Fowler White

Company 5% confidence

high confidence (company): Law firm name

Statistics
  • Mentions: 32
  • Documents: 32
  • First Found: 1251.pdf

Document Mentions (32)

Document Volume Page Context
1251.pdf - 8 Motion to Compel production of documents from Edwards and for Sanctions. State Court April 23, 2012 Fowler White Motion to Withdraw State Court May 2, 2012 Agreed Order on Fowler White Withdraw State ...
1319.pdf - 20 t privilege and work- product protection, and admissibility with respect to the 47 e-mails. How the Fowler White firm obtained the disc from where the 47 e-mails originated is something which Edwards ...
1319.pdf - 259 e documents that we're talking ;about -- again, right:Iy or wrongiy held -- were in, fact ]1eld, by Fowler White, Epstein:i s: c9,unseJ.,, ,at an Jncredib:Le crucial time in this px-oce_ss; and· that ...
1319.pdf - 262 timately resulting in an order from this Court that Epstein's counsel- attorneys at the law firm of Fowler White Burnett, P.A. ("Fowler White")-would make a copy of the materials and return them to Fa...
1319.pdf - 263 for the limited purpose of copying and Bates numbering them, this Court specifically ordered that "Fowler White will not retain any copies of the documents contained on the discs provided to it, nor s...
1319.pdf - 265 . [DE 1120]. 10. On November 30, 2010, this Court entered an Agreed Order directing the law firm of Fowler White Burnett, P.A. to print a hard copy of all of the documents contained on the discs with ...
1319.pdf - 266 discs provided to it, nor shall any images or copies of said documents be retained in the memory of Fowler White's copiers. Should it be determined that Fowler White or Epstein retained images or copi...
1319.pdf - 269 or Epstein delivered a flash drive to counsel for Edwards, "which duplicates the disc we located in Fowler White's files." Letter of transmittal attached hereto as Exhibit A. The subject flash drive c...
1319.pdf - 270 s thus undisputed that a disk containing the privileged emails in question was in the possession of Fowler White in early January 2018-a disc showing that it had last been modified on December 8, 2010...
1319.pdf - 271 R Doc 6323 Filed 03/19/18 Page 10 of 23 ultimately admitted "I wasn't there. I can't tell you what [Fowler White] did .... " Hearing Trans. at 45:23-24. 29. During the hearing, counsel for Epstein rev...
1319.pdf - 272 NOT A CERTIFIED COPY Case 09-34791-RBR Doc 6323 Filed 03/19/18 Page 11 of 23 Fowler White that someone from Fowler White would have had the ability to weigh in somehow as to these critical
1319.pdf - 273 specifically delineated procedure designed to protect highly confidential and privileged materials, Fowler White has apparently deliberately copied and retained highly sensitive confidential and privi...
1319.pdf - 274 T A CERTIFIED COPY Case 09-34791-RBR Doc 6323 Filed 03/19/18 Page 13 of 23 were downloaded into the Fowler White system, whether they were disseminated to third parties, and ultimately when and how th...
1319.pdf - 275 1 Order from the day that the Epstein subpoena was issued on April 17, 2010 through the present. 3. Fowler White and Epstein (including all of Epstein's past and present legal counsel) will provide to...
1319.pdf - 276 led 03/19/18 Page 15 of 23 limited to, testimony from Special Master Robert Camey, Jeffrey Epstein, Fowler White Attorney Joseph L. Ackerman, Fowler White Attorney Lilly Ann Sanchez, Jack Goldberger, ...
1319.pdf - 279 be no doubt that a prima facie showing of contempt has been made by clear and convincing evidence. Fowler White and Epstein were directed not to retain copies of privileged documents. The events cited...
1319.pdf - 280 destruction, thereby impeding further investigation of the origin of those materials. Accordingly, Fowler White and Epstein (including his legal counsel, past and present) should be ordered to provide...
1319.pdf - 281 /18 Page 20 of 23 I HEREBY CERTIFY that, pursuant to L.R. 9073-l(D), Movant's counsel has contacted Fowler White in a good faith attempt to resolve the matter without a hearing before bringing this mo...
1319.pdf - 283 ERTIFIED COPY Case 09-34791-RBR Doc 6323 Filed 03/19/18 Page 22 of 23 Joseph L. Ackerman, Jr., Esq. Fowler White Burnett, P.A. 901 Phillips Point West 777 South Flagler Drive West Palm Beach, Florida ...
1319.pdf - 286 tion filed on behalf of Farmer, Jaffe for issuance of an order to show ~use why Jeffrey Epstein and Fowler White should not be held in contempt of court. Edwards\adopts all arguments and requests for ...
1319.pdf - 289 e following relief, not specifically sought by Farmer Jaffe. 1. A letter written and signed by both Fowler White and Jeffrey Epstein, and provided to the VZictims, to the following effect: "To Whom It...
1319.pdf - 290 I HEREBY CERTIFY that, pursuant to L.R. 9073-l(D), Movant's counsel has contacted Farmer Jaffe and Fowler White in a good faith attempt to resolve the matter without a hearing before bringing this mot...
1319.pdf - 293 ttorneys for Farmer, Jaffe, Weissing, Edwards, Fistos & Lehrman, P.L. Joseph L. Ackerman, Jr., Esq. Fowler White Burnett, P.A. 901 Phillips Point West 777 South Flagler Drive West Palm Beach, Florida ...
1319.pdf - 294 ary Email: nmclachlan@cfjblaw.com Secondary Email: cguzman@cfjblaw.com miaecf@cfdom.net Counsel for Fowler White Burnett, PA 7
1417.pdf - 2 -mails were discovered. As of the time of this submission, Judge Ray has not yet determined whether Fowler White, Epstein's counsel at the time of the November 2010 Agreed Order (and from whom Link & ...
1417.pdf - 30 ource. The obvious source, based now upon what we have been able to piece together, is very clearly Fowler White's improper retention of this material after they had been expressly ordered by the fede...
1417.pdf - 32 that takes nothing away from what the Court has already remarked upon concerning the fact that now Fowler White in the representation of Mr. Epstein had these records from the inception is one of the ...
795 (1).pdf - 121 (954)-524-2822 Attorneys for Jeffrey Epstein Joseph L. Ackerman, Jr., Esquire jla@fowler-white.com Fowler White Burnett, P.A. 901 Phillips Point West 777 S Flagler Drive West Palm Beach, FL 33401-6170...
795 (1).pdf - 281 d in response to discovery demand by, who is it, Greenberg? MR. INDYKE: It was Fowler, I believe. A Fowler White maybe. MR. HADDAD: Oh, Fowler White. MR. INDYKE: On demand by Fowler, yes. MR. HADDAD: ...
795.pdf - 121 (954)-524-2822 Attorneys for Jeffrey Epstein Joseph L. Ackerman, Jr., Esquire jla@fowler-white.com Fowler White Burnett, P.A. 901 Phillips Point West 777 S Flagler Drive West Palm Beach, FL 33401-6170...
795.pdf - 281 d in response to discovery demand by, who is it, Greenberg? MR. INDYKE: It was Fowler, I believe. A Fowler White maybe. MR. HADDAD: Oh, Fowler White. MR. INDYKE: On demand by Fowler, yes. MR. HADDAD: ...
EFTA00009329.pdf VOL00007 27 think she set up her own practice. 6 Q At the time -- at this time, she was with something 7 called Fowler White Burnett. 8 9 10 11 12 A Okay, so -- Q She -- A -- she went to Fowler White. Q -- subseq...