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| title: "House Oversight: Estate Documents (Nov 12) (HOUSE_OVERSIGHT_015599)" | |
| source: "House Oversight: Estate Documents (Nov 12)" | |
| sourceUrl: "https://www.justice.gov/epstein" | |
| date: "2026-01-01" | |
| category: "House Oversight" | |
| eftaNumber: "HOUSE_OVERSIGHT_015599" | |
| ocrPages: 1 | |
| ocrChars: 1515 | |
| ocrElapsed: 0.0 | |
| parseTier: "external-legacy" | |
| engine: "engine undisclosed (ep-nov-12.greg.technology mirror)" | |
| externalSource: "greg-ep-nov-12" | |
| externalLicense: "not granted" | |
| externalCredit: "ep-nov-12.greg.technology" | |
| externalUrl: "https://ep-nov-12.greg.technology" | |
| Filing # 25919336 E-Filed 04/09/2015 05:23:25 PM | |
| IN THE CIRCUIT COURT OF THE 17TH | |
| JUDICIAL CIRCUIT IN AND FOR | |
| BROWARD COUNTY, FLORIDA | |
| CIVIL DIVISION | |
| CASE NO. CACE 15-000072 | |
| BRADLEY J. EDWARDS, and | |
| PAUL G. CASSELL, | |
| Plaintiffs, | |
| V. | |
| ALAN DERSHOWITZ, | |
| Defendant. | |
| MOTION TO QUASH OR FOR PROTECTIVE ORDER REGARDING | |
| SUBPOENA SERVED ON NON-PARTY JANE DOE NO. 3 | |
| Non-party Jane Doe 3, by and through undersigned counsel and pursuant to Florida Rules | |
| of Civil Procedure 1.410(c)(1) , hereby moves for an order quashing the subpoena duces tecum | |
| served on her by Defendant, or alternatively, pursuant to Florida Rules of Civil Procedure 1.280(c) | |
| for issuance of a protective order sharply limiting the scope of the subpoena. | |
| INTRODUCTION | |
| This Court should quash the subpoena issued to non-party Jane Doe No. 3 as it is | |
| unreasonable and oppressive. The Defendant is abusing the subpoena power in an effort to | |
| intimidate, harass and cause undue burden to a non-party. Indeed, Defendant - just days ago - | |
| publicly admitted that his goal of deposing Jane Doe No. 3 has nothing to do with this Florida | |
| Defamation Action; rather, he is trying to find a way to send this victim of sexual trafficking to | |
| "jail." "She was hiding in Colorado….. but we found her and she will have to be deposed. The end | |
| ^ For the limited purpose of the Motion to Quash or for Protective Order and resolving the scope of the | |
| subpoena and any enforcement issues, Jane Doe No. 3 voluntarily submits herself to this Court's | |
| jurisdiction. | |
| HOUSE | |
| _OVERSIGHT_015599 | |