AFFIDAVIT OF BRADLEY JAMES EDWARD 1. [am an attomey in good standing with the Florida Bar and admitted to practice in the Souther District of Florida. I am currently a partner in the law firm of Farmer, Jaffe, Weissing, Edwards, Fistos & Lehrman, P.L. 2. In 2008, I was a sole practitioner running a personal injury law firm in Hollywood, FL. While a sole practitioner I was retained by three clients, L.M., E.W., and Jane Doe to pursue civil litigation against Jeffrey Epstein for sexually abusing them while they were minor girls. I agreed to. represent these girls, along with attorney Jay Howell (an attommey in Jacksonville, Florida with Jay Howell & Associates) and Professor Paul Cassell (a law professor at the University of Utah College Of Law). I filed state court actions on behalf of L.M. and E.W. and a federal court action on behalf of Jane Doe. All of the cases were filed in the summer of 2008. 3. My clients received correspondence from the U.S. Department of Justice regarding their rights as victims of Epstein’s federal sex offenses. (True and accurate copies of the letters are attached to Statement of Undisputed Facts as Exhibit “M”) 4, In mid June 2008, I contacted Assistant United States Attorney Marie Villafafia to ae inform her that I represented Jane Doe #1(E. W.) and, later, Jane Doe #2(L.M.). I asked to meet to provide information regarding Epstein. AUSA Villafafia did not advise me __ Ss that a plea agreement had already been negotiated with Epstein’s attomeys that would block federal prosecution. AUSA Villafafia did indicate that federal investigators had concrete evidence and information that Epstein had sexually molested at least 40 underage minor females, including E.W., Jane Doe and L.M. 5. also requested from the U.S. Attomey’s Office the information and evidence that they had collected regarding Epstein’s sexual abuse of his clients. However, the U.S. Attomey’s Office declined to provide any such information to me. The U.S. Attomey’s Office also