RRA
location 108 mentions 60% confidence
Document Mentions (108)
| Document | Volume | Page | Context |
|---|---|---|---|
| 1319.pdf | - | 7 | CVRA action in April 2009 when Edwards joined RRA, Edwards did nothing in that action while he was at RRA. In fact, the first filing Edwards made in t... |
| 1319.pdf | - | 13 | red to the sender or recipients of the e-mails using unlawful group descriptions such as "Attorneys at RRA," or "RRA Staff," or identified them as "Co... |
| 1319.pdf | - | 15 | E.W. or Jane Doe). Rather, the majority of the documents are e-mails among attorneys and staff within RRA, with Mr. Cassell, and with media sources an... |
| 1319.pdf | - | 202 | to the discovery of the admissible evidence; protected by privacy rights 05676 08/24/2009 Attorneys at RRA M*e Fisten Topics for Meeting Work product;... |
| 1319.pdf | - | 264 | d documents from attorney Edwards related to Edwards' representation of the sex abuse victims while at RRA. [DE 807]. 5. On May 18, 2010, this Court e... |
| 1417.pdf | - | 10 | CVRA action in April 2009 when Edwards joined RRA, Edwards did nothing in that action while he was at RRA. In fact, the first filing Edwards made in t... |
| 1417.pdf | - | 18 | E.W. or Jane Doe). Rather, the majority of the documents are e- mails among attorneys and staff within RRA, with Mr. Cassell, and with media sources a... |
| 745.pdf | - | 17 | tructed to make political campaign contributions that were then reimbursed to the lawyer from funds at RRA." The lawyer who received the clearance let... |
| 745.pdf | - | 82 | escribed betowi so as to Mk investors-out ofhtlndreds of milflons of dollars. ROTHSTEf N and others in RRA· devised an elaborate plan through which we... |
| 745.pdf | - | 93 | to a fair Wal in Palm Beach County. cc) EDWARDS, Berger and Russell A-dler (another nam~d p:artner In RRA) alf attended EP.STElWs dep9!!tion. At tiJat... |
| 795 (1).pdf | - | 61 | d Jane Doe. When I joined the furn, I was not aware that Scott Rothstein was running a Ponzi scheme at RRA. Had I known such a Ponzi scheme was in pla... |
| 795 (1).pdf | - | 65 | eme becmne public knowledge. It was at that time that I, along with many otheir reputable attorneys at RRA, first became aware of Rothstein criminal s... |
| 795 (1).pdf | - | 75 | iends, or the people he did business with on a daily basis, or even his wife. Many of the attorneys at RRA h~d been there for years and knew nothing. ... |
| 795 (1).pdf | - | 163 | to literally file the motion. That 8 November 2009. 9 is her only involvement with the cases while at RRA 9 Q. And how did it tenninate? How did your ... |
| 795 (1).pdf | - | 164 | th you documents that related to files on which you were working the preceding Friday when you were at RRA? A. I believe so. Q. Did you take, did you ... |
| 795 (1).pdf | - | 167 | files specifically, specifically the -- well, let me Page 29 strike that. During the time you were at RRA, of the three files, Jane Doe, L.M., and E.W... |
| 795 (1).pdf | - | 168 | sk, or some other storage 4 medium so that you had access to all your prior 5 e-mails when you were at RRA? 6 A. I don't know. 7 Q. Did you ever make ... |
| 795 (1).pdf | - | 169 | 24 25 Page 39 Fortis system before you came to Rothstein -- A. Had I ever used Fortis before I came to RRA? Q. Yes. A. No. Q. Now, back to Qtask. Did ... |
| 795 (1).pdf | - | 170 | as well? A. I don't remember that. Q. Would it be a correct statement that during the time you were at RRA, you did use Qtask? A. Yes. Q. And did you ... |
| 795 (1).pdf | - | 174 | l when it was created? A. No. Q. Do you recall whether it was created within a month of your coming to RRA? A. I don't remember. Q. Do you recall whet... |
| 795 (1).pdf | - | 176 | ffered a position? A. I didn't say I had an interest. Q. So, what happened? How did you then end up at RRA? A. Numerous conversations with Russell Adl... |
