4
Shared Docs
4
Same-Page
20 / 4
Mentions
ling was also necessary to ensure secrecy, so that as few persons as possible were aware that minor girls were coming at unusual hours to Defendant, Jeffrey Epstein's mansion. 48. Defendant, also needed (directly or indirectly) to make transportation arrangements for many of the girls, as they were often too yo
ant. 50 2008CA 0 28051 XXXXf COMPLAINT . r-, cr• c." Plaintiff, L.M., by and through her undersigned counsel, sues the D.efendanWaeffrey .-,• Epstein, and alleges: c")- - t . This is an action in an amount in excess of $15,000.00, exclusiVeCOf inter s and. • costs and is within the jurisdictiona
f is included in the list of victims identified by the Federal Government as victims of the Defendant, Jeffrey Epstein's illegal conduct. Defendant, Jeffrey Page 5 of 17 EFTA00182674 Epstein, is thus estopped by his plea and agreement with the Federal Government from denying the acts alleged in this Compla
1 through 15 above. 41. On numerous occasions, Defendant Epstein did in fact intentionally touch Plaintiff, L.M.,
L DIVISION CASE NO.: L.M.., Plaintiff, vs. 0 JEFFREY EPSTEIN, Defendant. 50 2008CA 0 28051 XXXXf CO
.5 SHARON CLERK 0 By DEPUTY CLERK 2042; Jay Howell, Esquire Florida Bar #225657 JAY HOWELL & ASSOCIATES, P.A. Co-Counsel for Plaintiff 644 Cesery Boulevard - Suite 250 Jacksonville, Florida 32211 Brad Edwards Florida Bar #542075 Page 17 of 17 EFTA00182731 IN THE CIRCUIT COURT OF THE 15TH JUDICIAL CIRCUIT IN AN
notice of court proceedings as required by 18 U.S.C. § 3771(a)(2) are frivolous; the only court proceedings that have taken place in connection with Epstein's criminal offenses were state court proceedings involving state criminal offenses, for which the CVRA does not 2 EFTA00799496 Case 9:08-cv-8073
ling was also necessary to ensure secrecy, so that as few persons as possible were aware that minor girls were coming at unusual hours to Defendant, Jeffrey Epstein's mansion. 48. Defendant, Sarah Kellen, also needed (directly or indirectly) to make transportation arrangements for many of the girls, as they were
f is included in the list of victims identified by the Federal Government as victims of the Defendant, Jeffrey Epstein's illegal conduct. Defendant, Jeffrey Page 5 of 17 EFTA00799582 Case 9:08-cv-80736-KAM Document 205-6 Entered on FLSD Docket 07/05/2013 Page 90 of 101 Epstein, is thus estopped by his ple
ert[ing] a cause of action against the Defendant, Jeffrey Epstein, pursuant to [18 U.S.C. § 2255] and the
nd we are going to be filing civil cases against Mr. Epstein, and this agreement, undoubtedly it will play a b
DAY OF SHARON R. BOCK FRK By DER11 CLERK Jay Howell, Esquire Florida Bar #225657 JAY HOWELL & ASSOCIATES, P.A. Co-Counsel for Plaintiff 644 Cesery Boulevard - Suite 250 Jacksonville, Telephone: Facsimile: By: Brad Edwards Florida Bar #542075 Page 17 of 17 EFTA00799563 Case 9:08-cv-80736-KAM Document 205-6 Ent
notice of court proceedings as required by 18 U.S.C. § 3771(a)(2) are frivolous; the only court proceedings that have taken place in connection with Epstein's criminal offenses were state court proceedings involving state criminal offenses, for which the CVRA does not 2 EFTA00208824 Petitioners' righ
ling was also necessary to ensure secrecy, so that as few persons as possible were aware that minor girls were coming at unusual hours to Defendant, Jeffrey Epstein's mansion. 48. Defendant, also needed (directly or indirectly) to make transportation arrangements for many of the girls, as they were often too yo
f is included in the list of victims identified by the Federal Government as victims of the Defendant, Jeffrey Epstein's illegal conduct. Defendant, Jeffrey Page 5 of 17 EFTA00208910 Epstein, is thus estopped by his plea and agreement with the Federal Government from denying the acts alleged in this Compla
ert[ing] a cause of action against the Defendant, Jeffrey Epstein, pursuant to [18 U.S.C. § 2255] and the
nd we are going to be filing civil cases against Mr. Epstein, and this agreement, undoubtedly it will play a b
ite 202 Hollywood, Florida 33020 Telephone: Facsimile: Jay Howell, Esquire Florida Bar JAY HOWEEL SSOCIATES, P.A. Co-Counsel for Plaintiff 644 Cesery Boulevard - Suite 250 Jacksonville, Florida 32211 Telephone: Facsimile: By: Brad Edwards Florida Bares Page 17 of 17 EFTA00208891 Exhibit C EFTA00208892 IN THE
notice of court proceedings as required by 18 U.S.C. § 3771(a)(2) are frivolous; the only court proceedings that have taken place in connection with Epstein's criminal offenses were state court proceedings involving state criminal offenses, for which the CVRA does not 2 EFTA00081017 Case 9:08-cv-8073
ling was also necessary to ensure secrecy, so that as few persons as possible were aware that minor girls were coming at unusual hours to Defendant, Jeffrey Epstein's mansion. 48. Defendant, Sarah Kellen, also needed (directly or indirectly) to make transportation arrangements for many of the girls, as they were
f is included in the list of victims identified by the Federal Government as victims of the Defendant, Jeffrey Epstein's illegal conduct. Defendant, Jeffrey Page 5 of 17 EFTA00081103 Case 9:08-cv-80736-KAM Document 205-6 Entered on FLSD Docket 07/05/2013 Page 90 of 101 Epstein, is thus estopped by his ple
ert[ing] a cause of action against the Defendant, Jeffrey Epstein, pursuant to [18 U.S.C. § 2255] and the
nd we are going to be filing civil cases against Mr. Epstein, and this agreement, undoubtedly it will play a b
AY OF SHARON R. BOCK CLERK By OEM CLERK Jay Howell, Esquire Florida Bar #225657 JAY HOWELL & ASSOCIATES, P.A. Co-Counsel for Plaintiff 644 Cesery Boulevard - Suite 250 Jacksonville, Florida 32211 Telephone: 904-680-1234 Facsimile: 904-680-1238 By: Brad Edwards Florida Bar #542075 Page 17 of 17 EFTA00081084
Entities connected to both Jeffrey Epstein and Cesery Boulevard - Suite 250

Marc Rich
PERSON
Alan Dershowitz
PERSON
George W. Bush
PERSON
Bradley Edwards
PERSON
United States
LOCATION
Sarah Kellen
PERSON
Joe Biden
PERSON
Prince Charles
PERSONJane Doe
PERSONMaria Farmer
PERSON
Kenneth Marra
PERSONthe Southern District
LOCATION
Paul Cassell
PERSON
New York
LOCATION
A. Marie Villafana
PERSON
Scarlett Johansson
PERSONEmmy Taylor
PERSONRobert D. Critton
PERSONNadia Marcinkova
PERSON
Michael Douglas
PERSON