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Court filing · Feb. 9, 2009

First amended complaint against Jeffrey Epstein and an associate, filed 2009

An anonymous plaintiff's first amended complaint in federal court alleging Epstein sexually exploited her as a minor at his Palm Beach mansion, naming an associate as co-defendantMachine-written summary

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 1 of 91

UNITED STATES DISTRICT COURT

SOUTHERN DISTRICT OF FLORIDA

CASE NO.: 08-CV-80811-CIV-MARRA/JOHNSON

Plaintiff(s),

vs.

JEFFREY EPSTEIN and

Defendant(s).

FIRST AMENDED COMPLAINT

Parties, Jurisdiction and Venue

COMES NOW the Plaintiff, and brings this First Amended Complaint against the Defendants, JEFFREY EPSTEIN and SARAH KELLEN, and states as follows:

  1. This is an action for damages in excess of $75,000.00, exclusive of interest and costs.

  2. This Complaint is brought under a fictitious name in order to protect the identity of the Plaintiff, because this Complaint makes allegation of sexual assault and child abuse of a then minor.

  3. At all times material to this cause of action, the Plaintiff, was a resident of

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003349

EFTA00157731

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 2 of 91

vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
  1. At all times material to this cause of action, the Defendant, JEFFREY EPSTEIN, had a residence located in Palm Beach County, Florida.

  2. At all times material to this cause of action, the Defendant, JEFFREY EPSTEIN, was an adult male, born in 1953.

  3. This Court has jurisdiction of this action and the claim set forth herein pursuant to 18 U.S.C. §2255.

  4. This Court has venue of this action pursuant to 28 U.S.C. §1391(a) as a substantial part of the events or omissions giving rise to the claim occurred in this district.

  5. At all times material, the Defendant, JEFFREY EPSTEIN, owed a duty unto Plaintiff, to treat her in a non-negligent manner and to not commit intentional or tortious illegal acts against her.

Factual Allegations

  1. Upon information and belief, the Defendant, JEFFREY EPSTEIN, has demonstrated a sexual preference and obsession for minor girls. He engaged in a plan, scheme, and enterprise in which he gained access to economically disadvantaged minor girls, such as Plaintiff, sexually assaulted these girls, and/or coerced them to engage in prostitution, and in return gave these girls money.

  2. The Defendant’s plan, scheme and enterprise included an elaborate system wherein the then minor Plaintiff and other minor girls were brought to the

2

3505-025 Page 2 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003350

EFTA00157732

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 3 of 91

| | |

| :--- | :--- |

| vs. Epstein, et al. | |

| Case No.: 08-CV-80811-CIV-MARRA/JOHNSON | |

| First Amended Complaint | |

Defendant, JEFFREY EPSTEIN’S, residence by the Defendant’s employees and assistants. When the employees and assistants left the then minor Plaintiff and other minor girls alone in a room at the Defendant’s mansion, the Defendant, JEFFREY EPSTEIN, himself would appear, remove his clothing, and direct the then minor Plaintiff to remove her clothing. He would then perform one or more lewd, lascivious, and sexual acts, including, but not limited to, masturbation, touching of the then minor Plaintiff’s breasts and buttock, and solicitation and enticement of the then minor Plaintiff to engage in sexual acts with another female in JEFFREY EPSTEIN’S presence.

  1. The Plaintiff, was the first brought to the Defendant, JEFFREY EPSTEIN’S, mansion in late May or early June of when she was fifteen-years old and in middle school.

  2. The Defendant, JEFFREY EPSTEIN, a wealthy financier with a lavish home, significant wealth, a network of assistants and employees, used his resources and his influence over a vulnerable minor child to engage in a systematic pattern of sexually exploitive behavior.

  3. Beginning in approximately late May or early June of , and continuing until approximately August of , the Defendant coerced and enticed the impressionable, vulnerable, and economically deprived then minor Plaintiff to commit various acts of sexual misconduct. These acts occurred, on average, one to three times per week from late May or early June of until August of . At a bare minimum,

3

Page 3 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

| EFTA_00003351 | | :--- | :--- |

This is a simple Markdown document with no headings, paragraphs, or tables. It contains just one line of text.

