Filing # 23631542 E-Filed 02/11/2015 11:59:04 AM IN THE CIRCUIT COURT OF THE SEVENTEENTH JUDICIAL CIRCUIT IN AND FOR BROWARD COUNTY, FLORIDA CASE NO.: CACE 15-000072 EDWARDS, et at, Plaintiffs, v. DERSHOWITZ. Defendant. DEFENDANT / COUNTERCLAIM PLAINTIFF ALAN DERSHOWITZ'S FIRST SET OF DOCUMENT REQUESTS TO PLAINTIFF / COUNTERCLAIM DEFENDANT BRADLEY J. EDWARDS Defendant / Counterclaim Plaintiff Alan Dershowitz ("Dershowitz") requests that Plaintiff / Counterclaim Defendant Bradley J. Edwards ("Edwards"), pursuant to Fla.R.Civ.P. 1.350, produce for inspection and/or copying, at the offices of undersigned counsel, the documents and things listed on Schedule "A" below. GENERAL INSTRUCTIONS 1. The following requests are intended to cover all documents in the possession of Edwards, to whom these requests are directed, or all documents subject to his custody or control, wherever they may be located. 2. Each production request is to be responded to separately and as thoroughly as possible. The fact that investigation is continuing or that discovery is not complete shall not be used as an excuse for failure to respond to each request as fully as possible. The omission of any document, thing or item of information shall be deemed a representation that such document is not known to Edwards, his counsel, or other representatives at the time of the service of the response. 3. If the attorney/client privilege or a work product protection is asserted in response to any production request, identify the document by its: (a) date; EFTA00594706