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h School in Palm Beach County. 13. During the periods of their involvement with the Defendants, Jane Does # 9, 14, 15, 16, 17, 18, and 19 attended Royal Palm Beach High School in Palm Beach County. 14. During the period of her involvement with the Defendants, Jane Doe #10 attended Lake Worth High School in Palm Beach Cou
erson, in violation of Title 18, United States Code, Section 2423(b); all in violation of Title 18, United States Code, Section 2423(e). COUNT 25 (Facilitation of Unlawful Travel of Another: 18 U.S.C. § 2423(d)) 1. Paragraphs 1 through 25 of this Indictment are re-alleged and incorporated by reference as though fully set fo
h School in Palm Beach County. 22. During the periods of their involvement with the Defendants, Jane Does # 9, 14, 15, 16, 17, 18, and 19 attended Royal Palm Beach High School in Palm Beach County. 23. During the period of er involvement with the Defendants, Jane Doe #10 attended Lake Worth High School in Palm Beach Coun
erson, in violation of Title 18, United States Code, Section 2423(b); all in violation of Title 18, United States Code, Section 2423(e). COUNT 25 (Facilitation of Unlawful Travel of Another: 18 U.S.C. § 2423(d)) 61. Paragraphs 1 through 25 of this Indictment are re-alleged and incorporated by reference as though set forth
h School in Palm Beach County. 13. During the periods of their involvement with the Defendants, Jane Does # 9, 14, 15, 16, 17, 18, and 19 attended Royal Palm Beach High School in Palm Beach County. 14. During the period of her involvement with the Defendants, Jane Doe #10 attended Lake Worth High School in Palm Beach Cou
erson, in violation of Title 18, United States Code, Section 2423(b); all in violation of Title 18, United States Code, Section 2423(e). COUNT 24 (Facilitation of Unlawful Travel of Another: 18 U.S.C. § 2423(d)) I. Paragraphs 1 through 25 of this Indictment are re-alleged and incorporated by reference as though fully set fo
lm Beach County. 16. During the periods of their involvement with the Defendants, Jane Does # 5, 6, 8, 12, 13, 14, 15, 16, 17, 18, and 19 attended Royal Palm Beach High School in Palm Beach County. 17. During the period of her involvement with the Defendants, Jane Doe #7 attended William T. Dwyer High School in Palm Bea
person, in violation of Title 18, United States Code, Section 2423(3); all in violation of Title 18, United States Code, Section 2423(e). COUNT 3 (Facilitation of Unlawful Travel of Another: 18 U.S.C. § 2423(d)) 33 EFTA00194872 27. Paragraphs 1 through 19 of this Indictment are re-alleged and incorporated by reference as
h School in Palm Beach County. 19. During the periods of their involvement with the Defendants, Jane Does # 9, 14, 15, 16, 17, 18, and 19 attended Royal Palm Beach High School in Palm Beach County. 20. During the period of her involvement with the Defendants, Jane Doe #10 attended Lake Worth High School in Palm Beach Cou
erson, in violation of Title 18, United States Code, Section 2423(b); all in violation of Title 18, United States Code, Section 2423(e). COUNT 27 (Facilitation of Unlawful Travel of Another: 18 U.S.C. § 2423(d)) EFTA00194950 2. Paragraphs 1 through 23 of this Indictment are re-alleged and incorporated by reference as thou
lm Beach County. 16. During the periods of their involvement with the Defendants, Jane Does # 5, 6, 8, 12, 13, 14, 15, 16, 17, 18, and 19 attended Royal Palm Beach High School in Palm Beach County. 17. During the period of her involvement with the Defendants, Jane Doe #7 attended William T. Dwyer High School in Palm Bea
person, in violation of Title 18, United States Code, Section 2423(b); all in violation of Title 18, United States Code, Section 2423(e). COUNT 3 (Facilitation of Unlawful Travel of Another: 18 U.S.C. § 2423(d)) 27. Paragraphs 1 through 19 of this Indictment are re-alleged and incorporated by reference as though fully set f
h School in Palm Beach County. 22. During the periods of their involvement with the Defendants, Jane Does # 9, 14, 15, 16, 17, 18, and 19 attended Royal Palm Beach High School in Palm Beach County. 23. During the period of }fir involvement with the Defendants, Jane Doe #10 attended Lake Worth High School in Palm Beach Co
r person, in violation of Title 18, United States Code, S on 2423(b); all in violation of Title 18, United States Code, Section 2423(e). COUNT 25 (Facilitation of Unlawful Travel of Another: 18 U.S.C. § 2423(d)) 61. Paragraphs 1 through 25 of this Indictment are re-alleged and incorporated by reference as though fully set f
alm Beach County. 9. During the periods of their involvement with the Defendants, Jane Does # 5, 6, 8, 12, 13, 14, 15, 16, 17, 18, and 19 attended Royal Palm Beach High School in Palm Beach County. 10. During the period of her involvement with the Defendants, Jane Doe #7 attended William T. Dwyer High School in Palm Beac
person, in violation of Title 18, United States Code, Section 2423(b); all in violation of Title 18, United States Code, Section 2423(e). COUNT 3 (Facilitation of Unlawful Travel of Another: 18 U.S.C. § 2423(d)) I. Paragraphs 1 through 19 of this Indictment are re-alleged and incorporated by reference as though fully set fo
ical licensure. 16. During the periods of their involvement with the Defendants, Jane Does # 5, 6, 8, 12, 13, 14, 15, 16, 17, 18, and 19 attended Royal Palm Beach High School in Palm Beach County. EFTA01660124 17. During the period of her involvement with the Defendants, Jane Doe #9 attended Lake Worth High School in
person, in violation of Title 18, United States Code, Section 2423(b); all in violation of Title 18, United States Code, Section 2423(e). COUNT 3 (Facilitation of Unlawful Travel of Another: 18 U.S.C. § 2423(d)) 1. Paragraphs 1 through 32 of this Indictment are re-alleged and incorporated by reference as though fully set fo
the Federal Bureau of Investigation began investigating allegations that, over a two-year period, Epstein paid approximately 28 minor females from Royal Palm Beach High School to come to his house for sexual favors.2 In July 2006, the matter was presented to AUSA A. Marie V illafaiia of our West Palm Beach branch office t
erson, in violation of Title 18, United States Code, Section 2423(b); all in violation of Title 18, United States Code, Section 2423(e). COUNT 25 (Facilitation of Unlawful Travel of Another: 18 U.S.C. § 24231) 61. Paragraphs 1 through 25 of this Indictment are re-alleged and incorporated by reference as though Kitil set for
Entities connected to both Royal Palm Beach High School and Facilitation of Unlawful Travel

Jeffrey Epstein
PERSON
Alexander Acosta
PERSON
Virginia Giuffre
PERSON
Palm Beach County
LOCATIONJane Doe
PERSONthe Southern District
LOCATION
U.S. Virgin Islands
LOCATION
Western Union
ORGANIZATION
South
LOCATIONAdair & Brady, Inc.
ORGANIZATION
North
LOCATIONWesterly
LOCATION
Palm Beach
LOCATION
Van Nuys
LOCATION
Colorado
LOCATION
Teterboro
LOCATIONLeon Black
PERSON
United States
LOCATION
Anguilla
LOCATION
Ecuador
LOCATION