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ntman, ‘Sex Slave’ Visit Jailed Tycoon” published on August 13, 2008, reporting that “[d]uring his first month of confinement” Epstein was visited by Sarah Kellen, who allegedly escorted victims “upon their arrival at his Palm Beach waterfront home to an upstairs room, where she prepared the massage table and p
asked prosecutors to approve Warrants to arrest Epstein on four counts ofunlawful sexual activity with a minor and to charge his personal assistant, Sarah Kellen, now 27, for her alleged role in arranging.the visits. Police officials also wanted to charge Robson, the self-described Heidi Fleiss, with le
prosecutors to approve Warrants to arrest Epstein on four counts ofunlawful sexual activity with a minor and to charge his personal assistant, Sarah Kellen, now 27, for her alleged role in arranging.the visits. Police officials also wanted to charge Robson, the self-described Heidi Fleiss, with lewd and
ts First Amended Complaint against Dave Aronberg, the State Attorney for Palm Beach County, Florida, in his official capacity (“State Attorney”), and Sharon R. Bock, the Clerk of the Court for Palm Beach County, Florida, in her official capacity (“Court Clerk”), alleges as follows: JURISDICTION L This is an actio
ndants. IN THE CIRCUIT COURT OF THE FIFTEENTH JUDICIAL CIRCUIT, IN AND FOR PALM BEACH COUNTY, FLORIDA, CASE NO. 2008 CA 006596XXXX MB DEFENDANT SARAH KELLEN's MOTION TO QUASH SERVICE OF PROCESS AND SET ASIDE CLERK'S DEFAULT Defendant Sarah Kellen, pursuant to Rules 1.500(d) and 1.140(b)(5) of the Florida
red against her on June 6, and as grounds for this relief respectfully states as - follows: Introduction The attempt at substituted service on Ms. Kellen did not comply with Florida procedure, and must therefore be quashed. This Court, on grounds of insufficient service of process, does not have juri
006596 XXXX MB AB JANE DOE, by and through JANE DOE'S MOTHER, as parent and natural guardian, Plaintiff, vs. JEFFREY EPSTEIN, HALEY ROBSON and SARAH )(ELLEN, Defendants. ear 7. I. C. -r,7 N) PLAINTIFF'S MOTION FOR EXTENSION OF TIME TO OBTAIN SERVICE OF PROCESS ON DEFENDANTS. HALEY ROBSON AN
JEFFREY EPSTEIN, HALEY ROBSON, and SARAH KELLEN, Defendants. CASE NO. 502008CA006596XXXXMB AB COPY ORIGINAL RECEIVED FOR FILING JUN 0 4 2:23 SHARON R. BOCK CLERK & COMPTROLLER PROBATE DIVISION NOTICE OF APPEARANCE Burman, Critton, Luttier & Coleman, LLP and Atterbury, Goldberger & Weiss, P.A. hereby
ntman, ‘Sex Slave’ Visit Jailed Tycoon” published on August 13, 2008, reporting that “[d]uring his first month of confinement” Epstein was visited by Sarah Kellen, who allegedly escorted victims “upon their arrival at his Palm Beach waterfront home to an upstairs room, where she prepared the massage table and p
onth of confinement” Epstein was visited by Sarah Kellen, who allegedly escorted victims “upon their arriv
ts First Amended Complaint against Dave Aronberg, the State Attorney for Palm Beach County, Florida, in his official capacity (“State Attorney”), and Sharon R. Bock, the Clerk of the Court for Palm Beach County, Florida, in her official capacity (“Court Clerk”), alleges as follows: JURISDICTION 1. This is an acti
r Florida, he is, in fact, a citizen of the U.S. Virgin Islands. (Epstein All. Ex. A.)4 (c) Contrary to the allegations in the Complaint, Defendant Sarah Kellen is a citizen of New York, not Florida. (Kellen Stmt. Ex. B.) 4. This Notice satisfies the procedural requirements of 28 U.S.C. § 1446. First, in
the allegations in the Complaint, Defendant Sarah Kellen is a citizen of New York, not Florida. (Kellen S
e commanded the complaint in this lawsuit on the ubovc-named defendant. DATED on FEB 212000 (SEAL) , 2008 to serve this sununons and a copy of SHARON R. BOCK Clerk & Comptroller P.O. Box 4667 West Palm Beach, Florida 33402-4667 CLERK OF THE COURT AS DEPUTY CLER SHERI PAIGE This fax was received by
against the Defendants, Jeffrey Epstein and Sarah Kellen, for compensatory damages, treble damages, costs
