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10/06/2008 46 Defendant's MOTION to Dismiss 42 Amended Complaint and for More Definite Statement by Jeffrey Epstein. Responses due by 10/24/2008 (Critton, Robert) (Entered: 10/06/2008) 10/24/2008 4/ Unopposed MOTION for Extension of Time to File Response as to 46 Defendant's MOTION to Dismiss 42 Am
Fax. 6 EFTA00175615 Case 9:08-cv-80( •KAM Document 40 Entered d LSD Docket Ofd '2008 Page 7 of 8 CASE NO.: 08-80119-CIV-MARRA/JOHNSON By: Robert D. Critton, Esq. Fla. Bar No. 224162 [email protected] Michael J. Pike, Esq. Attorneys for Defendant Jetty Epstein CERTIFICATE OF COMPLIANCE WITH LOCAL
ere are no allegations that Jane Doe was placed in any fear of imminent peril. See Gatto 's. Publix Supermarket, Inc., 387 So. 2d 377, 379 (Fla. 3d DCA 1980) (holding that where there was no evidence to show that Gatto was placed in fear of imminent peril, there was no assault). In fact, the plaintiff do
01 6 EFTA00221982 Case 9:08-cv-80119-KAM Document 40 Entered on FLSD Docket 09/04/2008 Page 7 of 8 CASE NO.: 08-80119-CIV-MARRA/JOHNSON By: Robert D. Critton, Esq. Fla. Bar No. 224162 Michael J. Pike, Esq. Fla. Bar No. 617296 Attorneys for Defendant Jeffrey Epstein CERTIFICATE OF COMPLIANCE WITH LOCAL
here are no allegations that Jane Doe was placed in any fear of imminent peril. See Gatto v. Pubblx Supermarket, Inc., 387 So. 2d 377, 379 (Fla. 3d DCA 1980) (holding that where there was no evidence to show that Gatto was placed in fear of imminent peril, there was no assault). In fact, the plaintiff do
x. 6 EFTA00222425 Case 9:08-cv-80119-KAM Document 40 Entered on FLSD Docket 09/04/2008 Page 7 of 8 CASE NO.: 08-80119-CIV-MARRA/JOHNSON By: Robert D. Critton, Esq. Fla. Bar No. 224162 Michael J. Pike, Esq. Fla. Bar No. 617296 Attorneys for Defendant Jeffrey Epstein CERTIFICATE OF COMPLIANCE WITH LOCAL
here are no allegations that Jane Doe was placed in any fear of imminent peril. See Gatto v. Pubblx Supermarket, Inc., 387 So. 2d 377, 379 (Fla. 3d DCA 1980) (holding that where there was no evidence to show that Gatto was placed in fear of imminent peril, there was no assault). In fact, the plaintiff do
48 6 EFTA00222728 Case 9:08-cv-80119-KAM Document 40 Entered on FLSD Docket 09/04/2008 Page 7 of 8 CASE NO.: 08-80119-CIV-MARRA/JOHNSON By: Robert D. Critton, Esq. Fla. Bar No. 224162 [email protected] Michael J. Pike, Esq. Fla. Bar No. 617296 [email protected] Attorneys for Defendant Jeffrey Epst
here are no allegations that Jane Doe was placed in any fear of imminent peril. See Gatto v. Pubblx Supermarket, Inc., 387 So. 2d 377, 379 (Fla. 3d DCA 1980) (holding that where there was no evidence to show that Gatto was placed in fear of imminent peril, there was no assault). In fact, the plaintiff do
Entities connected to both Robert D. Critton and DCA 1980

Jeffrey Epstein
PERSONJack Goldberger
PERSONJane Doe
PERSONMichael J. Pike
PERSON
Alan Dershowitz
PERSON
Adam D. Horowitz
PERSON
Kenneth Marra
PERSON
George W. Bush
PERSONStuart S. Mermelstein
PERSON
Scarlett Johansson
PERSON
Jeffrey Marc Herman
PERSONAtterbury Goldberger & Weiss
ORGANIZATION
United States
LOCATIONLeon Black
PERSONthe Southern District
LOCATION
Palm Beach County
LOCATION
Alexander Acosta
PERSON
Palm Beach
LOCATION
Virginia Giuffre
PERSONFL Bar No.
ORGANIZATION