Document DOJ-COURT-310 is a legal motion filed by Jeffrey Epstein's attorneys requesting the court to compel Jane Doe #2 to undergo an independent medical examination (IME). The motion argues that an IME is necessary due to the damages claimed by the plaintiff and that a consolidated order for all plaintiffs in related cases would conserve judicial resources.
This document, filed in the Southern District of Florida, pertains to the case of Jane Doe No. 2 against Jeffrey Epstein. It is Epstein's motion to compel the plaintiff to undergo a psychological/psychiatric medical examination. The motion references a previous order regarding an IME for another plaintiff and suggests the need for an omnibus order to streamline the process for all plaintiffs with similar claims. The document highlights the legal proceedings and strategies employed in the case.

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Glenn M. Anderson, Lyle Cook, Jack Goldberger, et al., Appellants, v. Frank M. Jordan, as Secretary of State of the State of California. U.S. Supreme ... of Record with Supporting Pleadings
Case 9:08-cv-80119-KAM Document 310 Entered on FLSD Docket 09/17/2009
Page 1 of 8 JANE DOE NO. 2, Plaintiff, vs. UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE NO.: 08-CIV-80119-MARRA/JOHNSON JEFFREY EPSTEIN, Defendant. ------------------'' Related cases: 08-80232, 08-08380, 08-80381, 08-80994, 08-80993, 08-80811, 08-80893, 09-80469, 09-80591, 09-80656,09-80802, 09-81092 -----------------'' Defendant, Jeffrey E. Epstein's Motion To Compel Plaintiff, Jane Doe #2's Independent Medical Examination Pursuant to Rule 35 Defendant, JEFFREY E. EPSTEIN (hereinafter "Epstein"), by and through his attorneys, and pursuant to Fed. R. Civ. P. 35 and other applicable rules, hereby moves this Court for an order directing that the Plaintiff, Jane Doe #2 (case #80119), submit to a compulsory psychological/psychiatric medical examination (a/k/a independent medical examination) by Ryan Hall, M.D. of Richard Hall, M.D. at the law firm of Burman, Critton, Luttier and Coleman, LLP. located at 303 Banyan Boulevard, Ste. 400, WPB, Fl. 33401. In support, Epstein states: Background 1. This Court entered an order relating to the IME of CMA, another Plaintiff seeking similar damages against Epstein. See Exhibit "A" Given the damages claimed in this matter, it is clear that Plaintiff has placed her medical condition at issue Case 9:08-cv-80119-KAM Document 310 Entered on FLSD Docket 09/17/2009
Page 2 of 8 Page 2 and that an IME is required. Despite that fact and the fact that discovery has been consolidated, Defendant is required to file a Rule 35 Motion seeking an IME. Thus, the undersigned believes that an Omnibus Order is required relative to all Plaintiffs' IMEs in that each claim similar damages and raise similar claims. Such an order would conserve judicial resources and require that the attorneys only negotiate dates and times for said IMEs. 2. Nonetheless, this particular Motion, pursuant to Rule 35, only addresses the IME of Jane Doe #2. 3. Plaintiff has alleged in her action that Defendant sexually battered her and, as a result, Plaintiffs seek millions of dollars in personal injury damages for, among other things, "severe and permanent traumatic injuries, including mental, psychological and emotional damages." See Second Amended Complaint. (DE 56) Plaintiff, Jane Doe #2, also claims Epstein "intentionally inflicted harmful or offensive contact on the person of Jane Doe, creating reasonable fear of imminent peril. .. [and] [a]s a proximate result of Epstein's assault on Jane Doe, she has suffered and will continue to suffer severe and permanent traumatic injuries, including mental, psychological and emotional damages." kl at ,i,i 16-21. Jane Doe #2 further alleges that she suffered" ... mental or sexual injury ... that caused or were likely to cause Jane Doe's mental or emotional health to be significantly impaired ... [and] ... Jane Doe has suffered and will continue to suffer severe mental anguish and pain." Id. at ,i,i 25-27. 4. In addition, Jane Doe #2 informed her expert, Gilbert Kliman, M.D that she has always been a "nervous person." In fact, she stated in her interview with Dr. Kliman that her parents divorced when she was three (3) years old and that there was Case 9:08-cv-80119-KAM Document 310 Entered on FLSD Docket 09/17/2009