EFTA00157733

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 4 of 91

vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint

these acts occurred twice a month from June until August of . While the precise dates these acts occurred are unknown to Plaintiff, including those weeks in which no acts occurred, these dates are known by Defendant, JEFFREY EPSTEIN, as he is reported to have kept a written log of each and every instance in which he engaged in these illegal acts with the then minor Plaintiff, and others. These acts included, but were not limited to, fondling and inappropriate and illegal sexual touching of the then minor Plaintiff, sexual misconduct and masturbation of the Defendant, JEFFREY EPSTEIN, in the presence of the then minor Plaintiff, soliciting and enticing the then minor Plaintiff to engage in sexual acts with another female in JEFFREY EPSTEIN’S presence, and encouraging the then minor Plaintiff to become involved in prostitution; Defendant, JEFFREY EPSTEIN, committed numerous criminal sexual offenses against the then minor Plaintiff including, but not limited to, sexual battery, solicitation of prostitution, procurement of a minor for the purpose of prostitution, and lewd and lascivious assaults upon the person of the then minor Plaintiff.

  1. Defendant, JEFFREY EPSTEIN, used his money, wealth and power to unduly and improperly manipulate and influence the then minor Plaintiff.

  2. The acts referenced in paragraphs 9 through 14, committed by Defendant, JEFFREY EPSTEIN, against the then minor Plaintiff, were committed in violation of numerous criminal State and Federal statutes condemning the sexual

4

3505-025 Page 4 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003352

EFTA00157734

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 5 of 91

vs. Epstein, et al. Case No.: 08-CV-80811-CIV-MARRA/JOHNSON First Amended Complaint

exploitation of minor children, prostitution, sexual performance by a child, lewd and lascivious assaults, sexual battery, contributing the delinquency of a minor and other crimes, specifically including, but not limited to, those crimes designated in 18 USC §2241, §2242, §2243, §2421, and §2423, criminal offenses outlined in Chapter 800 of the Federal Codes, as well as those designated in Florida Statutes §796.03, §796.07, §796.045, §796.04, §39.01; and §827.04.

  1. The above-described acts took place in Palm Beach County, Florida, at the residence of the Defendant, JEFFREY EPSTEIN. Any assertions by the Defendant, JEFFREY EPSTEIN, that he was unaware of the age of the then minor Plaintiff are belied by his actions and rendered irrelevant by the provisions of applicable Florida Statutes concerning the sexual exploitation and abuse of a minor child. The Defendant, JEFFREY EPSTEIN, at all times material to this cause of action, knew and should have known of the Plaintiff, its minority.

  2. In June 2008, in the Fifteenth Judicial Circuit in Palm Beach County, Florida, the Defendant, JEFFREY EPSTEIN, entered pleas of “guilty” to various Florida state crimes involving the solicitation of minors for prostitution and the procurement of minors for the purpose of prostitution.

  3. As a condition of that plea, and in exchange for the Federal Government not prosecuting the Defendant, JEFFREY EPSTEIN, for numerous federal offenses, Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the

5

Page 5 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003353

EFTA00157735

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 6 of 91

vs. Epstein, et al. Case No.: 08-CV-80811-CIV-MARRA/JOHNSON First Amended Complaint

Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had, if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less”.

  1. The Defendant, JEFFREY EPSTEIN, is thus estopped by his plea and agreement with the Federal Government from denying the acts alleged in this Complaint, and must effectively admit liability to the Plaintiff.

Cause of Action Pursuant to 18 USC §2255

May/June

  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above.

6

3505-025

Page 6 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003354

EFTA00157736

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 7 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

  1. In late May or early June of was first introduced to Defendant, JEFFREY EPSTEIN. was brought to JEFFREY EPSTEIN’S residence by a female friend of hers. sat on the couch while the female friend took off her own clothes, mounted JEFFREY EPSTEIN who was wearing only a towel and lying on a table, and performed a sexual act upon JEFFREY EPSTEIN in the presence of In exchange for her participation as an observer of JEFFREY EPSTEIN’S lewd and lascivious conduct, was paid $300 by JEFFREY EPSTEIN.

  2. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had, if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in

7

3505-025 Page 7 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003355

EFTA00157737

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 8 of 91

vs. Epstein, et al. Case No.: 08-CV-80811-CIV-MARRA/JOHNSON First Amended Complaint

the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  1. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

  2. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, and as such he must effectively admit liability unto the Plaintiff.

  3. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff,

8

Page 8 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003356

EFTA00157738

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 9 of 91

vs. Epstein, et al. Case No.: 08-CV-80811-CIV-MARRA/JOHNSON First Amended Complaint

has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

COUNT II

Cause of Action Pursuant to 18 USC §2255

June - Incident 2

  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above.

