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Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 1 of 91
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF FLORIDA
CASE NO.: 08-CV-80811-CIV-MARRAMOHNSON
C.M.A.,
Plaintiff(s),
VS.
TEIN and
Defendant(s).
FIRST AMENDED COMPLAINT
Parties, Jurisdiction and Venue
COMES NOW the Plaintiff, C.M.A., and brings this First Amended Complaint
against the Defendants, JEFFREY EPSTEIN an
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, C.M.A., 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, C.M.A., was.
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C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
4.
At all times material to this cause of action, the Defendant, JEFFREY
EPSTEIN, had a residence located in Palm Beach County, Florida.
5.
At all times material to this cause of action, the Defendant, JEFFREY
EPSTEIN, was an adult male, born in 1953.
6.
This Court has jurisdiction of this action and the claim set forth herein
pursuant to 18 U.S.C. §2255.
7.
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.
8.
At all times material, the Defendant, JEFFREY EPSTEIN, owed a duty
unto Plaintiff, C.M.A., to treat her in a non-negligent manner and to not commit
intentional or tortious illegal acts against her.
Factual Allegations
9.
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, C.MA., sexually assaulted these girls, and/or coerced
them to engage in prostitution, and in return gave these girls money.
10.
The Defendants plan, scheme and enterprise included an elaborate
system wherein the then minor Plaintiff and other minor girls were brought to the
2
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Case No.: 08-CV-80811-CIV-MARFtA/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
Plaintiffs 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.
11.
The Plaintiff, C.M.A., was the first brought to the Defendant, JEFFREY
EPSTEIN'S, mansion in late May or early June of 2002, when she was fifteen-years old
and in middle school.
12.
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.
13.
Beginning in approximately late May or early June of 2002, and continuing
until approximately August of 2003, 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 2002 until August of 2003. At a bare minimum,
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C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80311-CIV-MARRA/JOHNSON
First Amended Complaint
these acts occurred twice a month from June 2002 until August of 2003. 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, C.M.A. 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.
14.
Defendant, JEFFREY EPSTEIN, used his money, wealth and power to
unduly and improperly manipulate and influence the then minor Plaintiff.
15.
The acts referenced in paragraphs 9 through 14, committed by Defendant,
JEFFREY EPSTEIN, against the then minor Plaintiff, C.M.A., were committed in
violation of numerous criminal State and Federal statutes condemning the sexual
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C.M.A. 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.
16.
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, C.M.A.'s minority.
17.
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.
18.
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
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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".
19.
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, C.M.A.
COUNT I
Cause of Action Pursuant to 18 USC §2255
May/June 2002
20.
The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
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C.M.A. vs. Epstein, et at.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
21.
In late May or early June of 2002, C.M.A. was first introduced to
Defendant, JEFFREY EPSTEIN.
C.M.A. was brought to JEFFREY EPSTEIN'S
residence by a female friend of hers. C.M.A. 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 C.M.A. In exchange for her participation as an observer of JEFFREY
EPSTEIN'S lewd and lascivious conduct, C.M.A. was paid $300 by JEFFREY
EPSTEIN.
22.
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
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C.M.A. 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."
23.
The Plaintiff, C.M.A., 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.
24.
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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
25.
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,
C.M.A., 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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
S
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Case No.: 08-CV-80811-CIV-MARRA/J0HNS0N
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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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 2002- Incident 2
26.
The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
27.
Approximately one week after the first incident, C.M.A. received a
telephone call from AFFREY EPSTEIN requesting that she return to his residence. On
this occasion, JEFFREY EPSTEIN directed C.M.A 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 C.M.A.'s presence. JEFFREY EPSTEIN
paid C.M.A. $300 for this encounter.
9
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Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
28.
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?
29.
The Plaintiff, C.M.A., 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
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Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
30.
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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
31.
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,
C.M.A., 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, C.MA„ will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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
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Case No.: 08-CV-80811-CIV-MARRA/J0HNS0N
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 III
Cause of Action Pursuant to 18 USC 42255
July, 2002 — Incident 1
32.
The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
33.
