., SCOUNTER-PLAINTIFF; EDWARDS’ SECOND RENEWED MOTION.FOR LEAVE TO > - -
IN THE CIRCUIT COURT OF THE FIFTEENTH JUDICIAL CIRCUIT, IN AND FOR PALM BEACH COUNTY, FLORIDA
CASE NO.: 502009CA040800XXX XMBAG
JEFFREY EPSTEIN,
Plaintiff(s), VS. SCOTT ROTHSTEIN, individually, BRADLEY J. EDWARDS, individually, and L.M., individually,
Defendant(s).
ASSERT CLAIM FOR PUNITIVE DAMAGES Counter-plaintiff, BRADLEY J. EDWARDS, moves this Honorable Court for entry of an ‘Guder granting him leave to assert a claim for punitive damages against # the Counter- defendant, sntiy EPSTEIN, and in support thereof secu show that the evident summarized herein
satisfies the statutory prerequisites for the assertion of a punitive damage cl claim. Specifically, the
evidence establishes that EPSTEIN’s Complaint against EDWARDS;
1. was filed in the total absence of evidence to support any allegation of wrongdoing on the part of EDWARDS; as was filed in the total absence of evidence that EPSTEIN had sustained damage as
a consequence of any misconduct other than his own well-established criminal enterprise;
3. was filed in the absence of any intention to meet his own obligation to provide relevant and material discovery;
EXHIBIT
HOUSE_OVERSIGHT_013394