  2. Approximately one week after the first incident, received a telephone call from JEFFREY EPSTEIN requesting that she return to his residence. On this occasion, JEFFREY EPSTEIN directed to undress to her brassiere and underwear and to provide him with a massage. At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid C.M.A. $300 for this encounter.

9

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003357

EFTA00157739

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 10 of 91

| vs. Epstein, et al. |

| :--- |

| Case No.: 08-CV-80811-CIV-MARRA/JOHNSON |

| First Amended Complaint |

  1. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had, if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  2. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

10

3505-025 Page 10 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003358

EFTA00157740

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 11 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

  1. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, and as such he must effectively admit liability unto the Plaintiff,

  2. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further

11

3505-025

Page 11 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003359

EFTA00157741

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 12 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above.

  2. In July again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to undress to her underwear and to provide him with a massage. At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

  3. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had, if Mr. Epstein had been tried federally and convicted of an enumerated offense. For

12

3505-025 Page 12 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003360

EFTA00157742

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 13 of 91

vs. Epstein, et al. Case No.: 08-CV-80811-CIV-MARRA/JOHNSON First Amended Complaint

purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  1. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

  2. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, and as such he must effectively admit liability unto the Plaintiff,

  3. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and suffering, emotional distress, psychological trauma, mental anguish, humiliation,

13

Page 13 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003361

EFTA00157743

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 14 of 91

vs. Epstein, et al. Case No.: 08-CV-80811-CIV-MARRA/JOHNSON First Amended Complaint

embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

COUNT IV

Cause of Action Pursuant to 18 USC §2255

July – Incident 2

14

3505-025

Page 14 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003362

EFTA00157744

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 15 of 91

vs. Epstein, et al. Case No.: 08-CV-80811-CIV-MARRA/JOHNSON First Amended Complaint

  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above.

  2. For the second time in July of again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

  3. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had, if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in

15

3505-025

Page 15 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003363

EFTA00157745

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 16 of 91

vs. Epstein, et al. Case No.: 08-CV-80811-CIV-MARRA/JOHNSON First Amended Complaint

the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  1. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

  2. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, , and as such he must effectively admit liability unto the Plaintiff,.

  3. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff,

16

3505-025 Page 16 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003364

EFTA00157746

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 17 of 91

vs. Epstein, et al. Case No.: 08-CV-80811-CIV-MARRA/JOHNSON First Amended Complaint

has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

17

3505-025

Page 17 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

| EFTA_00003365 | | :--- | :--- |

This is a simple Markdown document with no headings or paragraphs. It contains a single line of text.

EFTA00157747

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 18 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

  1. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had, if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  2. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

18

3505-025 Page 18 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003366

EFTA00157748

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 19 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

  1. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, , and as such he must effectively admit liability unto the Plaintiff,

  2. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further

19

3505-025 Page 19 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003367

EFTA00157749

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 20 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

COUNT VI

Cause of Action Pursuant to 18 USC §2255

August – Incident 2

  1. The Plaintiff, adopts and realleges paragraphs 1 through 19 above.

  2. For the second time in August of again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

  3. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had,

20

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EFTA_00003368

EFTA00157750

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 21 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  1. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

  2. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, , and as such he must effectively admit liability unto the Plaintiff,

  3. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and

21

3505-025

Page 21 of 91

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EFTA_00003369

EFTA00157751

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 22 of 91

vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint

suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above.

22

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EFTA_00003370

EFTA00157752

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 23 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

  1. In September again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

  2. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had, if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

23

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EFTA_00003371

EFTA00157753

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 24 of 91

| vs. Epstein, et al. |

| :--- |

| Case No.: 08-CV-80811-CIV-MARRA/JOHNSON |

| First Amended Complaint |

  1. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

  2. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, , and as such he must effectively admit liability unto the Plaintiff,

  3. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a

24

3505-025

Page 24 of 91

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EFTA_00003372

EFTA00157754

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009 Par

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, , will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

COUNT VIII

Cause of Action Pursuant to 18 USC §2255

September – Incident 2

  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above.