Page 3 of 8 Page 3 violence "going on all around her" leading her natural father to run away. She further stated that her natural father beat her brothers, hit her, and was abusive to her mother. In addition, her natural father was in an altercation with her stepfather. Jane Doe #2 also informed Dr. Kliman that her step-father was always yelling at her, was violent with her mother, and that Jane Doe #2 was eventually kicked out of the house. Further, Jane Doe #2 told Dr. Kliman that her step-brother, Cody, was a "weird guy," that he would try to sit on her lap and sneak into her bedroom pretending he had just fallen asleep. Jane Doe #2 indicated that she was very afraid of him and he was always running after her. See Exhibit "8" - all pre-Epstein. See supra. 5. In addition, Jane Doe #2, admits to her expert Dr. Kliman that she has used cocaine and that she currently uses marijuana. See Exhibit "C" 6. Also, Jane Doe #2's MySpace page contains quotes such as "Party hardy with my guys an whatever girlfriends I do have" and "Occupation: Life of the party ... if I'm drunk!?" See Exhibit "D" 7. Furthermore, it is important for this court to review the detailed Affidavit of Dr. Hall attached hereto in that it delineates for the Court several experiences visited upon Jane Doe #2 which may have caused the physical, emotional and psychological trauma she claims occurred at the hands of Epstein. See Affidavit of Dr. Hall Attached hereto as Exhibit "E" 8. Based upon the foregoing, it is clear that Jane Doe #2 has placed her physical, emotional, medical and psychological conditions at issue. Therefore, an IME is warranted. Without an IME, Epstein would be severely prejudiced. The Affidavit of Dr. Hall clearly sets out the IME and scope of the examination that must be conducted. Case 9:08-cv-80119-KAM Document 310 Entered on FLSD Docket 09/17/2009
Page 4 of 8 Page4 See also, the curriculum vitae of Dr. Ryan. See Exhibit "F" The examination is set to occur at the undersigned office on November 9, 10, 11, 12, or 13, 2009 (whichever is more convenient for Plaintiff or whichever date the court so orders). Plaintiff has not provided dates for the IME; however, out of abundance of caution and to comply with the applicable rule, Defendant has, on a unilateral basis, set same pending the outcome of this Motion. Obviously, if the date noticed is not sufficient or agreeable, the undersigned will renotice same for one of the four dates suggested; however, this Court must order same to occur. 9. As this court is well aware, Plaintiff and Defendant are required to complete discovery under the Court's trial schedule. It is not the undersigned's intention to require the court additional work; however, it is imperative that discovery be timely scheduled and completed. The court's assistance is needed in this instance as to the IME. 10. Based upon the foregoing, an IME of Plaintiff must occur in order to address her claims and the damages she seeks to recover. The IME is expected to last between 6-8 hours, and the scope of same is set forth in the Affidavit of Dr. Hall. 11. Pursuant to Rule 35, Fed.R.Civ.Pro, a party may move for an examination by a qualified examiner if the Plaintiff's mental/emotional and/or psychological status is at issue in a case. 12. Defendant would be severely prejudiced unless he is able to have an examination conducted by a qualified examiner separate and apart from any psychologist/psychiatrist or similar behavioral health provider who may have or may ultimately see the Plaintiff and testify in court. Case 9:08-cv-80119-KAM Document 310 Entered on FLSD Docket 09/17/2009
