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181534 Mark Epstein September 21, 2009 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 24 M. Epstein Jean Luc Brunel? A. No. Q. How often are you at the property at 301 East 66th Street? A. I pick up my children there sometimes. Maybe -- well, actually, they ar
years old, would you let them alone with him? MR. COHEN: Objection. MR. CRITTON: Form. A. Yes, I would. Q. Do you know anything about Jean Luc Brunel? A. I never heard the name before. You just mentioned it before. Q. Are you familiar with the modeling agency MC Squared? A. No. Q. Do you know
re 13, 14 years old, would you let them alone with him? MR. COHEN: Objection. MR. CRITTON: Form. A. Yes, I would. Q. Do you know anything about Jean Luc Brunel? A. I never heard the name before. You just mentioned it before. Q. Are you familiar with the modeling agency MC Squared? A. No. Q. Do
19 20 21 22 23 24 25 24 M. Epstein Jean Luc Brunel? A. No. Q. How often are you at the property at
w York 10119, on Monday, September 21, 2009, commencing at 11:30 a.m., before Jacklyn Lisi, a Shorthand Reporter and notary public, within and for the State of New York. • 0 ESQUIRE Toll Free: 800.211.3376 Facsimile: 954.331.4418 Suite 1300 515 East Las Olas Boulevard Fort Lauderdale, FL 33301 vnvw.esquireso
king detailed information relating to Epstein's air travel, aircraft used and flight manifests, all communications with female models, MC2 models or Jean Luc Brunel relating or referring to females coming into the United States from other countries and his personal calendars and schedules, could reveal the avai
ations with female models, MC2 models or Jean Luc Brunel relating or referring to females coming into the
unications with female models, MC2 models or Jean Luc Brunel relating or referring to females coming into the
ida, has MI intent to stay in Palm Beach County after his incarceration and is otherwise suijuris. 4. Defendant, Mil is a citizen and resident of the State of New York and otherwise sui juris. EFTA00723266 5. This is an action for damages in excess of Fifteen Thousand Dollars (815,000), exclusive of interest a
hulz and May 25, 2016 correspondence from myself. 7. Attached as Exhibit F are true and correct copies of Notices of Subpoena with attachments for Jean Luc Brunel, served on February 16, 2016 and May 23, 2016, as well as correspondence regarding Mr. Brunei's deposition from counsel, Bradley Edwards. 8. Attac
otices of Subpoena with attachments for Jean Luc Brunel, served on February 16, 2016 and May 23, 2016, as
of Notices of Subpoena with attachments for Jean Luc Brunel, served on February 16, 2016 and May 23, 2016, as
sitions and Motion for Sanctions for Violations of Rule 45 I, Laura A. Menninger, declare as follows: I. I am an attorney at law duly licensed in the State of New York and admitted to practice in the United States District Court for the Southern District of New York. I am a member of the law firm Haddon, Morgan &
islaine N. Maxwell, Karyna Shuliak, ME, Jean Luc Brunel, Lesley Katherine Groff, Lawrence Paul Visoski,
, Ghislaine N. Maxwell, Karyna Shuliak, ME, Jean Luc Brunel, Lesley Katherine Groff, Lawrence Paul Visoski,
0831 CONFIDENTIAL - PURSUANT TO FED. R.CON(F IDENTIAL DB-SDNY-0023656 EFTA_00I7 I 345 EFTA01297526 , Ghislaine N. Maxwell, Karyna Shuliak, ME, Jean Luc Brunel, Lesley Katherine Groff, Lawrence Paul Visoski, Jr., Luciano A. Fontanilla, Jr., Rosalyn v. Fontanilla in such amounts and proportions and to the
EY E. EPSTEIN, as Grantor, and ERIKA A. KELLERHALS, a U.S. citizen residing in the U.S. Virgin Islands and RICHARD KAHN, a U.S. citizen residing in the State of New York as Trustees, FIRST Transfer to Trustees The Grantor hereby transfers to the Trustees, IN TRUST, and the Trustees hereby acknowledge receipt of, t
clad interrogation skills" during the deposition of Ghislaine Maxwell. Her work contributed to the arrest of Jeffrey Epstein, Ghislaine Maxwell, and Jean Luc Brunel, and resulted in a successful resolution of claims for numerous Epstein survivors. Ms. McCawley's work for survivors of Jeffrey Epstein has been fe