In July of 2002, C.M.A. again returned to JEFFREY EPSTEIN'S residence
at his request. On this occasion, JEFFREY EPSTEIN directed C.M.A to undress to her
underwear and to provide him with a massage. At the conclusion of the massage,
JEFFREY EPSTEIN masturbated himself in C.M.A.'s presence. JEFFREY EPSTEIN
paid C.M.A. in excess of $200 for this encounter.
34.
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
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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."
35.
The Plaintiff, C.M.A., 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.
36.
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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
37.
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,
C.M.A., has in the past suffered, and will in the future suffer, physical injury, pain and
suffering, emotional distress, psychological trauma, mental anguish, humiliation,
13
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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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
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, C.MA., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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 42266
July 2002 — Incident 2
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38.
The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
39.
For the second time in July of 2002, C.M.A. 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 C.M.A. At the conclusion
of the massage, JEFFREY EPSTEIN masturbated himself in C.M.A.'s presence.
JEFFREY EPSTEIN paid C.M.A. in excess of $200 for this encounter.
40.
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
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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?
41.
The Plaintiff, C.M.A., 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.
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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
43.
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,
C.M.A., 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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
16
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C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/J0HNS0N
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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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 V
Cause of Action Pursuant to 18 USC §2255
August of 2002 - Incident 1
44.
The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
45.
In August of 2002, C.M.A. 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 C.M.A. At the conclusion of the massage,
JEFFREY EPSTEIN masturbated himself in C.M.A.'s presence. JEFFREY EPSTEIN
paid C.M.A. in excess of $200 for this encounter.
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46.
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.
The Plaintiff, C.M.A., 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.
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48.
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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
49.
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,
C.M.A., 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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.MA.,
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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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
EFTA00087871
Case 9:08-cv-80811 -KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 20 of 91
C.M.A. 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 42255
August of 2002 — Incident 2
50.
The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
51.
For the second time in August of 2002, C.MA. 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 C.M.A. At the
conclusion of the massage, JEFFREY EPSTEIN masturbated himself in C.M.A.'s
presence. JEFFREY EPSTEIN paid C.M.A. in excess of $200 for this encounter.
52.
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 Govemment 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
EFTA00087872
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 21 of 91
C.M.A. 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."
53.
The Plaintiff, C.M.A., 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.
54.
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, C.M.R., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
55.
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,
C.M.A., has in the past suffered, and will in the future suffer, physical Injury, pain and
21
EFTA00087873
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 22 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/J0HNS0N
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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
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 aro permanent in nature and the
Plaintiff, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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 VII
Cause of Action Pursuant to 18 USC §2255
September of 2002 — Incident 1
56.
The. Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
22
EFTA00087874
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 23 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
57.
In September of 2002, C.M.A. 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 C.M.A. At the conclusion of the massage,
JEFFREY EPSTEIN masturbated himself in C.M.A.'s presence. JEFFREY EPSTEIN
paid C.M.A. in excess of $200 for this encounter.
58.
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
EFTA00087875
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 24 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
59.
The Plaintiff, C.M.A., 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.
60.
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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
61.
As a direct and proximate result of the offenses enumerated in Tdle 18,
United States Code, Section 2255, being committed against the then minor Plaintiff,
C.M.A., 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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
has suffered a loss of income, a loss of the capacity to earn income in the future, and a
24
EFTA00087876
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 25 of 91
C.MA. vs. Epstein, et at.
Case No.: 08-CV-80811-CIV-MARFtA/JOHNSON
First Amended Complaint
loss of the capacity to enjoy life. These injuries are permanent in nature and the
Plaintiff, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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 of 2002 — Incident 2
62.
The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
63.
For the second time in September of 2002, C.M.A. 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 C.MA. At the
conclusion of the massage, JEFFREY EPSTEIN masturbated himself in C.M.A.'s
presence. JEFFREY EPSTEIN paid C.M.A. in excess of $200 for this encounter.
25
EFTA00087877
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 26 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
64.
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?"
65.
The Plaintiff, C.M.A., 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
EFTA00087878
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 27 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARFtA/J0HNSON
First Amended Complaint
66.
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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.MA.
67.
