 136 
Justice Center Road, Canon City, CO 131212. Hoorn s _1. on Tuesday. May 12. 2015, el 9 10 a m. as a 
witness for the IDPlaintiff(s)/PoUtioneds) CiDefenditnt(s1,Respondent(s) in this action. 
At that time and place, you also shall produce the lolrowing items now in your custody or control: 
Soo attached  acNtetute A 
Names, addresses and telephone numbers cl all counsel of iircord in this action and of any party 
eopzesented by counsel are as follows; 
Name 
Address 
1 Telephone 
I For Plaintiffs Bradley J. Edwards 
2139 Palm Beach Lakes Blvd. 
and Paul G. Cassell 
West Palm Beach FL 3340) 
Jack Scarola, FL Bar No. 169440 
Searcy Denney Scarola Barnhart 8 Shipley. 
PA 
For Defendant Alan M. Dershowitz 
9150 
South 
Dadeland 
Blvd . r 
Thomas E Scott, Florida Bar No. 149100 
#1400 
Steven R &gra. Florida Bar No. 057028 
Miami. FL 33156 
Core. SOON 8. Kissane PA 
Date: •-•,* 
•
 
Dr F3ORAH 5/71-HER StRINGARi 
• 
n' 
c 
Attorney. 
,:rr a;2 CyjNI " CC;QP SUBPOI?:A 7C 
['A) Gn AtTE
. C. 
AND PRODUCE 1/13 
Dcp:int,wrt 
a'c's. 
i,
.
‘ .1{'.‘I
tqado 
0
at 
EFTA01078811
Page 48 / 90
AFFIDAVIT OF SERVICE 
I cedars under oatn that. I am 18 years or Wm ems not a 'any to the action and that I servec this Subpoena to 
❑Attend ❑Attend and Produce to the Wdness in 
(County) 
(Slate) 
on  
(date)al the fallowing location  
Chock one 
3 By handing it to a person identified tome as the Witness or by leaving it with Na Witness veto refused service. 
etterr.pled to se've the Witness on 
occasions but have not been able to locate lie Witness. 
Private process server 
0 
Sheriff. 
 County 
Fee S 
 meeage $ 
Signature of Process Server 
Name (Print or typo) 
My Commission Expires 
Notary Public /Deputy Clerk 
Date 
JOE 00.2 COUNTY COURT SUBPOENA TO ATTEND OR ATTEND ANO PRODUCE 1113 
O 2012 Colorado Judicial Oceanfront for use In the Courts of Colorado 
EFTA01078812
Page 49 / 90
SCHEDULE "A" 
1. 
All documents that reference by name, Alan M. Dcrshowitz, l which support and/or 
confirm the allegations set forth in Paragraphs 24-31 of your Declaration dated January 
19, 2015 and/or Paragraph 49 of your Declaration dated February 5, 2015, which were 
filed with the United States District Court for the Southern District of Florida in Jane 
Doe dl  and
 f•2 v. United Stales of Amend Case No. 08.80736-CIV-
IvIARRAIJOHNSON, (ECF No. 291-ll (the "Federal Action"). 
2. 
All photographs and video in the original, native format in which they were taken (not a 
paper copy) of you with Alan M. Dershowitz. 
3. 
All photographs and video in the original, native format in which they were taken (not a 
paper copy) not produced in response to Request No. 2, above, of Alan M. Dershowitz at 
(i) Jeffrey Epstein's Manhattan home in Ncw York City, New York; (ii) Mr. Epstein's 
home in Palm Beach, Florida; (iii) Mr. Epstein's Zorro Ranch in Santa Fe, New Mexico; 
(iv) Little Saint James island in the U.S. Virgin Islands; and (v) Mr. Epstein's airplane, 
on the same date and time that you were also present at such location. 
4. 
All photographs and video in the original, native format in which they were taken (not a 
paper copy) of you not produced in response to Request No. 3, above, that evidence 
and/or show you were present at the same location as Alan M. Dershowitz on that same 
date and time. 