Jeffrey Epstein, Ghislaine Maxwell, and Jean Luc Brunel, and resulted in a successful resolution of clai
t of Jeffrey Epstein, Ghislaine Maxwell, and Jean Luc Brunel, and resulted in a successful resolution of clai
NT JPMORGAN CHASE BANK N.A. We, David Boies and Bradley Edwards, declare as follows: I. I, David Boies, am a member in good standing of the bar of the State of New York and am admitted to practice before this Court. I am the Chairman and a Managing Partner of Boies Schiller Flexner LLP ("BSF"). I make this declarat
Epstein was involved with Eastern European women in particular and that a modeling agency he helped develop with his friend and known sexual abuser, Jean Luc Brunel, brought "young girls . . . often from Eastern Europe" to the U.S. on Epstein's private jets. 213. At all times material hereto, JP Morgan was awar
ual abuser, Jean-Luc Brunel, a French model scout who had suffered public disgrace for serial sexual abuse of young females. 136. Epstein enlisted Brunel to recruit new victims from all over the world, enticing them with promises of modeling careers before sexually abusing and trafficking them throug
is next target, another known sexual abuser, Jean-Luc Brunel, a French model scout who had suffered public di
Adult Survivor's Act, N.Y. CPLR § 214-j. II. PARTIES 7. Jane Doe 1 is a U.S. citizen and was at all relevant times a resident of and domiciled in the State of New York. 8. Plaintiff Jane Doe 1 is using a pseudonym to protect her identity because of the sensitive and highly personal nature of this matter, which in
ions that Epstein was involved with Eastern European women in particular and that a modeling agency he helped fund along with a known sexual abuser Jean Luc Brunel brought "young girls ... often from Eastern Europe" to the U.S. on Epstein's private jets. 197. By the time Deutsche Bank onboarded Epstein and du
ed fund along with a known sexual abuser Jean Luc Brunel brought "young girls ... often from Eastern Euro
helped fund along with a known sexual abuser Jean Luc Brunel brought "young girls ... often from Eastern Euro
42 Filed 01/13/23 Page 5 of 163 II. PARTIES 7. Jane Doe 1 is a United States citizen and was at all relevant times a resident of and domiciled in the State of New York. 8. Jane Doe 1 is using a pseudonym to protect her identity because of the sensitive and highly personal nature of this matter, which involves sex
MARRA/JO HNS ON 08080119, 08-80232, 08-80380, 08-80381, 08-80994, 08-80811, 08-80893, 09-80469, 09-80591, 09-80656, 09-80802, 09-81092 NON-PARTY, JEAN LUC BRUHNEL'S RESPONSE TO PLAINTIFF JANE DOE'S MOTION FOR AN ORDER TO SHOW CAUS E AND FOR AN ORDER TO COMPEL AND 'NCO RPO RATED MEMORANDUM OF LAW Non-party Jean
e and for an Order to Compel and Incorporated Memorandum of Law which was filed on March 10, 2010. (DE#483). Plaintiff's counsel seeks to compel Mr. Bruhnel, a french citizen who is not a party to the instant action, to sit for a deposition that was canceled and for which he has never been re-noticed. T
515 N. Flagler Drive West Palm Beach, FL 33401 upon an oral examination before a Notary Public or officer authorized by law to take depositions in the State of New York. The oral examination will continue from day to day until completed. The depositions are being taken for purposes of discovery, for use at trial or
Entities connected to both Jean-Luc Brunel and the State of New York

Jeffrey Epstein
PERSON
Ghislaine Maxwell
PERSON
Lesley Groff
PERSON
JPMorgan Chase
ORGANIZATIONDarren Indyke
PERSON
Alan Dershowitz
PERSONLeon Black
PERSON
United States
LOCATION
Bradley Edwards
PERSON
Prince Andrew
PERSON
the Internal Revenue Service
ORGANIZATION
Marc Rich
PERSON
George W. Bush
PERSONJane Doe
PERSON
Newark
LOCATION
Donald Trump
PERSON
Kenneth Marra
PERSON
New York
LOCATIONJack Goldberger
PERSONthe Southern District
LOCATION