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,
C.M.A., 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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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
EFTA00087879
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 28 of 91
C.M.A. vs. Epstein, et at
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 V255
October of 2002 — Incident 1
68.
The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
69.
In October of 2002, C.M.A. 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 C.M.A. At the conclusion of the massage,
JEFFREY EPSTEIN masturbated himself in C.MA.'s presence. JEFFREY EPSTEIN
paid C.M.A. In excess of $200 for this encounter.
70.
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
EFTA00087880
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 29 of 91
C.M.A. 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."
71.
The Plaintiff, C.MA., 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.
72.
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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
73.
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,
C.M.A., has in the past suffered, and will in the future suffer, physical injury, pain and
29
EFTA00087881
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 30 of 91
C.M.A. 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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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 X
Cause of Action Pursuant to 18 USC 42255
October of 2002 - Incident 2
30
EFTA00087882
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 31 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
74.
The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
75.
For the second time in October of 2002, C.M.A. 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 C.M.A. At the
conclusion of the massage, JEFFREY EPSTEIN masturbated himself in C.M.A.'s
presence. JEFFREY EPSTEIN paid C.M.A. in excess of $200 for this encounter.
76.
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
EFTA00087883
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 32 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRNJOHNSON
First Amended Complaint
the same position as they would have been had Mr. Epstein been convicted at trial. No
more; no less."
77.
The Plaintiff, C.M.A., 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.
78.
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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
79.
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,
C.M.A., 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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
32
EFTA00087884
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 33 of 91
C.M.A. 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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.MA., 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 XI
Cause of Action Pursuant to 18 USC §22S5
November of 2002 — Incident 1
80.
The Plaintiff, C.MA., adopts and realleges paragraphs 1 through 19
above.
81.
In November of 2002, C.M.A. 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 C.M.A. At the conclusion of the massage,
JEFFREY EPSTEIN masturbated himself In C.M.A.'s presence. JEFFREY EPSTEIN
paid C.M.A. in excess of $200 for this encounter.
33
EFTA00087885
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 34 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
82.
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 Slates 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.'
83.
The Plaintiff, C.M.A., 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
EFTA00087886
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 35 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
84.
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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
85.
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,
C.M.A., 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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.MA.,
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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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
EFTA00087887
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 36 of 91
C.M.A. 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 2002 — Incident 2
86.
The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
87.
For the second time in November of 2002, C.M.A. 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 C.M.A. At the
conclusion of the massage, JEFFREY EPSTEIN masturbated himself in C.M.A.'s
presence. JEFFREY EPSTEIN paid C.M.A. in excess of $200 for this encounter.
88.
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
EFTA00087888
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 37 of 91
C.M.A. 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."
89.
The Plaintiff, C.M.A., 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.
90.
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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
91.
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,
C.M.A., has in the past suffered, and will in the future suffer, physical injury, pain and
37
EFTA00087889
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 38 of 91
C.M.A. 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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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
Cause of Action Pursuant to 18 USC $2255
December of 2002 — Incident 1
92.
The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
38
EFTA00087890
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 39 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
93.
In December of 2002, C.M.A. 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 C.M.A. At the conclusion of the massage,
JEFFREY EPSTEIN masturbated himself. in C.M.A.'s presence. JEFFREY EPSTEIN
paid C.M.A. in excess of $200 for this encounter.
94.
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
EFTA00087891
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 40 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
95.
The Plaintiff, C.M.A., 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.
96.
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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
97.
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,
C.M.A., 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, C.MA., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
has suffered a loss of income, a loss of the capacity to earn income in the future, and a
40
EFTA00087892
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 41 of 91
C.M.A. 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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.MA., 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 of 2002 — Incident 2
98.
The Plaintiff, C.MA., adopts and realleges paragraphs 1 through 19
above.
99.
For the second time in December of 2002, C.M.A. 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 C.M.A. At the
conclusion of the massage, JEFFREY EPSTEIN masturbated himself In C.M.A.'s
presence. JEFFREY EPSTEIN paid C.M.A. in excess of $200 for this encounter.
41
EFTA00087893
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 42 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
100. 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."