| 795 (1).pdf | - | 178 | o get or expected to 7 I can't tell you I got them but I don't know. 8 earn if you considered a job at RRA 8 Q. Did you discuss any of your cases that... |
| 795 (1).pdf | - | 179 | ell. Q. And what happened thereafter? That is, how did you go from then being a solo practitioner into RRA? How did you integrate yourself? What was t... |
| 795 (1).pdf | - | 180 | Mr. Cassell ever on any of the contracts with the three Plaintiffs? A. Yes. Q. Okay. When you moved to RRA, was a new fee agreement signed with each o... |
| 795 (1).pdf | - | 182 | you during that time period? A. It's my intent to. Q. Okay. Same would be true with, when you were at RRA, did they have a time program? A. They did h... |
| 795 (1).pdf | - | 183 | es Mr. Howell, do you consult with Mr. Howell during the time you were both solo practicer and were at RRA? A. Is your question asking for the answer ... |
| 795 (1).pdf | - | 186 | is any paper files that you had associated with the Epstein files, where would they have been kept at RRA? A. In a filing cabinet. Q. And were the fil... |
| 795 (1).pdf | - | 187 | d RRA, did you ever have any further meetings with Mr. Rothstein; that is, from the day you started at RRA, did you ever meet Mr. Rothstein again? A. ... |
| 795 (1).pdf | - | 191 | r. Q. And he read -- did you provide him with copies of the pleadings in these cases when they came to RRA? A. No. Q. What was the topic? What was the... |
| 795 (1).pdf | - | 192 | ll, let me 24 strike that. Did you ever have any contact with 25 Mr. Jenne during the time you were at RRA? ',, ,-.~--~ .:.;;. 1 2 3 4 5 6 7 8 9 10 11... |
| 795 (1).pdf | - | 194 | member of the press during the time, we'll come back to Mr. Epstein. During the time when you were at RRA, did you communicate with anybody else by, b... |
| 795 (1).pdf | - | 195 | RA? A. I believe so. There, there could have been, there could have been an e-mail. Oh I only think at RRA 36 (Pages 141 to 144) I |
| 795 (1).pdf | - | 200 | incurred on your personal injury cases including Mr. Epstein's case when you went, when you started at RRA? A. What do you mean? Q. Well, you said tha... |
| 795 (1).pdf | - | 201 | . How about depositions, l mean during the time that we, we took depositions from the time you were at RRA, transcripts were ordered of depositions. T... |
| 795 (1).pdf | - | 203 | iated with I\.ir. Epstein, what investigators worked on Mr. Epstein's case during the time you were at RRA? A. If you want an exclusive list, I don't ... |
| 795 (1).pdf | - | 205 | you hired or retained an investigator to do a.r1y work for you on the Epstein files prior to coming to RRA? A. I don't think so. Q. All right. A. It w... |
| 795 (1).pdf | - | 206 | continued to do investigative work in some capacity probably throughout the entire time that I was at RRA Q. Were all of the bills for that investigat... |
| 795 (1).pdf | - | 207 | you -- well, let me strike that. Did you ever direct the investigators to, during the time you were at RRA, to conduct a surveillance on Mr. Epstein's... |
| 795 (1).pdf | - | 208 | cally the one that you -- well, let me strike that. The investigator that you hired before you went to RRA, I think you testified that bill was paid b... |
| 795 (1).pdf | - | 225 | No. Q. Were you aware that he owned a Lamborghini? A. No. I Q. Again during the time that you were at RRA? A. I understand that. The answer is no. Q. ... |
| 795 (1).pdf | - | 226 | e had and I didn't !mow until right now that he had those things. But certainly while I was working at RRA I didn't know that he had those things. Q. ... |
| 795 (1).pdf | - | 228 | Have l seen what? Q. Have you seen that in any of the news media, that Mr. Preve had an office within RRA? A. That name doesn't sound familiar at all.... |
| 795 (1).pdf | - | 229 | : Keep going. BY MR. CRITTON: Q. Mr. Edwards, with regard to your phone, did you have a direct line at RRA? A. Yes. Q. What was that phone number? A. ... |