  2. For the second time in September again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

25

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003373

EFTA00157755

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 26 of 91

| vs. Epstein, et al. |

| :--- |

| Case No.: 08-CV-80811-CIV-MARRA/JOHNSON |

| First Amended Complaint |

  1. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had, if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  2. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

26

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EFTA_00003374

EFTA00157756

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 27 of 91

  1. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, , and as such he must effectively admit liability unto the Plaintiff.

  2. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further

27

Page 27 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003375

EFTA00157757

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 28 of 91

| vs. Epstein, et al. |

| :--- |

| Case No.: 08-CV-80811-CIV-MARRA/JOHNSON |

| First Amended Complaint |

relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

COUNT IX

Cause of Action Pursuant to 18 USC §2255
October of- Incident 1
  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above. ___

  2. In October of again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed C.M.A to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

  3. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had,

28

3505-025 Page 28 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003376

EFTA00157758

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 29 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  1. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

  2. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, and as such he must effectively admit liability unto the Plaintiff,

  3. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and

29

3505-025

Page 29 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003377

EFTA00157759

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 30 of 91

vs. Epstein, et al. Case No.: 08-CV-80811-CIV-MARRA/JOHNSON First Amended Complaint

suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

  • Incident 2

30

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EFTA_00003378

EFTA00157760

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 31 of 91

vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above.

  2. For the second time in October again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed C.M.A to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

  3. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had, if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in

31

3505-025 Page 31 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003379

EFTA00157761

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 32 of 91

vs. Epstein, et al. Case No.: 08-CV-80811-CIV-MARRA/JOHNSON First Amended Complaint

the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  1. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

  2. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, , and as such he must effectively admit liability unto the Plaintiff,

  3. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff,

32

3505-025

Page 32 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003380

EFTA00157762

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 33 of 91

vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint

has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above.

  2. In November again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

33

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SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003381

EFTA00157763

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 34 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

  1. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had, if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  2. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

34

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EFTA_00003382

EFTA00157764

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 35 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

  1. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, , and as such he must effectively admit liability unto the Plaintiff,

  2. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further

35

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EFTA_00003383

EFTA00157765

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 36 of 91

vs. Epstein, et al. Case No.: 08-CV-80811-CIV-MARRA/JOHNSON First Amended Complaint

relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

COUNT XII

Cause of Action Pursuant to 18 USC §2255

November of

  • Incident 2
  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above.

  2. For the second time in November again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

  3. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had,

36

3505-025 Page 36 of 91

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EFTA_00003384

EFTA00157766

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 37 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  1. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

  2. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, and as such he must effectively admit liability unto the Plaintiff,

  3. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and

37

3505-025

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003385

EFTA00157767

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 38 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON First Amended Complaint

suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, , will in the future suffer additional medical and psychological expenses. The Plaintiff, , has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, , will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

COUNT XIII

  1. The Plaintiff, adopts and realleges paragraphs 1 through 19 above.

38

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SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

| EFTA_00003386 | | :--- | :--- |

This is a simple Markdown document with no headings, paragraphs, or tables. It contains just one line of text.

EFTA00157768

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 39 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

  1. In December again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself. in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

  2. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had, if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

39

Page 39 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003387

EFTA00157769

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 40 of 91

| vs. Epstein, et al. |

| :--- |

| Case No.: 08-CV-80811-CIV-MARRA/JOHNSON |

| First Amended Complaint |

  1. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

  2. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, , and as such he must effectively admit liability unto the Plaintiff,

  3. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a

40

3505-025 Page 40 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

| EFTA_00003388 | | :--- | :--- |

This is a simple Markdown representation of the text from the image. No formatting or special characters are used, preserving the original layout.

EFTA00157770

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 41 of 91

| | |

| :--- | :--- |

| vs. Epstein, et al. | |

| Case No.: 08-CV-80811-CIV-MARRA/JOHNSON | |

| First Amended Complaint | |

loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

COUNT XIV

Cause of Action Pursuant to 18 USC §2255

December — Incident 2

  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above.

  2. For the second time in December again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

41

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

| EFTA_00003389 | | :--- | :--- |

This is a simple Markdown document with no headings, paragraphs, or tables. It contains just one line of text.

EFTA00157771

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 42 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

  1. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had, if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  2. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

42

3505-025 Page 42 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003390

EFTA00157772

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 43 of 91

vs. Epstein, et al. Case No.: 08-CV-80811-CIV-MARRA/JOHNSON First Amended Complaint

  1. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, , and as such he must effectively admit liability unto the Plaintiff,

  2. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further

43

3505-025 Page 43 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

| EFTA_00003391 | | :--- | :--- |

This is a simple Markdown document with no headings, paragraphs, or tables. It contains just one line of text: “EFTA_00003391”.