5. 
Any documents and information that support and/or confirm your presence at the various 
locations named in Paragraphs 24-3! of your Declaration on the particular dates and 
times when Alan M. Dershowitz was also present. 
6. 
Any documents and infomiation that show Alan M. Dcrshowitz was present at the 
various locations named in Paragraphs 24-31 of your Declaration on the particular dates 
and timcs when you allege to have been present in your response to Request No. 5, 
above. 
7. 
All statements, written or recorded, which you have provided to anyone that reference by 
name, Alan M. Dershowitz. 
8. 
All notes of, or notes prepared for, any statements or interviews in which you referenced 
by name or other description, Alan M. Dershowitz. 
9. 
All documents concerning any communications by you or on your behalf with any media 
outlet concerning Alan M. Dershowitz or the Federal Action, whether or not such 
communications were "on the record" or "off the record." 
I For purposes of this Schedule "A", reference to "Alan M. Dershowitz" herein shall mean and 
refer to any reference to the Defendant in this action, including but not limited to, as "Alan", 
"Alan M. Dershowitz", "Professor Dershowitz", or "Dershowitz", and the like. 
.OF 802 COUNTY COURT SUBPOENA TO WPC OR ATTEND AND PRODUCE IN 3 
.O2012 Colorado Judicial Department for tae in the Cowi' of Colorado 
EFTA01078813
Page 50 / 90
10, 
All notes, writings, photographs, and or teidio or video recordings made or recorded by or 
of you on the dates on which you allege you were present with Alan M Dershowitz, 
including but not limited to your calendar, diary or journal entries on those dates, 
regardless whether the notes, wrtnngs, photographs, and/or audio or video recordings 
refer to Mr. Dershowitz. To the extent that any responsive materials arc photographs or 
video recordings, please provide them in the original, native format in which they were 
taken (not a paper copy). 
12. 
All documents relating to your travel to or from locations for those occasions when you 
allege you were present with Alan M Dershowitz 
13. 
To the extent not produced in response to the above list of requested documents, all 
notes, writings, photographs, andfor aud:o or video recordings made at any time that refer 
or relate in any way to Alan NI. Dershowi . 
14. 
All drafts of declarations or affidavits by you that relate in any way to Alan M. 
Dershowitz and/or Jeffrey Epstein 
IS. 
All documents relating to any telephone, including any cellular telephone, used by you 
between January 1,1999 and December 31, 2002.
16. 
Any diary. journal or calendar concerning your activities between January 1, 1999 and 
December 31, 2002. 
17. 
All documents concerning arty actual or potential book, television or movie deals 
concerning your allegations about being a sex slave 
18. 
All documents concerning any monetary payments or other consideration received by 
you from any media outlet in exchange for your statements (whether "on the record" or 
"off the record") regarding Jeffrey Epstein. Alan M. Dershowitz, Prince Andrew, Duke of 
York, and/or being a sex slave. 
19. 
All documents showing, concerning, relating or referring to when you were at or on (1) 
Jeffrey Epstein's Manhattan home in New York City, New York; (ii) Mr. Epstein's home 
in Palm Beach, Florida; (iii) Mr. Epstein's %ono Ranch in Santa Fe, New Mexico; (iv) 
Little Saint James island in the V.S. Virgin Islands; and (v) Mr. Epstein's airplane from 
January 1, 1999 through December 3 I , 2002. 
20. 
All documents showing any payments or remuneration of any kind made by Jeffrey 
Epstein or any of his agents or associates to you from January 1. 1999 through December 
31, 2002. 
21. 
All travel records of any kind, including but not limited to tickets, hotel room receipts or 
other documents concerning, relating or referring to any travel undertaken by you 
between January I. 1999 and December 31. 2002. 
JOF 60.2 COUNTY COURT SUOPOENA TO A"TENO OR ATTEND AND PRODUCE ins 
t) 2012 Colorado Judicial Depaatent for use in the Cows of Colorado 
EFTA01078814
Page 51 / 90
22. 