| 795 (1).pdf | - | 233 | your firm, the RRA firm for any reason? A. Yes. Q. On how many occasions did she come to your firm, to RRA? A. I believe one time. Q. In addition to, ... |
| 795 (1).pdf | - | 234 | ? A. Russell Adler, Bill Berger. J believe that's it. Q. From, from your observations when you were at RRA, did it appear that certain individuals had... |
| 795 (1).pdf | - | 246 | law firm. i 9 Q. At your firm, when e-mails would go out to ho ~ attorneys at RRA or all attorneys at RRA, were you fi11 part of that e-mail group? h2... |
| 795 (1).pdf | - | 248 | it you were hiring him to do exactly? A. Ultimate the goal was to head up on investigative arm within RRA, within the RRA entities. Q. Well, while he ... |
| 795 (1).pdf | - | 253 | imself as lead counsel. Q. Do you k.T1ow if any additional complaints were filed while the case was at RRA? A. 1 have no idea one way or the other. Q.... |
| 795 (1).pdf | - | 264 | recommended that Brad Edwards be hired at your firm? A. Before. Q. So before Brad Edwards was hired at RRA, Russeii Adler was a co-conspirator of your... |
| 795 (1).pdf | - | 266 | f your 1 conspiracy ever tell you he had discussed with Brad 2 Edwards about the ilJegal activities at RRA? 3 A. No. 4 Q. NoW,j'.OU testified when ask... |
| 795 (1).pdf | - | 281 | t me just take one of these 3J1d obviously -- who's Bill -- William J. Berger? A He was an attorney at RRA, formerly a judge in Palm Beach County. Q A... |
| 795 (1).pdf | - | 282 | and out. A It is an e-mail from Bill Berger to Pat Cai1er, who, by this, I would say the e-mail is at RRA, so it is probably his secretary. Q All righ... |
| 795 (1).pdf | - | 296 | associated with Mr. Epstein, what investigators worked on Epstein's cases during the time you were at RRA? A l communicated directly with Mike Fiston.... |
| 795 (1).pdf | - | 297 | investigators, 18 you gave direction regarding the Epstein cases during 19 the time which you were at RRA, did you ever tell them 20 or direct them to... |
| 795 (1).pdf | - | 299 | id you ever use them, because that is probably what they are talking about? A During the time l was at RRA, I am assuming? Q Yeah. A No. Q I think all... |
| 795 (1).pdf | - | 301 | ictly a contingency fee person? I guess that would be contingency fee basis, I guess. A While I was at RRA? Q Yeah. Well, you answered it, 90 percent ... |
| 795 (1).pdf | - | 304 | Rothstein didn't know what was going, Adler was just taking all the money. A At the time when I was at RRA, no. Q Okay. A Subsequently, yes. Q Subsequ... |
| 795 (1).pdf | - | 312 | finn had no longer the ability to function. A Correct. Q Yourself, I know Gary Farmer was with you at RRA, was Matt Weissing there too? A Yes. Q And w... |
| 795 (1).pdf | - | 313 | and I'm 12 not going through all of this other stuff, the Epstein 13 cases, correct? When you went to RRA, that was part of 14 the reason Russell was ... |
| 795.pdf | - | 61 | d Jane Doe. When I joined the furn, I was not aware that Scott Rothstein was running a Ponzi scheme at RRA. Had I known such a Ponzi scheme was in pla... |
| 795.pdf | - | 65 | eme becmne public knowledge. It was at that time that I, along with many otheir reputable attorneys at RRA, first became aware of Rothstein criminal s... |
| 795.pdf | - | 75 | iends, or the people he did business with on a daily basis, or even his wife. Many of the attorneys at RRA h~d been there for years and knew nothing. ... |
| 795.pdf | - | 163 | to literally file the motion. That 8 November 2009. 9 is her only involvement with the cases while at RRA 9 Q. And how did it tenninate? How did your ... |
| 795.pdf | - | 164 | th you documents that related to files on which you were working the preceding Friday when you were at RRA? A. I believe so. Q. Did you take, did you ... |
