SETTLEMENT AGREEMENT AND RELEASE [CONFIDENTIAL AS TO AMOUNT ONLY] THIS SETTLEMENT AGREEMENT AND RELEASE ("Agreement") is entered into as of this 28 day of November, 2018 (the "Effective Date"), by and between Bradley J. Edwards ("Eda is") and Jeffrey Epstein ("Epstein"). Each of Edwards and Epstein is I sometimes here' 'after referred to as a "Party", and both of diem together are sometimes i hereinafter referred to as the "Panics". , Edwards is the counter-plaintiff and Epstein is die counter-defendant in connection wi i a counterclaim Edwards asserted against Epstein to address injuries arising out of and dire y connected with his trade and business of engaging in the practice of law (the "Countercl ml and which Counterclaim is now pending before the Honorable Donald W. Hafele of 'the Fifteenth Judicial Circuit Court in and for Palm Beach County, Florida (the "Court") in a case captioned, fairy Epstein v. .Scott Rothstein, individually, Bradley' kiliveyds, i lidually, and M, individually, under Case No. 502009CA040 XXXXMBAG (the "Lawsuit"); and Edwards was engaged in the practice of law representing clients, (EW, L.M, and Jane Doe) againstJelfrey Epstein when Epstein filed die lawsuit, making allegations that Edwards was engaging in tortious conduct while in his law practice; WHEREAS. the Parties desire to settle the Counterclaim as provided in this Agreement; NOW, THEREFORE, in consideration of the foregoing premises and die mutual agreements, p muses and other provisions contained herein, the Parties, intending to be bound, hereby e as follows: 1 EFTA00804067