All records of any interviews given by you to any party concerning, relating or referring 
to Jeffrey Epstein or any of his agents or associates. 
23. 
All manuscripts and/or other writings, whether published or unpublished, created in 
whole or in part by you, concerning, relating or referring to Jeffrey Epstein and any of his 
agents or associates. 
24. 
All documents concerning, relating or referring to your assertions that you met former 
President BIB Clinton, former Vice President Al Gore and/or Mary Elizabeth - Tipper" 
Gore on Little Saint James island in the U.S. Virgin Islands. 
25. 
All documents concerning your retention of the law firm Boles, Schiller & FIcxner LLP, 
including but not limited to: signed letter of retainer, retention agreement, explanation of 
fees, and/or any documents describing the scope of retention. 
JOF a02 COUNTY WURT SUBPOENA TO ATTEND OR ATTEND AND PRODUCE 1;13 
C 2012 Colorado Judicial Diva nmcnt for ow m tt.c Courts of Colorado 
EFTA01078815
Page 52 / 90
ATTACHMENT A 
C.R.C.P. 45 requires the party issuing a subpoena for the production of records or a tangible 
thing to provide the following information: 
(c) Protecting a Person Subject to a Subpoena. 
(I) Avoiding Undue Burden or Expense; Sanctions. A party or attorney responsible for issuing 
and serving a subpoena must take reasonable steps to avoid imposing undue burden or expense 
on a person subject to the subpoena. The issuing court must enforce this duty and impose an 
appropriate sanction, which may include lost earnings and reasonable attorney's fees, on a party 
or attorney who fails to comply. 
(2) Command to Produce Records or Tangible Things. 
(A) Attendance not required. A person commanded to produce records or tangible things need 
not attend in person at the place of production unless also commanded to attend for a deposition, 
hearing, or trial. 
(B) For production of privileged records. 
(1) If a subpoena commands production of records from a person who provides services subject 
to one of the privileges established by C.R.S. § 13-90.107, or from the records custodian for that 
person, which records pertain to services performed by or at the direction of that person 
("privileged records"), such a subpoena must be accompanied by an authorization signed by the 
privilege holder or holders or by a court order authorizing production of such records. 
(II) Prior to the entry of an order for a subpoena to obtain the privileged records, the court shall 
consider the rights of the privilege holder or holders in such privileged records, including an 
appropriate means of notice to the privilege holder or holders or whether any objection to 
production may be resolved by redaction. 
(Ill) If a subpoena for privileged records does not include a signed authorization or court order 
permitting the privileged records to be produced by means of subpoena, the subpoenaed person 
shall not appear to testify and shall not disclose any of the privileged records to the party who 
issued the subpoena. 
(C) Objections. Any party or the person subpoenaed to produce records or tangible things may 
submit to the party issuing the subpoena a written objection to inspecting, copying, testing or 
sampling any or all of the materials. The objection must be submitted before the earlier of the 
time specified for compliance or 14 days after the subpoena is served. If objection is made, the 
party issuing the subpoena shall promptly serve a copy of the objection on all other parties. If an 
objection is made, the party issuing the subpoena is not entitled to inspect, copy, test or sample 
the materials except pursuant to an order of the court from which the subpoena was issued. If an 
objection is made, at any time on notice to the subpoenaed person and the other parties, the party 
issuing the subpoena may move the issuing court for an order compelling production. 
(3) Quashing or Modifying a Subpoena. 
EFTA01078816
Page 53 / 90
(A) When required. On motion made promptly and in any event at or before the time specified in 
the subpoena for compliance, the issuing court must quash or modify a subpoena that: 
(I) Fails to allow a reasonable time to comply; 
(11) Requires a person who is neither a party nor a party's officer to attend a deposition in any 
county other than where the person resides or is employed or transacts his business in person, or 
at such other convenient place as is fixed by an order of court; 
(III) Requires disclosure of privileged or other protected matter, if no exception or waiver 
applies; or 
(IV) Subjects a person to undue burden. 
