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S MAIL Christopher E. Knight Fowler White Burnett PA Espirito Santo Plata Fourteen Floor 1395 Brickell Avenue Miami, FL 33131-3302 RE: C.O v. Epstein, Jeffrey Dear Mr. Knight: Enclosed please find the duly executed original Settlement Agreement and General Release of All Claims and Confidentiali
hristopher E. Knight Fowler White Burnett PA Espirito Santo Plata Fourteen Floor 1395 Brickell Avenue Miami, FL 33131-3302 RE: C.O v. Epstein, Jeffrey Dear Mr. Knight: Enclosed please find the duly executed original Settlement Agreement and General Release of All Claims and Confidentiality Agreem
EN BY THESE PRESENTS 1. This Settlement Agreement and General Release ("AGREEMENT") is entered into by and between individually ("RELEASOR"), and JEFFREY EPSTEIN, individually ("RELEASEE"), in order to settle all claims asserted or which could be asserted by RELEASOR against RELEASES. 2. RELEASEE agrees tha
and executed documents. We ask that you expedite Mr. Epstein's execution of the enclosed Agreement(s) and forw
to RELEASOR'S attorneys' trust account, Farmer, Jaffe, Weissing, Edwards, Fistos & Lehrman, PL Trust Account, within five (5) days after receipt by RELEASEE'S attorney of an original of each of this AGREEMENT and the CONFIDENTIALITY AGREEMENT (as hereinafter defined) executed by RELEASOR. The SETTLEMENT
nd assigns, has remised, released, acquitted and forever discharged and by these presents does remise, release, acquit and forever discharge each of RELEASEE, and all of RELEASEE'S past, present, and future employees, agents, attorneys, associates, successors, predecessors, heirs, descendants, administra
ett) ATTORNEYS AT LAW August 12, 2011 Dan-en K. Indyke, Esquire Dan-en K. Indyke, PLLC 301 East 66th Street, 10B New York, NY 10065 Re: DK v. Epstein Matter number: 82096 CO v. Epstein Matter number: 82321 Espirito Santo Plaza Fourteenth Floor 1395 Brickell Avenue Miami, Florida 33131 www.f
EN BY THESE PRESENTS 1. This Settlement Agreement and General Release ("AGREEMENT") is entered into by and between individually ("RELEASOR"), and JEFFREY EPSTEIN, individually ("RELEASEE"), in order to settle all claims asserted or which could be asserted by RELEASOR against RELEASEE. 2. RELEASEE agrees tha
o by and between individually ("RELEASOR"), and JEFFREY EPSTEIN, individually ("RELEASEE"), in order to
cuted documents once you have received them from Mr. Epstein. Thank you. Enclosures W.42096tLETIR578-Indyke
to RELEASOR'S attorneys' trust account, Fanner, Jaffe, Weissing, Edwards, Finns & Lehrman, PL. Trust Account, within five (5) days after receipt by RELEASEE'S attorney of an original of each of this AGREEMENT and the CONFIDENTIALITY AGREEMENT (as hereinafter defined) executed by RELEASOR. The SETTLEMENT
nd assigns, has remised, released, acquitted and forever discharged and by these presents does remise, release, acquit and forever discharge each of RELEASEE, and all of RELEASEE'S past, present, and future armloyees, agents, attorneys, associates, successors, predecessors, heirs, descendants, administra
BY THESE PRESENTS 1. This Settlement Agreement and General Release ("AGREEMENT") is entered into by and between , individually ("RELEASOR"), and JEFFREY EPSTEIN, individually ("RELEASEE"), in order to settle all claims asserted or which could be asserted against RELEASEE, and to settle all claims asserted in
etween , individually ("RELEASOR"), and JEFFREY EPSTEIN, individually ("RELEASEE"), in order to settle al
by and between , individually ("RELEASOR"), and JEFFREY EPSTEIN, individually ("RELEASEE"), in order to
ndividually ("RELEASOR"), and JEFFREY EPSTEIN, individually ("RELEASEE"), in order to settle all claims asserted or which could be asserted against RELEASEE, and to settle all claims asserted in the claims made by■. against JEFFREY EPSTEIN. 2. RELEASEE agrees that, in addition to the other good and suf
T PAYMENT") to RELEASOR for her personal injuries, by wire transfer to RELEASOR'S attorneys' trust account, within five (5) days after receipt by RELEASEE'S counsel of an original of this AGREEMENT executed by RELEASOR. The SETTLEMENT PAYMENT shall be held in escrow by RELEASOR'S attorney, who shall n
