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0799528 Case 9:08-cv-80736-KAM Document 205-6 Entered on FLSD Docket 07/05/2013 Page 36 of 101 Conclusion For the reasons set forth above and in the United States' Sealed Motion to Dismiss for Lack of Subject Mauer Jurisdiction, the United States respectfully requests that this Court enter an order dismissing
tution. See In re W.R. Huff, 409 F.3d at 563. The statute pursuant to which Petitioners urge this Court to award restitution, however, does not make the United States liable for restitution for harms caused by others. Therefore, Petitioners are not entitled to restitution in this case. 5. Remaining Relief Request
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
fice, an event that did not occur until June 2008. DE 48 at 1 41 & Ex. Eat 5. 34 EFTA00208856 Conclusion For the reasons set forth above and in the United States' Sealed Motion to Dismiss for Lack of Subject Mauer Jurisdiction, the United States respectfully requests that this Court enter an order dismissing
tution. See In re W.R. Huff, 409 F.3d at 563. The statute pursuant to which Petitioners urge this Court to award restitution, however, does not make the United States liable for restitution for harms caused by others. Therefore, Petitioners are not entitled to restitution in this case. 5. Remaining Relief Request
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
0081049 Case 9:08-cv-80736-KAM Document 205-6 Entered on FLSD Docket 07/05/2013 Page 36 of 101 Conclusion For the reasons set forth above and in the United States' Sealed Motion to Dismiss for Lack of Subject Matter Jurisdiction, the United States respectfully requests that this Court enter an order dismissing
itution. See In re W.R. Huff 409 F.3d at 563. The statute pursuant to which Petitioners urge this Court to award restitution, however, does not make the United States liable for restitution for harms caused by others. Therefore, Petitioners are not entitled to restitution in this case. 5. Remaining Relief Request
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 United States and Cesery Boulevard - Suite 250

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