EFTA00221172.pdf
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Case 9:08-cv-80993-KAM
Document 1
Entered on FLSD Docket 09/10/200 FiLmine 1 [1177 D.C.
ELECTRONIC
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF FLORIDA
CASE NO.:
JANE DOE NO. 7,
Plaintiff,
vs.
JEFFREY EPSTEIN,
Defendant.
SEPT. 10, 2008
STEVEN M. LARIMORE
CLERK U.S. GIST. CT.
S.D. OF FLA. • MIAMI
08-CV-80993-Hurley-Hopkins
COMPLAINT
Plaintiff, Jane Doe No. 7 ("Jane" or "Jane Doe"), brings this Complaint against Jeffrey
Epstein, as follows:
Parties, Jurisdiction and Venue
1.
Jane Doe No. 7 is a citizen and resident of the State of Florida, and is sui juris.
2.
This Complaint is brought under a fictitious name to protect the identity of the
Plaintiff because this Complaint makes sensitive allegations of sexual assault and abuse upon a
minor.
3.
Defendant Jeffrey Epstein is a citizen and resident of the State of New York.
4.
This is an action for damages in excess of $50 million.
5.
This Court has jurisdiction of this action and the claims set forth herein pursuant to 28
U.S.C. §1332(a), as the matter in controversy (i) exceeds $75,000, exclusive of interest and costs;
and (ii) is between citizens of different states.
6.
Additionally, this Court has jurisdiction pursuant to 28 U.S.C. §1331 because
Plaintiff alleges a claim under the laws of the United States. This Court has supplemental
HERMAN & MERMELSTEIN, P. A.
www.hermanlaw.com
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jurisdiction pursuant to 28 U.S.C. §1367(a) over all other claims set forth herein, which form part of
the same case or controversy.
7.
This Court has venue of this action pursuant to 28 U.S.C. §§1391(a) and 1391(b) as a
substantial pan of the events or omissions giving rise to the claim occurred in this District.
Factual Allegations
8.
At all relevant times, Defendant Jeffrey Epstein ("Epstein") was an adult male,
approximately 52 years old. Epstein is a financier and money manager with a secret clientele limited
exclusively to billionaires. He is himself a man of tremendous wealth, power and influence. He
maintains his principal home in New York and also owns residences in New Mexico, St. Thomas
and Palm Beach, FL. The allegations herein concern Epstein's conduct while at his lavish estate in
Palm Beach.
9.
Upon information and belief, Epstein has a sexual preference and obsession for
underage minor girls. He engaged in a plan and scheme in which he gained access to primarily
economically disadvantaged minor girls in his home, sexually assaulted these girls, and then gave
them money. In or about 2004, Jane Doe, then approximately 16 years old, fell into Epstein's trap
and became one of his victims.
10.
Upon information and belief, Jeffrey Epstein carried out his scheme and assaulted
girls in Florida, New York and on his private island, known as Little St. James, in St. Thomas.
11.
Epstein's scheme involved the use of young girls to recruit underage girls.
, a Palm Beach Community College student from Loxahatchee, Florida recruited girls
ostensibly to give a wealthy man a massage for monetary compensation in his Palm Beach mansion.
upon information and belief, generally sought out economically disadvantaged
HERMAN S MERMELSTEIN, P. A.
www.herrnanlaw.com
2 Ott
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underage girls from western Palm Beach County who would be enticed by the money being offered -
generally $200 to $300 per "massage" session - and who were perceived as less likely to complain to
authorities or have credibility i f allegations of improper conduct were made. This was an important
element of Epstein's plan.
12.
Epstein's plan and scheme reflected a particular pattern and method. The underage
victim would be brought to Epstein's mansion, where she would be introduced to
Epstein's assistant.
ould then bring the girl up a flight of stairs to a bedroom that
contained a massage table in addition to other furnishings. The girl would then find herself alone in
the room with Epstein, who would be wearing only a towel. He woulddirect he rigl to give him a
massage. Epstein would then perform one or more lewd, lascivious and sexual acts, including
masturbation and touching the girl's vagina.
13.
Consistent with the foregoing plan and scheme, when Jane Doe was 16 years old, she
was recruited by
to give Epstein a massage for monetary compensation. Jane was
brought to Epstein's mansion in Palm Beach. Once there, Jane was introduced to
who
led her up the flight of stairs to the room with the massage table. In this room, Jane was directed by
Epstein to give him a massage. During this massage, Epstein sexually assaulted Jane and
masturbated. Epstein then paid Jane money.
14.
Jane returned on many occasions to the Palm Beach mansion to provide Epstein with
massages for money. On those occasions, Epstein engaged in sexual contact and activity with Jane,
which included, among other things, Epstein touching Jane's breasts, placing a vibrator on her
vagina and masturbating himself. This sexual abuse continued over a period of approximately 18-24
months.