| 795.pdf | - | 167 | files specifically, specifically the -- well, let me Page 29 strike that. During the time you were at RRA, of the three files, Jane Doe, L.M., and E.W... |
| 795.pdf | - | 168 | sk, or some other storage 4 medium so that you had access to all your prior 5 e-mails when you were at RRA? 6 A. I don't know. 7 Q. Did you ever make ... |
| 795.pdf | - | 169 | 24 25 Page 39 Fortis system before you came to Rothstein -- A. Had I ever used Fortis before I came to RRA? Q. Yes. A. No. Q. Now, back to Qtask. Did ... |
| 795.pdf | - | 170 | as well? A. I don't remember that. Q. Would it be a correct statement that during the time you were at RRA, you did use Qtask? A. Yes. Q. And did you ... |
| 795.pdf | - | 174 | l when it was created? A. No. Q. Do you recall whether it was created within a month of your coming to RRA? A. I don't remember. Q. Do you recall whet... |
| 795.pdf | - | 176 | ffered a position? A. I didn't say I had an interest. Q. So, what happened? How did you then end up at RRA? A. Numerous conversations with Russell Adl... |
| 795.pdf | - | 178 | o get or expected to 7 I can't tell you I got them but I don't know. 8 earn if you considered a job at RRA 8 Q. Did you discuss any of your cases that... |
| 795.pdf | - | 179 | ell. Q. And what happened thereafter? That is, how did you go from then being a solo practitioner into RRA? How did you integrate yourself? What was t... |
| 795.pdf | - | 180 | Mr. Cassell ever on any of the contracts with the three Plaintiffs? A. Yes. Q. Okay. When you moved to RRA, was a new fee agreement signed with each o... |
| 795.pdf | - | 182 | you during that time period? A. It's my intent to. Q. Okay. Same would be true with, when you were at RRA, did they have a time program? A. They did h... |
| 795.pdf | - | 183 | es Mr. Howell, do you consult with Mr. Howell during the time you were both solo practicer and were at RRA? A. Is your question asking for the answer ... |
| 795.pdf | - | 186 | is any paper files that you had associated with the Epstein files, where would they have been kept at RRA? A. In a filing cabinet. Q. And were the fil... |
| 795.pdf | - | 187 | d RRA, did you ever have any further meetings with Mr. Rothstein; that is, from the day you started at RRA, did you ever meet Mr. Rothstein again? A. ... |
| 795.pdf | - | 191 | r. Q. And he read -- did you provide him with copies of the pleadings in these cases when they came to RRA? A. No. Q. What was the topic? What was the... |
| 795.pdf | - | 192 | ll, let me 24 strike that. Did you ever have any contact with 25 Mr. Jenne during the time you were at RRA? ',, ,-.~--~ .:.;;. 1 2 3 4 5 6 7 8 9 10 11... |
| 795.pdf | - | 194 | member of the press during the time, we'll come back to Mr. Epstein. During the time when you were at RRA, did you communicate with anybody else by, b... |
| 795.pdf | - | 195 | RA? A. I believe so. There, there could have been, there could have been an e-mail. Oh I only think at RRA 36 (Pages 141 to 144) I |
| 795.pdf | - | 200 | incurred on your personal injury cases including Mr. Epstein's case when you went, when you started at RRA? A. What do you mean? Q. Well, you said tha... |
| 795.pdf | - | 201 | . How about depositions, l mean during the time that we, we took depositions from the time you were at RRA, transcripts were ordered of depositions. T... |
| 795.pdf | - | 203 | iated with I\.ir. Epstein, what investigators worked on Mr. Epstein's case during the time you were at RRA? A. If you want an exclusive list, I don't ... |
| 795.pdf | - | 205 | you hired or retained an investigator to do a.r1y work for you on the Epstein files prior to coming to RRA? A. I don't think so. Q. All right. A. It w... |
| 795.pdf | - | 206 | continued to do investigative work in some capacity probably throughout the entire time that I was at RRA Q. Were all of the bills for that investigat... |
