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if doubtful in fact), see, e.g., Swierkiewicz v. Sorema N. A., 534 U.S. 506, 508, n. 1, 122 S.Ct. 992, 152 L.E
miss and for more definite statement of Plaintiff JANE DOE NO. 6's Complaint. Rules 12(b)(6) and 12(e), Fed
able right of action"), on the assumption that all the allegations in the complaint are true (even if doubtful in fact), see, e.g., Swierkiewicz v. Sorema N. A., 534 U.S. 506, 508, n. 1, 122 S.Ct. 992, 152 L.Ed.2d 1 (2002); Neitzke v. Williams, 490 U.S. 319, 327, 109 S.Ct. 1827, 104 L.Ed.2d 338 (1989) (" Ru
E DOE NO. 7 Plaintiff, v. JEFFREY EPSTEIN, Defendant. DEFENDANT EPSTEIN'S MOTION TO DISMISS & FOR MORE DEFINITE STATEMENT DIRECTED TO PLAINTIFF JANE DOE NO.7'S COMPLAINT Defendant, JEFFERY EPSTEIN, by and through his undersigned counsel, moves to dismiss and for more definite statement of Plaintiff
able right of action"), on the assumption that all the allegations in the complaint are true (even if doubtful in fact), see, e.g., Swierkiewicz v. Sorema N. A., 534 U.S. 506, 508, n. 1, 122 S.Ct. 992, 152 L.Ed.2d 1 (2002); Neitzke v. Williams, 490 U.S. 319, 327, 109 S.Ct. 1827, 104 L.Ed.2d 338 (1989) (" Ru
ant is filing similar motions to dismiss and for more definite statement directed to the Amended Complaints filed against Defendant in this Court in JANE DOE NO. 2, JANE DOE NO. 3, JANE DOE NO. 4 and JANE DOE NO. 5. The motions are directed to the Counts for "Sexual Assault and Battery," and "Coercion an
able right of action"), on the assumption that all the allegations in the complaint are true (even if doubtful in fact), see, e.g., Swierkiewicz v. Sorema N. A., 534 U.S. 506, 508, n. 1, 122 S.Ct. 992, 152 L.Ed.2d 1 (2002); Neitzke v. Williams, 490 U.S. 319, 327, 109 S.Ct. 1827, 104 L.Ed.2d 338 (1989) (" Ru
tted willful acts of child sexual abuse on Jane Doe. These acts resulted in mental or sexual injury to Jane Doe, that caused or were likely to cause Jane Doe's mental or emotional health to be significantly impaired. 26. Epstein's conduct caused severe emotional distress to Jane Doe. Epstein knew or had
it 41 Entered a,. .-LSD Docket 10,..../2008 Page 4 of 10 Case No. CV-80232-Marra-Johnson Page No. 4 doubtful in fact), see, e.g., Swierkiewiczt. Sorema N. A., 534 U.S. 506, 508, n. 1, 122 S.Ct. 992, 152 L.Ed.2d 1 (200 ; Neitzli. Williams 490 U.S. 319, 327, 109 S.Ct. 1827, 104 L.Ed.2d 338 (1989) Rule 12(
tted willful acts of child sexual abuse on Jane Doe. These acts resulted in mental or sexual injury to Jane Doe, that caused or were likely to cause Jane Doe's mental or emotional health to be significantly impaired. 26. Epstein's conduct caused severe emotional distress to Jane Doe. Epstein knew or had
cv-80811-KAM Document 35 Entered on FLSD Docket 01/07/2009 Page 4 of 7 . v. Epstein, et al. age 4 doubtful in fact), see, e.g., Swierkiewicz v. Sorema N. A., 534 U.S. 506. 508, n. 1, 122 S.Ct. 992. 152 L.Ed.2d 1 (2002); Neitzke v. Williams. 490 U.S. 319, 327, 109 S.Ct. 1827. 104 L.Ed.2d 338 (1989) (" Ru
to Compel Response to 1st RTP and 1st Interrogs filed by . (Hill, Jack) (Entered: 04/20/2009) 04 /22%2009 63 r 313:: MOTION for Leave to File Jane Doe's No. 101's Motion For Leave to File Brief as Amicus Curiae in Support of Plaintiffs Response in Opposition to Defendant Jeffrey Epstein's Motion to
Entities connected to both Sorema N. A. and Jane Doe

Jeffrey Epstein
PERSON
Kenneth Marra
PERSONJack Goldberger
PERSON
Scarlett Johansson
PERSON
United States
LOCATION
Alan Dershowitz
PERSONRobert D. Critton
PERSON
Adam D. Horowitz
PERSONMichael J. Pike
PERSONSouthern District
LOCATIONJack Scarola
PERSONRichard Horace Willits
PERSON
Virginia Giuffre
PERSONJack Patrick Hill
PERSONStuart S. Mermelstein
PERSON
Sarah Kellen
PERSON
United States District Court
ORGANIZATIONAtterbury Goldberger & Weiss
ORGANIZATIONBruce E. Reinhart
PERSON
Lake Worth
LOCATION