EFTA00157773

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 44 of 91

vs. Epstein, et al. Case No.: 08-CV-80811-CIV-MARRA/JOHNSON First Amended Complaint

relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

Cause of Action Pursuant to 18 USC §2255

January of - Incident 1

  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above.

  2. In January again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

  3. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had,

44

Page 44 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003392

EFTA00157774

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 45 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  1. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

  2. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, , and as such he must effectively admit liability unto the Plaintiff,

  3. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and

45

3505-025 Page 45 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003393

EFTA00157775

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 46 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

COUNT XVI

  1. The Plaintiff, adopts and realleges paragraphs 1 through 19 above.

46

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

Page 46 of 91

| EFTA_00003394 | | :--- | :--- |

This is a simple Markdown document with no headings, paragraphs, or tables. It contains just one line of text: “EFTA_00003394”.

EFTA00157776

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 47 of 91

| | |

| :--- | :--- |

| vs. Epstein, et al. | |

| Case No.: 08-CV-80811-CIV-MARRA/JOHNSON | |

| First Amended Complaint | |

  1. For the second time in January again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

  2. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had, if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

47

3505-025

Page 47 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003395

EFTA00157777

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 48 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

  1. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

  2. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, and as such he must effectively admit liability unto the Plaintiff,

  3. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a

48

3505-025 Page 48 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003396

EFTA00157778

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 49 of 91

vs. Epstein, et al. Case No.: 08-CV-80811-CIV-MARRA/JOHNSON First Amended Complaint

loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, , will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above.

  2. In February again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

49

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003397

EFTA00157779

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 50 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

  1. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had, if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  2. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

50

3505-025

Page 50 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003398

EFTA00157780

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 51 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

  1. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, , and as such he must effectively admit liability unto the Plaintiff,

  2. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further

51

3505-025

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003399

EFTA00157781

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 52 of 91

| vs. Epstein, et al. |

| :--- |

| Case No.: 08-CV-80811-CIV-MARRA/JOHNSON |

| First Amended Complaint |

relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

COUNT XVIII

Cause of Action Pursuant to 18 USC §2255

February – Incident 2

  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above.

  2. For the second time in February again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

  3. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had,

52

3505-025 Page 52 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003400

EFTA00157782

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 53 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  1. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

  2. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, , and as such he must effectively admit liability unto the Plaintiff,

  3. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and

53

3505-025

Page 53 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003401

EFTA00157783

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 54 of 91

vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint

suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above.

54

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SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003402

EFTA00157784

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 55 of 91

| vs. Epstein, et al. |

| :--- |

| Case No.: 08-CV-80811-CIV-MARRA/JOHNSON |

| First Amended Complaint |

  1. In March again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

  2. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had, if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

55

3505-025

Page 55 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003403

EFTA00157785

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 56 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

  1. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

  2. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, and as such he must effectively admit liability unto the Plaintiff,

  3. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a

56

3505-025 Page 56 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003404

EFTA00157786

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 57 of 91

vs. Epstein, et al. Case No.: 08-CV-80811-CIV-MARRA/JOHNSON First Amended Complaint

loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, , will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

March - Incident 2

  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above.

  2. For the second time in March of again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

57

Page 57 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003405

EFTA00157787

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 58 of 91

| vs. Epstein, et al. |

| :--- |

| Case No.: 08-CV-80811-CIV-MARRA/JOHNSON |

| First Amended Complaint |

  1. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had, if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  2. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

58

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Page 58 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003406

EFTA00157788

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 59 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

  1. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, , and as such he must effectively admit liability unto the Plaintiff,

  2. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further

59

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SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003407

EFTA00157789

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 60 of 91

| vs. Epstein, et al. |

| :--- |

| Case No.: 08-CV-80811-CIV-MARRA/JOHNSON |

| First Amended Complaint |

relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

COUNT XXI

Cause of Action Pursuant to 18 USC §2255

April of - Incident 1

  1. The Plaintiff, adopts and realleges paragraphs 1 through 19 above.

  2. In April again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

  3. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had,

60

3505-025 Page 60 of 91

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EFTA_00003408

EFTA00157790

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 61 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  1. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

  2. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, , and as such he must effectively admit liability unto the Plaintiff,

  3. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and

61

3505-025 Page 61 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003409

EFTA00157791

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 62 of 91

vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint

suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above.