101. The Plaintiff, C.M.A., 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
EFTA00087894
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 43 of 91
C.M.A. vs. Epstein, et al,
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
102. 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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
103. 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,
C.M.A., 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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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
EFTA00087895
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 44 of 91
C.M.A. 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 XV
Cause of Action Pursuant to 18 USC 42255
January of 2003 — Incident 1
104. The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
105. In January of 2003, C.M.A. 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 arid buttocks of the then minor C.M.A. At the conclusion of the massage,
JEFFREY EPSTEIN masturbated himself in C.M.A.'s presence. JEFFREY EPSTEIN
paid C.M.A. in excess of $200 for this encounter.
106. 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
EFTA00087896
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 45 of 91
C.M.A. 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?
107. The Plaintiff, C.M.A., 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.
108. 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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
109. 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,
C.M.A., has in the past suffered, and will in the future suffer, physical injury, pain and
45
EFTA00087897
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 46 of 91
C.M.A. vs. Epstein, et al.
Case No.: 0B-CV-80811-CIV-MARRNJOHNSON
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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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
Cause of Action Pursuant to 18 USC 42255
January of 2003 — Incident 2
110. The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
46
EFTA00087898
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 47 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
111. For the second time in January of 2003, C.M.A. 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 C.M.A. At the
conclusion of the massage, JEFFREY EPSTEIN masturbated himself In C.M.A.'s
presence. JEFFREY EPSTEIN paid C.M.A. in excess of $200 for this encounter.
112. 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
EFTA00087899
Case 9:08-cv-80811-KAM
Document 40
Entered on F LSD Docket 02/09/2009
Page 48 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
113. The Plaintiff, C.M.A., 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.
114. 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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
115. 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,
C.M.A., 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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
has suffered a loss of income, a loss of the capacity to earn income in the future, and a
48
EFTA00087900
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 49 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRAJJOHNSON
First Amended Complaint
loss of the capacity to enjoy life. These injuries are permanent in nature and the
Plaintiff, C.MA., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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 XVII
Cause of Action Pursuant to 18 USC 42255
February of 2003 — Incident 1
116. The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
117. In February of 2003, C.M.A. 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 C.M.A. At the conclusion of the massage,
JEFFREY EPSTEIN masturbated himself in C.M.A.'s presence. JEFFREY EPSTEIN
paid C.M.A. in excess of $200 for this encounter.
49
EFTA00087901
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 50 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
118. 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."
119. The Plaintiff, C.M.A., 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
EFTA00087902
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 51 of 91
C.M.A. vs. Epstein, etas.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
120. 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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
121. 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,
C.M.A., 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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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
EFTA00087903
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 52 of 91
C.M.A. 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 42255
February of 2003 — Incident 2
122. The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
123. For the second time in February of 2003, C.M.A. 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 C.M.A. At the
conclusion of the massage, JEFFREY EPSTEIN masturbated himself in C.M.A.'s
presence. JEFFREY EPSTEIN paid C.M.A. in excess of $200 for this encounter.
124. 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
EFTA00087904
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 53 of 91
C.M.A. 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."
125. The Plaintiff, C.M.A., 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.
126. 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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
127. 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,
C.M.A., has in the past suffered, and will in the future suffer, physical injury, pain and
53
EFTA00087905
Case 9:08-cv-80811-KAM
Docuinent 40
Entered on FLSD Docket 02/09/2009
Page 54 of 91
G.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOI•INSON
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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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 XIX
Cause of Action Pursuant to 18 USC §2255
March of 2003 — Incident 1
128. The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
54
EFTA00087906
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 55 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
129. In March of 2003, C.M.A. 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 C.M.A. At the conclusion of the massage,
JEFFREY EPSTEIN masturbated himself in C.M.A.'s presence. JEFFREY EPSTEIN
paid C.M.A. in excess of $200 for this encounter.
