JEFFREY EPSTEIN, IN THE CIRCUIT COURT OF THE FIFTEENTH JUDICIAL CIRCUIT IN AND FOR PALM BEACH COUNTY, FLORIDA Plaintiff, VS. CASE NO. 502009CA040800)OOOBAG SCOTT ROTHSTEIN individually, and .1, individually. NM r cl ti c_. •.. Defendants. -v PLAINTIFF JEFFREY EPSTEIN'S MOTION FOR AN ENLARCMENT OF TIME WITHIN — ; r:C? TO MEDIATE Plaintiff Jeffrey Epstein ("Epstein"), by and undersigned counsel and pursuant to Rule 1.090(b) of the Florida Rules of cedure, hereby requests this Honorable Court for an enlargement of time o At Plaintiff's request, directing the parties to participa t ) days within which to comply refore, Epstein would state: with the Court's order or mediation. As 1. in Co entered an Order on April 19, 2012 e talon within sixty (60) days; to wit: on or before June 19, 2012. 2. was not counsel for Plaintiff on the date upon which Undersign this Order was entered. 3. have been p Unde counsel has been reviewing the volumes of documents that ced i this case to date to prepare for all upcoming scheduled matters, n, and to comply with other deadlines imposed by both the Court and includi les of Civil Procedure. the 4. Undersigned counsel has also been diligently preparing for multiple hearings on this case, including hearings scheduled for June 11, 2012 (which was cancelled on June 10, 2012) and June 12, 2012, and multiple hearings in the ancillary cases that are prevalent to this case. 5. Due to the busy schedules of the parties involved, including co-counsels, the Plaintiff, the co-defendant and opposing counsels, undersigned counsel has been EFTA02771065