Document DOJ-COURT-090 contains Plaintiff's answers to Defendant Jeffrey Epstein's first set of interrogatories in the case *Jane Doe No. 2 v. Jeffrey Epstein*.
This legal document, filed in the Southern District of Florida on May 5, 2009, presents Jane Doe No. 2's responses to Jeffrey Epstein's interrogatories. The plaintiff raises general objections, citing attorney-client privilege, work-product doctrine, and other privileges. She claims severe psychological and emotional injuries, including anxiety, low self-esteem, and suicidal thoughts, as a result of Epstein's actions. The document sheds light on the legal proceedings and the nature of the damages claimed by the plaintiff.

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Case 9:08-cv-80119-KAM Document 90 Entered on FLSD Docket 05/05/2009
Page 1 of 4 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE NO.: 08-CV-80119-MARRA.JOHNSON JANE DOE NO. 2, Plaintiff, V. JEFFREY EPSTEIN, Defendant. ______________ / PLAINITFF'S ANSWERS TO DEFENDANT'S FIRST INTERROGATORIES Plaintiff, JANE DOE 2, by and through her undersigned counsel, and pursuant to Federal Rules of Civil Procedure Rule 33, hereby re~?nds t~})l!~fendant, JEFFREY ,, •. _,,_,~, EPSTEIN'S First Set of Interrogatories to Plaintiff as f~l\~ws: General Objections ' 1. Plaintiff objects to Defendant's Interrogatories to the extent that the Interrogatories call for the disclosure of information protected by the attorney-client privilege, attorney work-product doctrine, or other applicable privilege or immunity, whether created by statute or common law. Plaintiff claims such privileges and protections to the extent implicated by each Interrogatory, and excludes privileged and protected information from any responses to Defendant's discovery. Any disclosure is inadvertent and is not intended to waive those privileges or protections, which are specifically reserved. 2. Plaintiff objects to Defendant's Interrogatories to the extent that same are vague, ambiguous, incomprehensible and/or overly broad. Case 9:08-cv-80119-KAM Document 90 Entered on FLSD Docket 05/05/2009
Page 2 of 4 Doe No. 2 v. Epstein Page8 9. Describe each injury (physical, emotional, mental) for which you are claiming damages in this case, specifying the part of your body that was injured, the nature of the injury, and as to any injuries you contend are permanent, the effects on you that you claim are permanent. Answer: Plaintiff has suffered severe psychological and emotional injuries, including without limitation, anxiety, low self-esteem, feelings of guilt, self-blame, distrustfulness, burdened often by sadness and depression, suicidal thoughts, difficulty trusting others (particularly men), irritability, anger, feeling helpless and powerless, escapism through excessive partying, lack of confidence, loss of innocence. Plaintiff's psychological and emotional injuries will be analyzed by a forensic expert, whose opinions and related information will be disclosed in accordance with the expert discovery rules of the Federal Rules of Civil Procedure. Plaintiff reserves the right to supplement this response in accordance with the Federal Rules of Civil Procedure. 10. Please state each item of damage that you claim, and include in your answer: the count to which the item of damages relates; the factual basis for each item of damages; and an explanation of how you computed each item of damages, including any mathematical formula used. Answer: Plaintiff objects to this interrogatory as calling for an expert opinion and calculation. Subject to said objection, Plaintiff states that she seeks damages arising from her psychological and emotional injuries. These damages include pain and suffering, costs of psychological care and treatment, and loss of earning capacity. The pecuniary elements of these damages will be analyzed and computed by an appropriate expert. 11. List the names and business addresses of each physician (including psychiatrist, psychologist, etc.) or medical provider (including chiropractors) who has treated or examined you, and each medical facility where you have received any treatment or examination for the injuries for which you seek damages in this Case 9:08-cv-80119-KAM Document 90 Entered on FLSD Docket 05/05/2009
Page 3 of 4 VERIFICATION ;___being duly sworn, deposes and says that the foregoing an wers to interrogatories are true and correct to the best of her knowledge, information and belief. STATE OF FLORIDA ) ) ss COUNTY OF PALM BEACH ) --- A a ~ ~ _ 8 t ~ .!' : ; - - ~~ - CRIBED before me this fl_ day of .:f4•1111J;• 2009 by , who is personally known to me or has pr duced the following identification r/,,,.ld11 Z>, L- which is current or has been issued within the past five years and bears a serial or other identifying number. £,1e./':1"' G- . Gro e-AJ ~ Print Name Signature NOTARY PUBLIC-STATE OF FLORIDA Commission Number: My commission expires: (Notarial Seal) S # fe.. d .P f}; p. j i N i A ,,J_ 3/ 'f 4 4- !!, Case 9:08-cv-80119-KAM Document 90 Entered on FLSD Docket 05/05/2009