62

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EFTA_00003410

EFTA00157792

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 63 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

  1. For the second time in April again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

  2. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had, if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

63

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Page 63 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003411

EFTA00157793

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 64 of 91

| vs. Epstein, et al. |

| :--- |

| Case No.: 08-CV-80811-CIV-MARRA/JOHNSON |

| First Amended Complaint |

  1. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

  2. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, and as such he must effectively admit liability unto the Plaintiff,

  3. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a

64

3505-025 Page 64 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003412

EFTA00157794

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 65 of 91

vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint

loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above.

  2. In May again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

65

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003413

EFTA00157795

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 66 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

  1. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had, if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  2. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

66

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EFTA_00003414

EFTA00157796

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 67 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

  1. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, , and as such he must effectively admit liability unto the Plaintiff,

  2. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further

67

3505-025 Page 67 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003415

EFTA00157797

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 68 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

COUNT XXIV

Cause of Action Pursuant to 18 USC §2255

May

  • Incident 2
  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above.

  2. For the second time in May again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

  3. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had,

68

3505-025 Page 68 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003416

EFTA00157798

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009 Pa

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  1. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

  2. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, , and as such he must effectively admit liability unto the Plaintiff,

  3. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and

69

Page 69 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003417

EFTA00157799

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 70 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, , will in the future suffer additional medical and psychological expenses. The Plaintiff, , has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, , will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff., demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above.

70

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EFTA_00003418

EFTA00157800

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 71 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

  1. In June again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

  2. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had, if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

71

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SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003419

EFTA00157801

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 72 of 91

vs. Epstein, et al. Case No.: 08-CV-80811-CIV-MARRA/JOHNSON First Amended Complaint

  1. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

  2. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, and as such he must effectively admit liability unto the Plaintiff,

  3. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a

72

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SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003420

EFTA00157802

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 73 of 91

vs. Epstein, et al. Case No.: 08-CV-80811-CIV-MARRA/JOHNSON First Amended Complaint

loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, , will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above.

  2. For the second time in June again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

73

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| EFTA_00003421 | | :--- | :--- |

This is a simple Markdown document with no headings, paragraphs, or tables. It contains just one line of text.

EFTA00157803

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 74 of 91

vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
  1. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had, if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  2. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

74

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SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003422

EFTA00157804

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 75 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

  1. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, , and as such he must effectively admit liability unto the Plaintiff,

  2. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further

75

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Page 75 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003423

EFTA00157805

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 76 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

COUNT XXVII

  1. The Plaintiff, adopts and realleges paragraphs 1 through 19 above.

  2. In July again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

  3. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had,

76

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SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003424

EFTA00157806

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 77 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  1. The Plaintiff was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

  2. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, , and as such he must effectively admit liability unto the Plaintiff,

  3. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and

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EFTA_00003425

EFTA00157807

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 78 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, , will in the future suffer additional medical and psychological expenses. The Plaintiff, , has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, , will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

COUNT XXVIII

Cause of Action Pursuant to 18 USC §2255

July of – Incident 2

  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above.

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EFTA_00003426

EFTA00157808

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 79 of 91

| vs. Epstein, et al. |

| :--- |

| Case No.: 08-CV-80811-CIV-MARRA/JOHNSON |

| First Amended Complaint |

  1. For the second time in July again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

  2. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had, if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

79

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EFTA_00003427

EFTA00157809

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 80 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

  1. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

  2. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, and as such he must effectively admit liability unto the Plaintiff,

  3. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a

80

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SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003428

EFTA00157810

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 81 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, , will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

  1. The Plaintiff, , adopts and realleges paragraphs 1 through 19 above.

  2. In August of 2003, again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

81

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003429

EFTA00157811

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 82 of 91

| vs. Epstein, et al. |

| :--- |

| Case No.: 08-CV-80811-CIV-MARRA/JOHNSON |

| First Amended Complaint |

  1. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had, if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  2. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

82

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EFTA_00003430

EFTA00157812

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 83 of 91

| | |

| :--- | :--- |

| vs. Epstein, et al. | |

| Case No.: 08-CV-80811-CIV-MARRA/JOHNSON | |

| First Amended Complaint | |

  1. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, and as such he must effectively admit liability unto the Plaintiff,

  2. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further

83

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| EFTA_00003431 | | :--- | :--- |

This is a simple Markdown document with no headings, paragraphs, or tables. It contains just one line of text: “EFTA_00003431”.