130. 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 Govemment 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
EFTA00087907
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 56 of 91
C.M.A vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRAJJOHNSON
First Amended Complaint
131. The Plaintiff, C.M.A., 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.
132. 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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
133. 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,
C.M.A., 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, C.MA., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
has suffered a loss of income, a loss of the capacity to earn income in the future, and a
56
EFTA00087908
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 57 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARFtA/JOHNSON
First Amended Complaint
loss of the capacity to enjoy life. These injuries are permanent in nature and the
Plaintiff, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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 XX
Cause of Action Pursuant to 18 USC 42255
March of 2003 — Incident 2
134. The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
135. For the second time in March of 2003, C.M.A. 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 C.M.A. At the conclusion
of the massage, JEFFREY EPSTEIN masturbated himself in C.M.A.'s presence.
JEFFREY EPSTEIN paid C.M.A. In excess of $200 for this encounter.
57
EFTA00087909
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 58 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRAIJOHNSON
First Amended Complaint
136. 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."
137. The Plaintiff, C.M.A., 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
EFTA00087910
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 59 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
138. 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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff,
139. 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,
C.M.A., 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 arid psychological expenses and the Plaintiff, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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
EFTA00087911
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 60 of 91
C.M.A. 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 82255
April of 2003 — ncident 1
140. The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
141. In April of 2003, C.M.A. 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 C.M.A. At the conclusion of the massage,
JEFFREY EPSTEIN masturbated himself in C.M.A.'s presence. JEFFREY EPSTEIN
paid C.M.A. in excess of $200 for this encounter.
142. 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
EFTA00087912
Case 9:08-cv-80811-KAM
Document 40
Entered on F LSD Docket 02/09/2009
Page 61 of 91
C.M.A. 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."
143. The Plaintiff, C.M.A., 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.
144. 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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
145. 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,
C.M.A., has in the past suffered, and will in the future suffer, physical injury, pain and
61
EFTA00087913
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 62 of 91
C.M.A. 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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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 XXII
Cause of Action Pursuant to 18 USC $2255
April of 2003 — Incident 2
146. The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
62
EFTA00087914
Case 9:08-cv-80811 -KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 63 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
147. For the second time in April of 2003, C.M.A. 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 C.M.A. At the conclusion
of the massage, JEFFREY EPSTEIN masturbated himself in C.M.A.'s presence.
JEFFREY EPSTEIN paid C.M.A. In excess of $200 for this encounter.
148. 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 tinder 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
EFTA00087915
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 64 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-Cht-MARFtA/JOHNSON
First Amended Complaint
149. The Plaintiff, C.M.A., 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.
150. 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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
151. 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,
C.M.A., 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, C.M.A., will In
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
has suffered a loss of income, a loss of the capacity to earn income in the future, and a
64
EFTA00087916
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 65 of 91
C.M.A. 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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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 XXIII
Cause of Action Pursuant to 18 USC §2255
May of 2003 — Incident 1
152. The Plaintiff, C.MA., adopts and realleges paragraphs 1 through 19
above.
153. In May of 2003, C.M.A. 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 C.MA. At the conclusion of the massage,
JEFFREY EPSTEIN masturbated himself in C.M.A.'s presence. JEFFREY EPSTEIN
paid C.M.A. in excess of $200 for this encounter.
65
EFTA00087917
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 66 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
154. 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."
155. The Plaintiff, C.M.A., 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
EFTA00087918
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 67 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
156. 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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M_A.
157. 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,
C.M.A., 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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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
EFTA00087919
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 68 of 91
C.M.A. 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 42255
May of 2003 — Incident 2
158. The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
159. For the second time in May of 2003, C.M.A. 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 C.M.A. At the conclusion
of the massage, JEFFREY EPSTEIN masturbated himself in C.M.A.'s presence.
JEFFREY EPSTEIN paid C.M.A. in excess of $200 for this encounter.
160. 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
EFTA00087920
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 69 of 91
C.M.A. 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."
161. The Plaintiff, C.M.A., 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.
162. 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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
163. 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,
C.M.A., has in the past suffered, and will in the future suffer, physical injury, pain and
69
EFTA00087921
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 70 of 91
C.M.A. 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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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 XXV
Cause of Action Pursuant to 18 USC 42255
June of 2003 — Incident 1
164. The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
70
EFTA00087922
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 71 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
165. In June of 2003, C.M.A. 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 C.M.A. At the conclusion of the massage,
JEFFREY EPSTEIN masturbated himself in C.M.A.'s presence. JEFFREY EPSTEIN
paid C.M.A. in excess of $200 for this encounter.
