EFTA00594250.pdf
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Ow 7.e.
Class Action
Personal Injury
Wrongful Death
Commercial Litigat on
WW
CE.0
Farmer, Jaffe, Weissing,
Edwards, Fistos Et Lehrman,
February 03, 2011
Christopher E. Knight
Fowler White Burnett PA
Espirito Santo Plaza
Fourteen Floor
1395 Brickell Avenue
Miami, FL 33131-3302
Re:
v. Jeffrey Epstein
Mr. Knight:
••
'
We now represent
. Without getting into unnecessary details regarding
her experience with your client, I have included the relevant facts below to assist you in
evaluating and resolvingLer claim. _Itriti
just turned 15 years old when she was taken to
Mr. Epstein's home by.. (another then-underage victim known to your client). She was lead
upstairs into Mr. Epstein's bedroom where he appeared naked and asked her to begin massaging
him. After several minutes, he rolled over and began rubbing
leg and buttocks. He
told her to take her shirt and.b.p.a.and she reluctantly complied with his request. Mr. Epstein
then began masturbating in
presence while grabbing
breasts. Mr.',
then moved her panties to the side and rubbed her vagina with his finger. At that point
began to cry and prayed that the experience would be over and that she would escape without
being raped. After Mr. Epstein ejaculated in her presence he paid her $200 and she left.
cried on the way home and while Sarah contacted
to request that
return, she never did.
has been psychologically and emotionally damaged by this
experience of being sexually manipulated and molested by Mr. Epstein. To this day
has
not spoken with law enforcement and has remained silent because she feared that Epstein would
injure her if she told anyone what happened in his house. She has only recently gained the
strength to contact my office about representing her against someone she believes, based on her
interactions with him, is a dangerous and powerful sexual predator.
Mr. Epstein's criminal conduct against
has caused the type of long:lasting
impact that you would expect after placing an inexperienced 15 year old girl in a world of
425 North Andrews Avenue • Suite 2 • Fort Lauderdale, Florida 33301
954.524.2820 office 954.524.2822 fax
EFTA00594250
Christopher E. Knight
February 3, 2011
Page 2
unexpected sexual deviance. She deserves fair compensation for her injuries in an amount that
also addresses the punitive nature of Mr. Epstein's actions against her. As such, she is
demanding $300,000 as full settlement for all claims. While I know from experience that this is
money than Mr. Epstein has paid in the past for "one-timers", it is a lesser amount than
will receive at a trial on her case and an amount that represents an extreme compromise
on her behalf.
We will delay filing a lawsuit for fifteen (15) days as we await your response to this
demand.
Very truly yours,
FARMER, JAFFE, WEISSING, EDWARDS, FISTOS & LEHRMAN, P.L.
Bradley J. Edwards
BJE:mwk
Farmer, Jaffe, Weissing, Edwards, Fistos Et Lehrman, P.L.
425 North Andrews Avenue • Suite 2 • Fort Lauderdale, Florida 33301
954.524.2820 office 954.524.2822 fax
EFTA00594251
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| Filename | EFTA00594250.pdf |
| File Size | 258.0 KB |
| OCR Confidence | 85.0% |
| Has Readable Text | Yes |
| Text Length | 3,087 characters |
| Indexed | 2026-02-11T22:53:06.375796 |