(B) When permitted. To protect a person subject to or affected by a subpoena, the issuing court 
may, on motion made promptly and in any event at or before the time specified in the subpoena 
for compliance, quash or modify the subpoena if it requires: 
(I) Disclosing a trade secret or other confidential, research, development, or commercial 
information; or 
(Ii) Disclosing an unretained expert's opinion or information that does not describe specific 
matters in dispute and results from the expert's study that was not requested by a party. 
(C) Specifying conditions as an alternative. In the circumstances described in Rule 45(c)(3)(B), 
the court may, instead of quashing or modifying a subpoena, order attendance or production 
under specified conditions if the issuing party: 
(I) Shows a substantial need for the testimony or material that cannot be otherwise met without 
undue hardship; and 
(II) Ensures that the subpoenaed person will be reasonably compensated. 
(d) Duties in Responding to Subpoena. 
(1) Producing Records or Tangible Things. 
(A) Unless agreed in writing by all parties, the privilege holder or holders and the person 
subpoenaed, production shall not be made until at least 14 days after service of the subpoena, 
except that, in the case of art expedited hearing pursuant to these rules or any statute, in the 
absence of such agreement, production shall be made only at the place, date and time for 
compliance set forth in the subpoena; and 
(B) If not objected to, a person responding to a subpoena to product records or tangible things 
must produce them as they are kept in the ordinary course of business or must organize and label 
them to correspond to the categories in the demand and must permit inspection, copying, testing, 
or sampling of the materials. 
(2) Claiming Privilege or Protection. 
EFTA01078817
Page 54 / 90
(A) Information withheld. Unless the subpoena is subject to subsection (c)(2)(B) of this rule 
relating to production of privileged records, a person withholding subpoenaed information under 
a claim that it is privileged or subject to protection as trial-preparation material must: 
(I) Make the claim expressly; and 
(II) Describe the nature of the withheld records or tangible things in a manner that, without 
revealing information itself privileged or protected, will enable the parties to assess the claim. 
(B) Information produced. If information produced in response to a subpoena is subject to a 
claim of privilege or of protection as trial-preparation material, the person making the claim may 
notify any party that received the information of the claim and the basis for it. After being 
notified, a party must promptly return, sequester, or destroy the specified information and any 
copies it has; must not use or disclose the infonnation until the claim is resolved; must take 
reasonable steps to retrieve the information if the party disclosed it before being notified; and 
may promptly present the information to the court under seal for a determination of the claim. 
The person who produced the information must preserve the information until the claim is 
resolved. 
EFTA01078818
Page 55 / 90
EXHIBIT 7 
EFTA01078819
Page 56 / 90
Alan Dershowitz Wants Attorneys Behind "Totally False" Underage Sex Claims to Be Di... Page I of 3 
Alan Dershowitz Wants 
Attorneys Behind "Totally False" 
Underage Sex Claims to Be 
Disbarred 
lh)Il inp HAI 
The Hollywood Reporter 
January 05. 2015 
Former Harvard Law school professor and prominent lawyer Alan 
Dershowitz is firing back at claims that he had sex with an underage 
woman, part of a civil lawsuit centered around financier and convicted 
sex offender Jeffrey Epstein. 
A woman identified simply as "Jane Doe Number 3" alleges that 
Epstein forced her to have sex with Dershowitz and Britain's Prince 
Andrew while she was underage. 
Read more Alan Dershowitz Sends 'Curb Your Enthusiasm' 
Palestinian Chicken Episode to Benjamin Netanyahu 
In a video interview with Matt Lauer on Monday's Today, Dershowitz 
strongly denied the allegations, deeming them "totally and made up" 
and calling for the attorneys who filed the motion. Bradley J. Edwards 
and former federal judge Paul G. Cassell, to be disbarred. 
