SEARCY DENNEY Ml west PALM BEACH OFFICE: COTALLAHASSEE OFFICE: 2139 PALM BEACH LAKES BLVD. THE TOWLE HOUSE WEST PALM BEACH, FLORIDA 33409 517 NORTH CALHOUN STREET TALLAHASSEE, FL 32301-1231 conmns &SHIPLEY. WEST PALM BEACH, FLORIDA 33402 PA ie BE: 1-888-549-7011 papas Hiodneyy 1-800-220-7006 Spanish a Law VIA EMAIL —_ November 10, 2015 “F.OREDORY SARIGLART Joe Titone, Esquire WeAnaneres Re: Edwards, Bradley vs. Dershowitz “nex ML Our File No.: 20150013 MICHAEL 4. KUGLER Dear Mr. Titone: PATIECK €. OUNLAN® I understand that you represent Jean Luc Brunel and further that he wishes to clear his MOREA A RERNECH name. We are currently prosecuting cases in which his testimony would be helpful, for tek Socmenens him and us. We are requesting your assistance in voluntarily producing Mr. Brunel for Se eetens deposition, and in exchange we will agree to take his deposition wherever would be “ener ~—-«s Most convenient for him. It is imperative that we get dates before the end of this -c CaLMO WANA year. When you speak with your client, please get several dates so that we can confirm a date with all parties. OF COUNSEL *RARL L. DENNEY, JR? DAVID K. KELLEY, JA. SuncHOLTERS Lastly, while we understand his truthful testimony will be highly relevant to our actions ugascearten as well as beneficial to Mr. Brunel, before we agree to travel in an effort to 2 KENTUCKY accommodate him, we ask that you obtain from Mr. Brunel and transmit to me a pom summary-type statement detailing some of his anticipated testimony. Particularly, we Cremevoree need him to explain the role, if any, Alan Dershowitz and Ghislaine Maxwell played in * yuaseannGTON DC either witnessing or participating in the sexual exploitation of minors. VIVIAN AYAN-TEJEDA I look forward to your prompt reply. WM AMES PETER LOVE Sincerely, WALTER A STEIN JACK SCAROLA JS/mep BAITS Fa EFTA00642880