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ning Law. This Agreement and any claims or disputes arising hereunder shall be governed by and interpreted in accordance with the internal laws of the State of New York, without regard to principles of conflict of laws, except to the extent that federal law requires that federal law govern. 16.11 Evidentiary Rules.
in full satisfaction of all Claims asserted and/or held by Claimants against the Respondent Releasees, Respondents shall pay the sum of $9,200,000 (the "Settlement Payment") to Claimants. Respondents shall make such payment, for the benefit of Claimants by wire - 5 - KU 211,:,; EFTA00316019 transfer of immediately
ning Law. This Agreement and any claims or disputes arising hereunder shall be governed by and interpreted in accordance with the internal laws of the State of New York, without regard to principles of conflict of laws, except to the extent that federal law requires that federal law govern. 16.11 Evidentiary Rules.
imants set forth in paragraph 3.1, and in full and final satisfaction of all Claimant Released Claims, Respondents shall pay the sum of $9,200,000 (the "Settlement Payment") to Claimants. Respondents shall make such payment, for the benefit of Claimants, by wire transfer of immediately available funds to the attorney
ning Law. This Agreement and any claims or disputes arising hereunder shall be governed by and interpreted in accordance with the internal laws of the State of New York, without regard to principles of conflict of laws, except to the extent that federal law requires that federal law govern. 16.11 Evidentiary Rules.
5 - EFTA00283095 paragraph 3.1, and in full and final satisfaction of all Claimant Released Claims, Respondents shall pay the sum of $9,200,000 (the "Settlement Payment") to Claimants. Respondents shall make such payment, for the benefit of Claimants, by wire transfer of immediately available funds to the attorney
ning Law. This Agreement and any claims or disputes arising hereunder shall be governed by and interpreted in accordance with the internal laws of the State of New York, without regard to principles of conflict of laws, except to the extent that federal law requires that federal law govern. - 14 - KU 23311357i EF
in full satisfaction of all Claims asserted and/or held by Claimants against the Respondent Releasees, Respondents shall pay the sum of $9,200,000 (the "Settlement Payment") to Claimants. Respondents shall make such payment, for the benefit of Claimants, by wire transfer of immediately available funds to the attorney
Entities connected to both the State of New York and the "Settlement Payment

Jeffrey Epstein
PERSON
JPMorgan Chase
ORGANIZATION
United States
LOCATIONDarren Indyke
PERSONthe Southern District
LOCATION
Financial Trust Company
ORGANIZATION
Alan Dershowitz
PERSON
the United States District Court
ORGANIZATION
Stephen Hawking
PERSON
Eric Trump
PERSONAction
ORGANIZATIONAce Greenberg
PERSON
Spector
PERSONMarshall H. Fishman
PERSONJ.P. Morgan Securities LLC
ORGANIZATION
Jimmy Cayne
PERSONSusman Godfrey LLP
ORGANIZATIONthe "Court
ORGANIZATIONStephen D. Susman
PERSONDeloitte & Touche LLP
ORGANIZATION