Page 5 of 8 Page 5 13. Defendant's counsel has retained the services of Richard Hall, M.D. and Ryan Hall, M.D., of C.W. Hall, M.D., P.A. located at 2500 West Lake Mary Blvd., #219 Lake Mary, FL 32746. Ryan Hall, M.D., will be performing the examination. Dr. Ryan Halls' specialties include forensic psychiatry, general psychiatry and medical psychiatry. See Exhibit attached outlining Ryan Hall, M.D.'s qualifications and the scope of the examination which he intends and is required to conduct in order to render a report. See also Affidavit of Ryan C.W. Hall, M.D., outlining the scope of examination and other Rule 35 requirements. Accordingly, this motion comports with Rule 35. The applicable notice has been filed simultaneously. Defendant will arrange for a videotape of the . examination. 14. The undersigned is requesting the court's assistance with regard to compelling the IME of Plaintiff along with dates for same to occur. Rule 7 .1 A. 3. Certification of Pre-Filing Conference Counsel for Defendant conferred with Counsel for Plaintiff by telephone and by e- mail; however, an agreement has not been reached. WHEREFORE, Defendant requests that this Court enter an Order: a. providing a date and time for Plaintiffs IME to occur on November 9, 10, 11, 12 or 13, 2009; b. providing that the independent medical examination take place at 9:00 a.m. (on a date to be determined by the court) at the law firm of Burman, Critton, Luttier and Coleman, LLP. located at 303 Banyan Boulevard, Ste. 400, WPB, Case 9:08-cv-80119-KAM Document 310 Entered on FLSD Docket 09/17/2009
Page 6 of 8 Page 6 Fl. 33401 under the protocol set forth by Dr. Hall in his affidavit, by videotape and for such other and further relief as this court deems j and proper. Certificate of Service I HEREBY CERTIFY that a true copy of the foregoi~ally filed with the Clerk of the Court using CM/ECF. I also certify that the foregoing document is being served this day on all counsel of record identified~following Service List in the manner specified by CM/ECF on this Jl. day of _ , 2009 By:_..,,:_~:...::....:....=. ___ _ ROB TD. CRITTON, JR., ESQ. Florida Bar No. 224162 [email protected] MICHAEL J. PIKE, ESQ. Florida Bar #617296 [email protected] BURMAN, CRITTON, LUTTIER & COLEMAN 515 N. Flagler Drive, Suite 400 West Palm Beach, FL 33401 561/842-2820 Phone 561/515-3148 Fax (Counsel for Defendant Jeffrey Epstein) Certificate of Service Jane Doe No. 2 v. Jeffrey Epstein Case No. 08-CV-80119-MARRA/JOHNSON Stuart S. Mermelstein, Esq. Adam D. Horowitz, Esq. Mermelstein & Horowitz, P.A. 18205 Biscayne Boulevard Suite 2218 Miami, FL 33160 305-931-2200 Fax: 305-931-0877 [email protected] [email protected] Counsel for Plaintiffs Brad Edwards, Esq. Rothstein Rosenfeldt Adler 401 East Las Olas Boulevard Suite 1650 Fort Lauderdale, FL 33301 Phone: 954-522-3456 Fax: 954-527-8663 [email protected] Counsel for Plaintiff in Related Case No. 08-80893 Case 9:08-cv-80119-KAM Document 310 Entered on FLSD Docket 09/17/2009
Page 7 of 8 Page 7 In related Cases Nos. 08-80069, 08- 80119, 08-80232, 08-80380, 08-80381, 08-80993, 08-80994 Richard Horace Willits, Esq. Richard H. Willits, P.A. 2290 10th Avenue North Suite 404 Lake Worth, FL 33461 561-582-7600 Fax: 561-588-8819 Counsel for Plaintiff in Related Case No. 08-80811 [email protected] Jack Scarola, Esq. Jack P. Hill, Esq. Searcy Denney Scarola Barnhart & Shipley, P.A. 2139 Palm Beach Lakes Boulevard West Palm Beach, FL 33409 561-686-6300 Fax: 561-383-9424 [email protected] [email protected] Counsel for Plaintiff, C.M.A. Bruce Reinhart, Esq. Bruce E. Reinhart, P.A. 250 S. Australian Avenue Suite 1400 West Palm Beach, FL 33401 561-202-6360 Fax: 561-828-0983 [email protected] Counsel for Defendant Sarah Kellen Theodore J. Leopold, Esq. Spencer T. Kuvin, Esq. Ricci-Leopold, P.A. 2925 PGA Blvd., Suite 200 Palm Beach Gardens, FL 33410 561-684-6500 Paul G. Cassell, Esq. Pro Hae Vice 332 South 1400 E, Room 101 Salt Lake City, UT 84112 801-585-5202 801-585-6833 Fax [email protected] Co-counsel for Plaintiff Jane Doe Isidro M. Garcia, Esq. Garcia Law Firm, P.A. 224 Datura Street, Suite 900 West Palm Beach, FL 33401 561-832-7732 561-832-7137 F [email protected] Counsel for Plaintiff in Related Case No. 08-80469 Robert C. Josefsberg, Esq. Katherine W. Ezell, Esq. Podhurst Orseck, P.A. 25 West Flagler Street, Suite 800 Miami, FL 33130 305 358-2800 Fax: 305 358-2382 [email protected] [email protected] Counsel for Plaintiffs in Related Cases Nos. 09-80591 and 09-80656 Jack Alan Goldberger, Esq. Atterbury Goldberger & Weiss, P.A. 250 Australian Avenue South Suite 1400 West Palm Beach, FL 33401-5012 561-659-8300 Fax: 561-835-8691 [email protected] Counsel for Defendant Jeffrey Epstein Case 9:08-cv-80119-KAM Document 310 Entered on FLSD Docket 09/17/2009