166. 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 white 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
EFTA00087923
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 72 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-C IV-MARRA/JOHNSON
First Amended Complaint
167. The Plaintiff, C.M.A., 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.
168. 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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
169. 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,
C.M.A., 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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
has suffered a loss of income, a loss of the capacity to earn Income in the future, and a
72
EFTA00087924
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 73 of 91
C.M.A. 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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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 XXVI
Cause of Action Pursuant to 18 USC §2255
June of 2003 — Incident 2
170. The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
171. For the second time in June of 2003, C.M.A. 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 C.M.A. At the conclusion
of the massage, JEFFREY EPSTEIN masturbated himself in C.M.A.'s presence.
JEFFREY EPSTEIN paid C.M.A. in excess of $200 for this encounter.
73
EFTA00087925
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 74 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRAIJOHNSON
First Amended Complaint
172. 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."
173. The Plaintiff, C.M.A., 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
EFTA00087926
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 75 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
174. 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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
175, 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,
C.M.A., 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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., demands judgment against the Defendant,
JEFFREY EPSTEIN, for compensatory damages of at least the minimum amount
provided by law, punitive damages, attorneys fees, costs, and such other and further
75
EFTA00087927
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 76 of 91
C.M.A. vs. Epstein, et at
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
relief as this Court deems just and proper, and hereby demands trial
issues triable as of right by a jury.
COUNT XXVII
Cause of Action Pursuant to 18 USC §2255
July of 2003 - Incident 1
by jury on all
176. The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
177. In July of 2003, C.M.A. 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 C.M.A. At the conclusion of the massage,
JEFFREY EPSTEIN masturbated himself in C.M.A.'s presence. JEFFREY EPSTEIN
paid C.M.A. in excess of $200 for this encounter.
178. 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
EFTA00087928
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 77 of 91
C.M.A. 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. My 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."
179. The Plaintiff, C.M.A., 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
180. 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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
181. 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,
C.M.A., has in the past suffered, and will in the future suffer, physical injury, pain and
77
EFTA00087929
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 78 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARR/VJOHNSON
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, C.M,A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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 2003 — Incident 2
182. The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
78
EFTA00087930
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 79 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
183. For the second time in July of 2003, C.M.A. 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 C.M.A. At the conclusion
of the massage, JEFFREY EPSTEIN masturbated himself in C.MA.'s presence.
JEFFREY EPSTEIN paid C.M.A. in excess of $200 for this encounter.
184. 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
EFTA00087931
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 80 of 91
C.M.A. vs. Epstein, et at
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
185. The Plaintiff, C.M.A., 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.
186. 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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
187. 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,
C.M.A., 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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
has suffered a loss of income, a loss of the capacity to earn income in the future, and a
80
EFTA00087932
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 81 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRPJJOHNSON
First Amended Complaint
loss of the capacity to enjoy life. These injuries are permanent in nature and the
Plaintiff, C.MA., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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 XXIX
Cause of Action Pursuant to 18 USC §2255
August of 2003 — Incident 1
188. The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
189. In August of 2003, C.M.A. 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 C.M.A. At the conclusion of the massage,
JEFFREY EPSTEIN masturbated himself in C.M.A.'s presence. JEFFREY EPSTEIN
paid C.M.A. in excess of $200 for this encounter.
81
EFTA00087933
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 82 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
190. 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."
191. The Plaintiff, C.M.A., 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
EFTA00087934
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 83 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRAMOHNSON
First Amended Complaint
192. 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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
193. 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,
C.M.A., 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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.MA, 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
EFTA00087935
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 84 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRNJOHNSON
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 of 2003 — Incident 2
194. The Plaintiff, C.M.A., adopts and realleges paragraphs 1 through 19
above.
195. For the second time in August of 2003, C.M.A. 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 C.M.A. At the
conclusion of the massage, JEFFREY EPSTEIN masturbated himself in C.M.A.'s
presence. JEFFREY EPSTEIN paid C.M.A. in excess of $200 for this encounter.
