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-Ahen Donate 7 465 Other Immigration Arleen, V. ORIGIN Mee a - X- in One Box omen if I Original 2 Removed from 3 3 Re-filed- Prato Original, State Court tare VI below) O 4 Reinstated or O 5 Transferred from another district 16 Mullidistriet Reopened ISPecifY) Litigation Appeal to Diorite Judge
t without her participation :md knowledge. WHEREFORE, for the reasons outlined above, the Petitioner respectfully requests this Court to grant her Petition, and to order the United States Attorney to comply with the provisions of the CVRA prior to and including any plea or other agreement with the Defen
-Ahen Donate 7 465 Other Immigration Arleen, V. ORIGIN Mee a - X- in One Box omen if I Original 2 Removed from 3 3 Re-filed- Prato Original, State Court tare VI below) O 4 Reinstated or O 5 Transferred from another district 16 Mullidistriet Reopened ISPecifY) Litigation Appeal to Diorite Judge
t without her participation :md knowledge. WHEREFORE, for the reasons outlined above, the Petitioner respectfully requests this Court to grant her Petition, and to order the United States Attorney to comply with the provisions of the CVRA prior to and including any plea or other agreement with the Defen
papers have been filed. In accordance with 28 U.S.C. § 1446(d), defendants have served this Notice of Removal on July 18, 2008. All papers filed in State Court are attached to this Removal Petition. 3. There is unanimity among the defendants. In accordance with 28 U.S.C. § I446(b) the undersigned are auth
imity among the defendants. In accordance with 28 U.S.C. § I446(b) the undersigned are authorized to represent that all of the defendants join this Petition and consent to removal. Conclusion Because this is a civil action between citizens of different states, excluding any fraudulently joined parties,
-Ahen Donate 7 465 Other Immigration Arleen, V. ORIGIN Mee a - X- in One Box omen if I Original 2 Removed from 3 3 Re-filed- Prato Original, State Court tare VI below) O 4 Reinstated or O 5 Transferred from another district 16 Mullidistriet Reopened ISPecifY) Litigation Appeal to Diorite Judge
t without her participation :md knowledge. WHEREFORE, for the reasons outlined above, the Petitioner respectfully requests this Court to grant her Petition, and to order the United States Attorney to comply with the provisions of the CVRA prior to and including any plea or other agreement with the Defen
t several of the young girls that were victimized and abused by Jeffrey Epstein. While we are aware of his recent guilty plea and conviction in his State Court case, the sentence imposed in that case is grossly inadequate for a sexual predator of this magnitude. The information and evidence that has come to
t without her participation and knowledge. WHEREFORE, for the reasons outlined above, the Petitioner respectfully requests this Court to grant her Petition, and to order the United States Attorney to comply with the provisions of the CVRA prior to and including any plea or other agreement with the Defen
papers have been filed. In accordance with 28 U.S.C. § 1446(d), defendants have served this Notice of Removal on July 18, 2008. All papers filed in State Court are attached to this Removal Petition. 3. There is unanimity among the defendants. In accordance with 28 U.S.C. § 1446(6) the undersigned are auth
imity among the defendants. In accordance with 28 U.S.C. § 1446(6) the undersigned are authorized to represent that all of the defendants join this Petition and consent to removal. Conclusion Because this is a civil action between citizens of different states, excluding any fraudulently joined parties,
X' Om Ile. Onlyl I mins med from I Original ] 2 Rernoved from 3 3 Rc-filed. O 4 Reinumed or O s &norner diunci D 6 Muludisirim Procest ing State Court (set VI klov) Re gened Ispecifyl Lifiginion VI. RELATED/RE-FILED CASE(S). a) Rc- filed Case n YES l3 NO b) Related Cases 7 YES 3 NO ISee Hur
he victim of federal crimes committed by Jeffrey Epstein. Petition,' I. On July 7, 2008, the Court directed the Government to file a response to the Petition by July 9, 2008, at 5:00 p.m. The Government has prepared its Response, which is attached as Exhibit A, and the Declaration of Assistant United St
papers have been filed. In accordance with 28 U.S.C. § 1446(d), defendants have served this Notice of Removal on July 18, 2008. All papers filed in State Court are attached to this Removal Petition. 3. There is unanimity among the defendants. In accordance with 28 U.S.C. § 1446(b) the undersigned are auth
imity among the defendants. In accordance with 28 U.S.C. § 1446(b) the undersigned are authorized to represent that all of the defendants join this Petition and consent to removal. Conclusion Because this is a civil action between citizens of different states, excluding any fraudulently joined parties,
papers have been filed. In accordance with 28 U.S.C. § 1446(d), defendants have served this Notice of Removal on July 18, 2008. All papers filed in State Court are attached to this Removal Petition. 3. There is unanimity among the defendants. In accordance with 28 U.S.C. § 1446(b) the undersigned are auth
imity among the defendants. In accordance with 28 U.S.C. § 1446(b) the undersigned are authorized to represent that all of the defendants join this Petition and consent to removal. Conclusion Because this is a civil action between citizens of different states, excluding any fraudulently joined parties,
Entities connected to both State Court and Petition

Jeffrey Epstein
PERSONJane Doe
PERSON
Bradley Edwards
PERSONJack Goldberger
PERSON
Kenneth Marra
PERSONthe Southern District
LOCATION
United States
LOCATION
Scarlett Johansson
PERSON
A. Marie Villafana
PERSON
Department of Justice
ORGANIZATION
Alexander Acosta
PERSON
George W. Bush
PERSONLeon Black
PERSON
Alan Dershowitz
PERSON
the United States District Court
ORGANIZATION
Paul Cassell
PERSON
Harvey Weinstein
PERSON
Palm Beach County
LOCATIONScott Rothstein
PERSONFBI
ORGANIZATION