TONJA HADDAD, PA 524 South Andrews Avenue Suite 200 North Fort Lauderdale, FL 33301 June 4.2012 Via US and Electronic Mail Jack Scarola, Esq. Searcy Denney et al. 2139 Palm Beach Lakes Blvd. West Palm Beach, FL 33409 Re: Epstein v. Edwards et at Dear Mr. Scarola: As you are likely aware, we are Court-Ordered to participate in Mediation on or before June 19, 2012. See Judge Crow's Order dated April 19, 2012. While I am unaware as to whether or not you discussed this with my predecessor counsel, we have never conferred regarding the Order. As indicated in my Notice of Unavailability, I am out of the country from June 15—June 24, and as such not available that week to mediate. I am also concerned that it will not be possible to schedule mediation with all respective necessary participants in a week. Accordingly, please advise if you have any suggestions or viable solutions to this issue so as to not violate the Court's Order. Perhaps a joint motion for an enlargement of time within which to mediate would be appropriate, considering all of the outstanding discovery motions. Thank you. Sincerely, TONJA HADDAD, PA cc: Darren Indyke, Esq. Lilly Sanchez, Esq. Jack Goldberger, Esq. Tonja Haddad Coleman for the firm EFTA01112020