EFTA00157813

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 84 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

COUNT XXX

Cause of Action Pursuant to 18 USC §2255

August – Incident 2

  1. The Plaintiff, adopts and realleges paragraphs 1 through 19 above.

  2. For the second time in August again returned to JEFFREY EPSTEIN’S residence at his request. On this occasion, JEFFREY EPSTEIN directed to fully undress and to provide him with a massage. Defendant, JEFFREY EPSTEIN, fondled the breasts and buttocks of the then minor At the conclusion of the massage, JEFFREY EPSTEIN masturbated himself in presence. JEFFREY EPSTEIN paid in excess of $200 for this encounter.

  3. As a condition of the Defendant, JEFFREY EPSTEIN’s criminal plea, and in exchange for the Federal Government not prosecuting the Defendant for numerous federal offenses, the Defendant, JEFFREY EPSTEIN, additionally entered into an agreement with the Federal Government to the following: “Any person, who while a minor, was a victim of an offense enumerated in Title 18, United States Code, Section 2255, will have the same rights to proceed under section 2255 as she would have had,

84

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SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003432

EFTA00157814

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 85 of 91

vs. Epstein, et al.

| vs. Epstein, et al. |

| :--- |

| Case No.: 08-CV-80811-CIV-MARRA/JOHNSON |

| First Amended Complaint |

if Mr. Epstein had been tried federally and convicted of an enumerated offense. For purposes of implementing this paragraph, the United States shall provide Mr. Epstein’s attorneys with a list of individuals whom it was prepared to name in an indictment as victims of an enumerated offense by Mr. Epstein. Any judicial authority interpreting this provision, including any authority determining evidentiary burdens if any a Plaintiff must meet, shall consider that it is the intent of the parties to place these identified victims in the same position as they would have been had Mr. Epstein been convicted at trial. No more; no less.”

  1. The Plaintiff, was a victim of one or more offenses enumerated in Title 18, United States Code, Section 2255, and as such asserts a cause of action against the Defendant, JEFFREY EPSTEIN, pursuant to this Section of the United States Code and the agreement between the Defendant, JEFFREY EPSTEIN, and the United States Government.

  2. Pursuant to the agreement, the Defendant, JEFFREY EPSTEIN, is in the same position as if he had been tried and convicted of the sexual offenses committed against the Plaintiff, , and as such he must effectively admit liability unto the Plaintiff,

  3. As a direct and proximate result of the offenses enumerated in Title 18, United States Code, Section 2255, being committed against the then minor Plaintiff, has in the past suffered, and will in the future suffer, physical injury, pain and

85

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SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003433

EFTA00157815

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 86 of 91

vs. Epstein, et al. Case No.: 08-CV-80811-CIV-MARRA/JOHNSON First Amended Complaint

suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self-esteem, loss of dignity, invasion of her privacy and other damages associated with Defendant, JEFFREY EPSTEIN, controlling, manipulating and coercing her into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

COUNT XXXI

Sexual Battery

  1. The Plaintiff, □, adopts and realleges paragraphs 1 through 199 above.

86

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SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003434

EFTA00157816

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 87 of 91

vs. Epstein, et al.

Case No.: 08-CV-80811-CIV-MARRA/JOHNSON

First Amended Complaint

  1. Between late May or early June of and August of , Defendant, JEFFERY EPSTEIN, engaged in dozens of illegal and depraved sexual acts against Plaintiff,

  2. As described more fully in the above paragraphs, Defendant, JEFFERY EPSTEIN, intentionally inflicted harmful and/or offensive sexual contact on the person of

  3. Defendant, JEFFREY EPSTEIN’S, tortuous commission of sexual battery upon were done willfully and maliciously.

  4. As a direct and proximate result of JEFFREY EPSTEIN’S battery on , she has suffered and will continue to suffer severe and permanent traumatic injuries, including mental, psychological and emotional damages.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

COUNT XXXII

Conspiracy to Commit Tortious Assault Against Defendant, SARAH KELLEN

  1. Plaintiff incorporates into this count the allegations of paragraphs 1 through 19.

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EFTA_00003435

EFTA00157817

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 88 of 91

vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
  1. Defendant, SARAH KELLEN, is one of Defendant, JEFFREY EPSTEIN’S, employees/assistants referenced in paragraph 12 above. Defendant, JEFFREY EPSTEIN, Defendant, SARAH KELLEN, and others reached an agreement between themselves for the purpose of allowing Defendant, JEFFREY EPSTEIN, to commit the illegal acts described above upon Plaintiff.