196. 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
EFTA00087936
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 85 of 91
C.M.A. 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."
197. The Plaintiff, C.M.A., 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.
198. 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, C.M.A., and as such he must effectively admit liability unto the
Plaintiff, C.M.A.
199. 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,
C.M.A., has in the past suffered, and will in the future suffer, physical injury, pain and
85
EFTA00087937
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02109/2009
Page 86 of 91
C.M.A. 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, C.M.A., will in
the future suffer additional medical and psychological expenses. The Plaintiff, C.M.A.,
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, C.M.A., will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., 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
200. The Plaintiff, C.MA., adopts and realleges paragraphs 1 through 199
above.
86
EFTA00087938
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 87 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
201. Between late May or early June of 2002 and August of 2003, Defendant,
JEFFERY EPSTEIN, engaged in dozens of illegal and depraved sexual acts against
Plaintiff, C.M.A.
202.
As described more fully in the above paragraphs, Defendant, JEFFERY
EPSTEIN, intentionally inflicted harmful and/or offensive sexual contact on the person of
C.M.A.
203. Defendant, JEFFREY EPSTEIN'S, tortuous commission of sexual battery
upon C.M.A. were done willfully and maliciously.
204. As a direct and proximate result of JEFFREY EPSTEIN'S battery on
C.M.A., she has suffered and will continue to suffer severe and permanent traumatic
injuries, including mental, psychological and emotional damages.
WHEREFORE, the Plaintiff, C.M.A., 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
205. Plaintiff incorporates into this count the allegations of paragraphs 1
through 19.
87
EFTA00087939
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 88 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
206. Defendant
is one of Defendant, JEFFREY EPSTEIN'S,
referenced in paragraph 12 above.
Defendant, JEFFREY
EPSTEIN, Defendant,
and others reached an agreement between
themselves for the purpose of allowing Defendant, JEFFREY EPSTEIN, to commit the
illegal acts described above upon Plaintiff, C.M.A.
207. 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,
In fact, Defendant,
aided, assisted, and/or abetted Defendant, JEFFREY EPSTEIN, in his organized
scheme and plan to sexually assault, and/or coerce Plaintiff, C.M.A., to engage in
prostitution.
208. Defendant,
would often arrange times for C.M.A. to
come to Defendant, JEFFREY EPSTEIN'S, residence, would escort C.M.A. 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, C.M.A., for Defendant, JEFFREY EPSTEIN.
209. As a direct and proximate result of Defendant,
participation in the aforementioned conspiracy, Plaintiff, C.M.A, 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
88
EFTA00087940
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 89 of 91
C.M.A. 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 C.M.A. into a
perverse and unconventional way of life for a minor. The then minor Plaintiff incurred
medical and psychological expenses and the Plaintiff, C.MA., will in the future suffer
additional medical and psychological expenses. The Plaintiff, C.M.A., 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, C.M.A.,
will continue to suffer these losses in the future.
WHEREFORE, the Plaintiff, C.M.A., demands judgment against the Defendant,
....or
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
EFTA00087941
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 90 of 91
C.M.A. vs. Epstein, et al.
Case No.: 08-CV-80811-CIV-MARRA/JOHNSON
First Amended Complaint
Page 90 of 91
/s/Jack P Hill
Jack Scarola
Florida Bar No.: 169440
Jack P. Hill
Florida Bar No.: 0547808
Shipley, P.A.
Attorneys for
s
90
EFTA00087942
Case 9:08-cv-80811-KAM
Document 40
Entered on FLSD Docket 02/09/2009
Page 91 of 91
C.M.A. vs. Epstein, et al.
case No.: 08-CV-80811-CIV-MARRNJOHNSON
First Amended Complaint
Page 91 of 91
COUNSEL LIST
Richard H. Willits, Esquire
Richard H. Willits, PA.
Robert Critton, Esquire
Burman Critton Luther & Coleman LLP
Jack A. Goldberger, Esquire
Bruce E. Reinhart, Esquire
11
.
91
EFTA00087943
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