future. WHEREFORE, under the provisions of Florida Statutes Chapter 772, the Plaintiff demands judgment against the Defendants, Jeffrey Epstein and Sarah Kellen, for compensatory damages, treble damages, costs and attorneys' fees, and such other and further relief as this Court deems just and proper, and he
intiff 41,14: STATE C7. FLORIDA • PALM BEACH COUNTY I hereby CA. 'IN mel the fcregoing is a true copy of the record in my °Rte. THISICI.DAY 0;5 SHARON R. BOCK CLERK 8C T L DEPUTY CLERK By 20 2 - Jay Howell, Esquire Florida Bar #225657 AY HOWELL & ASSOCIATES, P.A. Co-Counsel for Plaintiff B Brad E
to so participate, through a pattern of criminal activity in violation of Florida Statutes §772.103(3)-(4). 42. Defendants, Jeffrey Epstein's and Sarah Kellen's enterprise included, at a minimum, a group of individuals associated in fact to assist Defendant, Jeffrey Epstein, in recruiting and procuring mino
z. r 1 1-1 2O - z) JEFFREY EPSTEIN and SARAH KELLEN, C N Lc; •74 > -41, 1 n -< 73 i Defendants
STATE C FLORIDA • PALM BEACH COUNTY I hereby et. Jty that the Icregoing is a true copy or the record in my ntl•ce. THIS ( 7 OAY OF 3-M 20 I 2- SHARON R. BOCK CLERK RO DT TY CLERK Brad Edwards Florida Bar #542075 Page 12 of 12 EFTA00799545 Case 9:08-cv-80736-KAM Document 205-6 Entered on FLSD Dock
future. WHEREFORE, under the provisions of Florida Statutes Chapter 772, the Plaintiff demands judgment against the Defendants, Jeffrey Epstein and Sarah Kellen, for compensatory damages, treble damages, costs and attorneys' fees, and such other and further relief as this Court deems just and proper, and he
against the Defendants, Jeffrey Epstein and Sarah Kellen, for compensatory damages, treble damages, costs
2008. STATE ti; FLORIDA • PALM BEACH COUNTY hereby (3..,ny that me mooing is a true copy of the record in my (Atte. THISICil DAY 0;5 20 1 '2- SHARON R. BOCK CLERK 8C T L DEPUTY CLERK By THE LAW OFFICE OF BRAD EDWARDS & ASSOCIATES, LLC Attorneys for Plaintiff 2028 Harrison Street - Suite 202 Holl
Tapes or transcripts of any and all proceedings before the Grand Jury on Wednesday, July 19, 2006, referring or relating to Jeffrey Epstein and/or Sarah Kellen, including but not limited to witness testimony, statements made by any member of the State Attorney's Office, and instructions given by any member
rring or relating to Jeffrey Epstein and/or Sarah Kellen, including but not limited to witness testimony,
the subject of the record sought. LT1P•I CVMI 11.11 EFTA00277537 CIRCUIT COURT CRIMINAL DIVISION P.O. Box 2906 West Palm Beach, FL 33402-2906 SHARON R. BOCK Clerk & Comptroller Palm Beach County I III !ill Ili' 'Ili ill a I ill in $2 FIRST C EFTA00277538 ELECTRONIC COURT REPORTING WITNESS LOG CAS
tchee, who was a Palm Beach Community College student at the time. When Jane Doe arrived at Epstein’s home, she was escorted by an Epstein assistant, Sarah Kel- len, to aroom with a massage table, police reports and the lawsuit say. Epstein walked in wear $300, March 10, but suit claims ing only a t
activity followed, the suit says. Epstein paid her $300 af terward, and Robson got $200 for bringing the girl to him, the lawsuit says. Robson and Kellen helped Epstein arrartige other liai- sons with girls, Palm Beach police concluded. Neither was charged. This. is not the first time ; Epstein has be
e COUNTY COURTHOUSE, 205 N. DIXIE HWY, WEST PALM BEACH, FL 33401 ““BE PREPARED TO PAY COURT COSTS AND FINES ASSESSED BY THE COURT AT THIS HEARING** SHARON R. BOCK, CLERK & COMPTROLLER DFELDER DATED: NOVEMBER 06, 2007 BY: Deputy Clerk Se, STATE OF FLORIDA » PALM BEACH couly | hereby certify that the foregoing
Entities connected to both Sarah Kellen and SHARON R. BOCK

Jeffrey Epstein
PERSON
Lesley Groff
PERSON
Ghislaine Maxwell
PERSONJane Doe
PERSON
Marc Rich
PERSONJack Goldberger
PERSON
Bradley Edwards
PERSONNadia Marcinkova
PERSON
Kenneth Marra
PERSON
Paul Cassell
PERSON
Alan Dershowitz
PERSONJack Scarola
PERSON
Prince Andrew
PERSONBruce E. Reinhart
PERSON
Lake Worth
LOCATION
United States
LOCATIONMichael J. Pike
PERSON
George W. Bush
PERSONScott Rothstein
PERSONLeon Black
PERSON