  2. Many of the instances of illegal sexual conduct committed by Defendant, JEFFREY EPSTEIN, described above were perpetrated with the assistance, support, and facilitation by Defendant, SARAH KELLAN. In fact, Defendant, SARAH KELLEN, aided, assisted, and/or abetted Defendant, JEFFREY EPSTEIN, in his organized scheme and plan to sexually assault, and/or coerce Plaintiff, to engage in prostitution.

  3. Defendant, SARAH KELLEN, would often arrange times for to come to Defendant, JEFFREY EPSTEIN’S, residence, would escort to the room where Defendant, JEFFREY EPSTEIN, was waiting, would deliver cash from Defendant, JEFFREY EPSTEIN, at the conclusion of a session, and took nude photographs of Plaintiffs, for Defendant, JEFFREY EPSTEIN.

  4. As a direct and proximate result of Defendant, SARAH KELLEN’s, participation in the aforementioned conspiracy, Plaintiff, has suffered and will continue to suffer damages, including, but not limited to, pain, suffering, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of

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EFTA_00003436

EFTA00157818

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009

Page 89 of 91

vs. Epstein, et al. Case No.: 08-CV-80811-CIV-MARRA/JOHNSON First Amended Complaint

self-esteem, loss of dignity, invasion of personal privacy and other damages associated with JEFFREY EPSTEIN’S controlling, manipulating, and coercing into a perverse and unconventional way of life for a minor. The then minor Plaintiff incurred medical and psychological expenses and the Plaintiff, will in the future suffer additional medical and psychological expenses. The Plaintiff, has suffered a loss of income, a loss of the capacity to earn income in the future, and a loss of the capacity to enjoy life. These injuries are permanent in nature and the Plaintiff, will continue to suffer these losses in the future.

WHEREFORE, the Plaintiff, demands judgment against the Defendant, SARAH KELLEN, for compensatory damages of at least the minimum amount provided by law, punitive damages, attorney’s fees, costs, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury.

CERTIFICATE OF SERVICE

I HEREBY CERTIFY that on the 9th day of February, 2009, I electronically filed the foregoing with the Clerk of the Court by using CM/ECF system, which will send a notice of electronic filing to all counsel of record on the attached service list.

89

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SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003437

EFTA00157819

Case 9:08-cv-80811-KAMDocument 39Entered on FLSD Docket 02/09/2009
vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
Page 90 of 91

Attorneys for Plaintiff(s)

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EFTA_00003438

EFTA00157820

Case 9:08-cv-80811-KAM Document 39 Entered on FLSD Docket 02/09/2009

Page 91 of 91

vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
Page 91 of 91

COUNSEL LIST

Robert Critton, Esquire

Burman Critton Luttier & Coleman LLP

Jack A. Goldberger, Esquire

Atterbury, Goldberger & Weiss, P.A.

Bruce E. Reinhart, Esquire

Bruce E. Reinhart, P.A.

3505-025

Page 91 of 91

SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17

EFTA_00003439

EFTA00157821

First amended complaint against Jeffrey Epstein and an associate, filed 2009

Court filings

An anonymous plaintiff's first amended complaint in federal court alleging Epstein sexually exploited her as a minor at his Palm Beach mansion, naming an associate as co-defendant

DOJ Epstein Files, Data Set 9 · Feb. 9, 2009

<table <tr <td Case 9:08-cv-80811-KAM</td <td Document 39</td <td Entered on FLSD Docket 02/09/2009</td </tr </table Page 1 of 91 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE NO.: 08-CV-80811-CIV-MARRA/JOHNSON Plaintiff(s), vs. JEFFREY EPSTEIN and Defendant(s). FIRST AMENDED COMPLAINT Parties, Jurisdiction and Venue COMES NOW the Plaintiff, and brings this First Amended Complaint against the Defendants, JEFFREY EPSTEIN and SARAH KELLEN, and states as follows: 1. This is an action for damages in excess of $75,000.00, exclusive of interest and costs. 2. This Complaint is brough…