Site Exposes Why Googling' Yourself Isn't Enough! 
insiantCheckmate Sponsored 
Dershowitz refuted the woman's allegations. repeatedly insisting that 
he wasn't with her when she claims the two of them had sex, adding 
https://www.yahoo.com/movies/s/alan-dershowitz-wants-attorneys-behind-totally-false-und... 4/9/2015 
EFTA01078820
Page 57 / 90
Alan Dershowitz Wants Attorneys Behind "Totally False" Underage Sex Claims to Be Di... Page 2 of 3 
that he only visited Epstein's island and his ranch, the site of two 
alleged sexual encounters, once, with his wife and children. 
"I've never seen her. I've never met her. I don't know who she is," 
Dershowitz said. 
As for the lawyers, Dershowitz objected to their filing the motion 
without doing any investigation that would show the woman's claims to 
be he argued. 
COACH OVERSTOCK CLEARANCE: Coach Bags $99 &Falling 
',f` 
TumbleDeal Sponsored 
Read more Hollywood's Top 10 Legal Disputes of 2014 
"These lawyers engaged in unethical behavior and should be 
disbarred," he said. "It's the legal equivalent of scribbling something 
on a toilet stall and then running away. They didn't think there would 
be any response, and they will rue the day that they filed this unethical 
complaint, because they. I believe, will be disbarred." 
He went on to say that he challenged the woman to repeat her 
allegations to the press so he can sue for defamation and to file 
criminal charges against him. 
"They will not get away with this," Dershowitz said in closing. "The 
truth will come out, and it will show these two unethical lawyers should 
be disbarred. I am completely, absolutely innocent of any and all 
charges." 
8 Famous Men Who Married Older Women 
Answers Detebs Sponsored 
https://www.yahoo.eom/movies/s/alan-dershowitz-wants-attorneys-behind-totally-false-und... 4/9/2015 
EFTA01078821
Page 58 / 90
Alan Dershowitz Wants Attorneys Behind "Totally False" Underage Sex Claims to Be Di... Page 3 of 3 
Buckingham Palace has also denied the allegations against Prince 
Andrew. 
Watch Dershowitz's full interview below. 
>>.» 
Visit NBCNews.com for breaking news, world news, and news about 
the economy 
https://www.yahoo.com/movies/sialan-dershowitz-wants-attorneys-behind-totally-false-und... V9/2015 
EFTA01078822
Page 59 / 90
EXHIBIT 8 
EFTA01078823
Page 60 / 90
IN in« CIRCA_ IT COURT OF TEIE 7 tir
JUDICIAI ciRcurt IN AND FOR 
BROWARD COIN I V. Fl ORIDA 
MIL DI \ISM 
}IRADUN I EDWARDS and 
CASE NO. CACI- I 5-00tX172 
PAUL 
CASSF_I 
r. 
Al AN DERSIIOWIT7. 
Defendant. 
AFFIDAVIT OF JANE DOE NO, 3 IN SUPPORT Of 
mgrifn TO QUASH OR FOR PROTECTIVE ORDER 
I . 
Mr name is PANE DOE No. 1i. 
I am currently. Over the age of 18. 
On April 1.3015.1 was served uith a Subpoena for *pocnion Duce.; Tectrm in the 
abate-styled ease. ti con% at which is attached hereto as Exhibit I. 
.1. 
I wits n y 'dim of Nexual trafficking when I uus a minor child. 
I ant not a party to thi4' etion and I believe the broad requests in the subpoena 
violate my orMacY and um immded only to harasF anJ intimidate mc. I am aware of the 
Defendant's num :mus public attacks on mc. including his statement tillingt his desire to put me in 
-inir I am fearfal of the Defendant. 
1 declare under penalty of perjury ;hat the foregoing are true and correct to the best of my 
knowledge. 
Ft/ended this 
day of April. 7015 
' "'' 
I: DOI- Nn 
j 
EFTA01078824
Pages 41–60 / 90