Case 9:08-cv-80119-KAM Document 305-3 Entered on FLSD Docket 09/17/2009 Flaw 1 of 12 Robert D. Critton Jr. Sent: Adam Horowitz phorowitz©sexabuseattomey.comi Tuesday, September 15, 2009 11:43 AM To: Michael J. Pike; Robert D. Critton Jr. Cc: Stuart Mermelstein From: Subject: Jane Does v. Epstein 4 (in the Please allow this to confirm that Jeffrey Epstein will not attend tomorrow's deposition of Jane Doe No. in by listen client your have to wish may you understand We attend). to absence of a Court order permitting him client. our by seen be not will but deposition, the of telephone or view a videofeed Regards, Adam D. Horowitz, Esq. www. sexabuseattorney. corn Mermelstein & Horowitz, P.A. 18205 Biscayne Boulevard Suite 2218 Miami, FL 33160 ahorowitzesexabuseattorney.corn Tel: (305) 931-2200 Fax: (305) 931-0877 From: Michael J. Pike [mailto:[email protected]) Sent: Tuesday, September 15, 2009 10:54 AM To: Stuart Mermelstein; Adam Horowitz Cc: Robert D. Critton Jr.; Jessica Cadwell Subject: FW: Jane Does v. Epstein Gentlemen: I sent the e-mail below weeks ago. I have not heard back from you. I'm entitled to the questionnaires Kliman had your clients fill out and which he utilized to formulate his opinions. I need them by tomorrow since they are well over due. If not, I will have no other choice to file a motion, which I do not want to do given how we have worked together on these issues in the past. Let me know, pike. From: Michael J. Pike Sent: Tuesday, August 18, 2009 11:37 AM To: Robert D. Critton Jr.; Stuart Mermelstein; Ashlie Stoken-Baring; Connie Zaguirre Subject: Jane Does v. Epstein From reviewing the transcripts, it seems Dr. Kliman utilized Questionnaire's with all of your clients. I need them. Please advise of your position. I'm sure you will produce since they are EXHIBIT 3 9/15/2009 EFTA02746714