| 795.pdf | - | 207 | you -- well, let me strike that. Did you ever direct the investigators to, during the time you were at RRA, to conduct a surveillance on Mr. Epstein's... |
| 795.pdf | - | 208 | cally the one that you -- well, let me strike that. The investigator that you hired before you went to RRA, I think you testified that bill was paid b... |
| 795.pdf | - | 225 | No. Q. Were you aware that he owned a Lamborghini? A. No. I Q. Again during the time that you were at RRA? A. I understand that. The answer is no. Q. ... |
| 795.pdf | - | 226 | e had and I didn't !mow until right now that he had those things. But certainly while I was working at RRA I didn't know that he had those things. Q. ... |
| 795.pdf | - | 228 | Have l seen what? Q. Have you seen that in any of the news media, that Mr. Preve had an office within RRA? A. That name doesn't sound familiar at all.... |
| 795.pdf | - | 229 | : Keep going. BY MR. CRITTON: Q. Mr. Edwards, with regard to your phone, did you have a direct line at RRA? A. Yes. Q. What was that phone number? A. ... |
| 795.pdf | - | 233 | your firm, the RRA firm for any reason? A. Yes. Q. On how many occasions did she come to your firm, to RRA? A. I believe one time. Q. In addition to, ... |
| 795.pdf | - | 234 | ? A. Russell Adler, Bill Berger. J believe that's it. Q. From, from your observations when you were at RRA, did it appear that certain individuals had... |
| 795.pdf | - | 246 | law firm. i 9 Q. At your firm, when e-mails would go out to ho ~ attorneys at RRA or all attorneys at RRA, were you fi11 part of that e-mail group? h2... |
| 795.pdf | - | 248 | it you were hiring him to do exactly? A. Ultimate the goal was to head up on investigative arm within RRA, within the RRA entities. Q. Well, while he ... |
| 795.pdf | - | 253 | imself as lead counsel. Q. Do you k.T1ow if any additional complaints were filed while the case was at RRA? A. 1 have no idea one way or the other. Q.... |
| 795.pdf | - | 264 | recommended that Brad Edwards be hired at your firm? A. Before. Q. So before Brad Edwards was hired at RRA, Russeii Adler was a co-conspirator of your... |
| 795.pdf | - | 266 | f your 1 conspiracy ever tell you he had discussed with Brad 2 Edwards about the ilJegal activities at RRA? 3 A. No. 4 Q. NoW,j'.OU testified when ask... |
| 795.pdf | - | 281 | t me just take one of these 3J1d obviously -- who's Bill -- William J. Berger? A He was an attorney at RRA, formerly a judge in Palm Beach County. Q A... |
| 795.pdf | - | 282 | and out. A It is an e-mail from Bill Berger to Pat Cai1er, who, by this, I would say the e-mail is at RRA, so it is probably his secretary. Q All righ... |
| 795.pdf | - | 296 | associated with Mr. Epstein, what investigators worked on Epstein's cases during the time you were at RRA? A l communicated directly with Mike Fiston.... |
| 795.pdf | - | 297 | investigators, 18 you gave direction regarding the Epstein cases during 19 the time which you were at RRA, did you ever tell them 20 or direct them to... |
| 795.pdf | - | 299 | id you ever use them, because that is probably what they are talking about? A During the time l was at RRA, I am assuming? Q Yeah. A No. Q I think all... |
| 795.pdf | - | 301 | ictly a contingency fee person? I guess that would be contingency fee basis, I guess. A While I was at RRA? Q Yeah. Well, you answered it, 90 percent ... |
| 795.pdf | - | 304 | Rothstein didn't know what was going, Adler was just taking all the money. A At the time when I was at RRA, no. Q Okay. A Subsequently, yes. Q Subsequ... |
| 795.pdf | - | 312 | finn had no longer the ability to function. A Correct. Q Yourself, I know Gary Farmer was with you at RRA, was Matt Weissing there too? A Yes. Q And w... |
| 795.pdf | - | 313 | and I'm 12 not going through all of this other stuff, the Epstein 13 cases, correct? When you went to RRA, that was part of 14 the reason Russell was ... |