5
Shared Docs
5
Same-Page
5 / 5
Mentions
ause this Complaint makes sensitive allegations of sexual assault and abuse upon a minor. 4. Defendant Jeffrey Epstein is a citizen and resident of the State of New York. 5. This is an action for damages in excess of Fifty Million ($50,000,000.00) Dollars. Factual Allegations 6. At all relevant times, Defendant Jef
s Court deems proper. JURY TRIAL DEMAND Intervenor-Plaintiff demands a jury trial in this action. Dated: January , 2008 Respectfully submitted, RICCI—LEOPOLD, P.A. 2925 PGA Blvd. lute 200 Palm Phone: B Fl POLD, Esq. I HEREBY CERTIFY that a true and correct copy of the oregoing Intervenor's
cause this Complaint makes sensitive allegations of sexual assault and abuse upon a minor. 4. DefendanfJeffrey Epstein is a citizen and resident of the State of New York. 5. Defendant Haley Robson is a citizen and resident of Palm Beach County, Florida. 6. Defendant Sarah Kellen is a citizen and resident of the Suit
damages pursuant to Florida Law. JURY TRIAL DEMAND Plaintiffs demand a jury trial in this action. Dated: March 6 2008 Respectfully submitted, RICCI—LE 2925 PGA Palm Bea Phone: 56 Fax: 5 Page 9 of 9 LEOPOLD 705608 170 ot 315 This fax was received by GFI FAXmakei fax server. For more info
ause this Complaint makes sensitive allegations of sexual assault and abuse upon a minor. 4. Defendant Jeffrey Epstein is a citizen and resident of the State of New York. 5. This is an action for damages in excess of Fifty Million ($50,000,000.00) Dollars. Factual Allegations 6. At all relevant times, Defendant Jef
grant her motion to intervene and accept the attached proposed Intervenor's Complaint as filed. Dated: January 29th, 2008 Respectfully submitted, RICCI—LEOPOLD, P.A. 2925 PGA Blvd., Suite 200 Palm Beach Gardens, FL 33410 Phone' Fax: By: /s/Theodore J. Leopold, Esq. THEODORE J. LEOPOLD Florida
makes sensitive allegations of sexual assault and abuse that she suffered while a minor. 3. Defendant Jeffrey Epstein is a citizen and resident of the State of New York. 4. Defendant Haley Robson is a citizen and resident of Palm Beach County, Florida. 5. Defendant Sarah Kellen is a citizen and resident of the Stat
e damages pursuant to Florida Law. JURY TRIAL DEMAND Plaintiff derr ands a jury trial in this action. Dated: Jufe2 (2008 Respectfully submitted, RICCI—LEOPOLD, P.A. 2925 PGA Blvd., Suite 200 Palm Beac ardens, 33410 Phone: 56 4-65 Fax: 56 By: RE J. LEOPOLD Florida Bar No.: 705608 SPENCER
ermanlaw.com - 1 - 07/26/17 Page 80 of 114 Public Records Request No.: 17-295 minor. 5. Defendant Jeffrey Epstein is a citizen and resident of the State of New York. 6. This is an action for damages in excess of $50 million. 7. This Court has jurisdiction of this action and the claims set forth herein pursuan
hed by Facsimile and U. S. Mail, postage prepaid, this attached service list. day of February 2008 to all counsel on the Respectfully submitted, RICCI--LEOPOLD, P.A. 2925 PGA Blvd. Suite 200 Palm Beac Gardens, F Phone: 5. 684 1500 Fax: 5nl X97 38. Page 3 of 3 07/26/17 Page 74 of 114 Public
Entities connected to both the State of New York and RICCI

Jeffrey Epstein
PERSON
Ghislaine Maxwell
PERSON
United States
LOCATION
George W. Bush
PERSONLeon Black
PERSON
New York City
LOCATIONJane Doe
PERSONthe Southern District
LOCATION
Alan Dershowitz
PERSON
Kenneth Marra
PERSONJack Goldberger
PERSON
Scarlett Johansson
PERSON
Joi Ito
PERSON
Sarah Kellen
PERSONRobert D. Critton
PERSON
Julie K. Brown
PERSON
Barry Diller
PERSON
Palm Beach
LOCATIONSouthern District
LOCATION
Adam D. Horowitz
PERSON