EN BY THESE PRESENTS 1. This Settlement Agreement and General Release ("AGREEMENT") is entered into by and between individually ("RELEASOR"), and JEFFREY EPSTEIN, individually ("RELEASEE"), in order to settle all claims asserted or which could be asserted against RELEASEE, and to settle all claims asserted in
between individually ("RELEASOR"), and JEFFREY EPSTEIN, individually ("RELEASEE"), in order to settle al
o by and between individually ("RELEASOR"), and JEFFREY EPSTEIN, individually ("RELEASEE"), in order to
ndividually ("RELEASOR"), and JEFFREY EPSTEIN, individually ("RELEASEE"), in order to settle all claims asserted or which could be asserted against RELEASEE, and to settle all claims asserted in the action entitled.v. JEFFREY EPSTEIN, pending in the United States District Court Southern District of Flo
ies alleged in her complaint, by check made payable to RELEASOR'S attorneys' trust account, PL Trust Account, within five (5) days after receipt by RELEASEE'S counsel of an original of this AGREEMENT executed by RELEASOR. The SETTLEMENT PAYMENT shall be held in escrow by RELEASOR'S attorney, who shall n
EN BY THESE PRESENTS 1. This Settlement Agreement and General Release ("AGREEMENT') is entered into by and between individually ("RELEASOR"), and JEFFREY EPSTEIN, individually ("RELEASEE"), in order to settle all claims asserted or which could be asserted against RELEASEE, and to settle all claims asserted in
between individually ("RELEASOR"), and JEFFREY EPSTEIN, individually ("RELEASEE"), in order to settle al
o by and between individually ("RELEASOR"), and JEFFREY EPSTEIN, individually ("RELEASEE"), in order to
ndividually ("RELEASOR"), and JEFFREY EPSTEIN, individually ("RELEASEE"), in order to settle all claims asserted or which could be asserted against RELEASEE, and to settle all claims asserted in the action entitled M.J. v. JEFFREY EPSTEIN, Case No. 9-10-cv-81111- WPD, pending in the United States Distric
to RELEASOR'S attorneys' trust account, Fanner, Jaffe, Weissing, Edwards, Fistos & Lehrman, PL Trust Account, within five (5) days after receipt by RELEASEE'S counsel of an original of this AGREEMENT executed by RELEASOR. The SETTLEMENT PAYMENT shall be held in escrow by RELEASOR'S attorney, who shall n
MEN BY THESE PRESENTS 1. This Settlement Agreement and General Release ("RELEASE") is entered into by and between Individually ("RELEASOR"), and JEFFREY EPSTEIN, Individually ("RELEASEE"), in order to settle all claims asserted or which could be asserted against RELEASEE in the action entitled. v. JEFFREY E
between Individually ("RELEASOR"), and JEFFREY EPSTEIN, Individually ("RELEASEE"), in order to settle a
o by and between Individually ("RELEASOR"), and JEFFREY EPSTEIN, Individually ("RELEASEE"), in order to
t and Release itself, are not intended to be used by any person, and shall not be admissible, in any proceeding, case or cause against or involving RELEASEE, either civil or criminal. In further consideration of such payment, RELEASOR hereby agrees to defend, indemnify and save harmless RELEASEE against
nfidentiality Agreement Against Unauthorized Disclosure of Settlement ("CONFIDENTIALITY AGREEMENT") is entered into by and between ("RELEASOR") and JEFFREY EPSTEIN ("RELEASEE") (jointly referred to as the "PARTIES") in order to settle all claims asserted or which could be asserted by RELEASOR against RELEASEE.
red into by and between ("RELEASOR") and JEFFREY EPSTEIN ("RELEASEE") (jointly referred to as the "PARTIE
is entered into by and between ("RELEASOR") and JEFFREY EPSTEIN ("RELEASEE") (jointly referred to as the
ement and General Release of All Claims (the "SETTLEMENT AGREEMENT") executed by the PARTIES as part of the settlement of RELEASOR'S claims against RELEASEE, pursuant to which the PARTIES are entering into this Confidentiality Agreement. In exchange for the consideration set forth in the SETTLEMENT AGRE
Entities connected to both Jeffrey Epstein and RELEASEE

Bradley Edwards
PERSONMaria Farmer
PERSONthe Southern District
LOCATION
the United States District Court
ORGANIZATION
Fort Lauderdale
LOCATION
United States District Court
ORGANIZATIONFISTOS & LEHRMAN
ORGANIZATION
Weissing
PERSONJaffe
PERSON
Fowler
PERSON
Medicaid
ORGANIZATION
Farmer, Jaffe
ORGANIZATION
Christopher E. Knight
PERSONWest Palm Beach Division
LOCATIONthe Social Security
ORGANIZATIONPL Trust Account
ORGANIZATIONGeneral Release of All Claims
ORGANIZATIONFanner, Jaffe
ORGANIZATIONExpir
PERSON