HERMAN & MERMELSTEIN, P. A.
www.hemianlaw.com
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IS.
As a result of these encounters with Epstein, Jane experienced confusion, shame,
humiliation and embarrassment, and has suffered severe psychological and emotional injuries.
COUNT I
Sexual Assault and Batten
16.
Plaintiff Jane Doe repeats and rcalleges paragraphs 1 through 15 above.
17.
Epstein made an intentional, unlawful offer of offensive sexual contact toward Jane
Doe, creating a reasonable fear of imminent peril and sexual assault.
18.
Epstein intentionally inflicted harmful or offensive sexual contact on the person of
Jane Doe.
19.
Epstein tortiously committed a sexual assault and battery on Jane Doe. Epstein's acts
were intentional, unlawful, offensive and harmful.
20.
Epstein's plan and scheme in which he committed such acts upon Jane Doe were done
willfully and maliciously.
21.
As a direct and proximate result of Epstein's assault on Jane, she has suffered and will
continue to suffer severe and permanent traumatic injuries, including mental, psychological and
emotional damages.
WHEREFORE, Plaintiff Jane Doe No. 7 demands judgment against Defendant Jeffrey
Epstein for compensatory damages, punitive damages, costs, and such other and further relief as this
Court deems just and proper.
COUNT H
Intentional Infliction of Emotional Distress
22.
Plaintiff Jane Doe repeats and realleges paragraphs 1 through 15 above.
23.
Epstein's conduct was intentional or reckless.
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24.
Epstein's conduct with a minor was extreme and outrageous, going beyond all bounds
of decency.
25.
Epstein committed willful acts of child sexual abuse on Jane Doe. These acts resulted
in mental or sexual injury that caused or were likely to cause Jane Doe's mental or emotional health
to be significantly impaired.
26.
Epstein's conduct caused severe emotional distress to Jane Doe. Epstein knew or had
reason to know that his intentional and outrageous conduct would cause emotional distress and
damage to Jane Doe, or Epstein acted with reckless disregard of the high probability of causing
severe emotional distress to Jane Doe.
27.
As a direct and proximate result of Epstein's intentional or reckless conduct, Jane
Doe, has suffered and will continue to suffer severe mental anguish and pain.
WHEREFORE, Plaintiff Jane Doe No. 7 demands judgment against Defendant Jeffrey
Epstein for compensatory damages, costs, punitive damages, and such other and further relief as this
Court deems just and proper.
COUNT III
Coercion and Enticement to Sexual Activity in Violation of 18 U.S.C. §2422
28.
Plaintiff Jane Doe repeats and realleges paragraphs 1 through 15 above.
29.
Epstein used a facility or means of interstate commerce to knowingly persuade,
induce or entice Jane Doe, when she was under the age of 18 years, to engage in prostitution or
sexual activity for which any person can be charged with a criminal offense.
30.
Epstein's acts and conduct are in violation of 18 U.S.C. §2422.
31.
As a result of Epstein's violation of 18 U.S.C. §2422, Plaintiff has suffered personal
injury, including mental, psychological and emotional damages.
HERMAN & MERMELSTEIN. P. A.
www.hermanlaw.com
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32.
Plaintiff hired Herman & Mermelstein, P.A., in this matter and agreed to pay them a
reasonable attorneys' fee.
WHEREFORE, Plaintiff Jane Doe No. 7 demands judgment against Defendant Jeffrey
Epstein for all damages available under 18 U.S.C. §2255(a), including without limitation, actual and
compensatory damages, costs of suit, and attorneys' fees, and such other and further relief as this
Court deems just and proper.
JURY TRIAL DEMAND
Plaintiff demands a jury trial in this action on all claims so triable.
Dated: September 10, 2008
Respectfully su
By.
Jeffrey M. Herman (FL Bar No. 521647)
jhermanahermanlaw.com
Stuart S. Mermelstein (FL Bar No. 947245)
ssm@hermanlaw.com
Adam D. Horowitz (FL Bar No. 376980)
ahorowitz@hcrmanlaw.com
HERMAN & MERMELSTEIN, P.A.
Attorneys for Plaintff
18205 Biscayne Blvd., Suite 2218
Miami, Florida 33160
Tel: 305-931-2200
Fax: 305-931-0877
HERMAN S. MERMELSTEIN, P. A.
www.hermanlaw.com
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EFTA00221177
° 8-qY;§(aHMAgYA4°PilfringritVilL CgAigificIWKID Docket 09/10/2008
Page 7
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The JS-44 civil cover sheet and the information contained herein neither replace nor supplement the filing, and service of pleading or other papers as required by law,
except as provided by local rules of court This form, approved by the Judicial Conference of the United States in September 1974, is required for the use of the Clerk of
the Court for the purpose of initiating the civil docket sheet (SEE INSTRUCTIONS ON THE REVERSE OF THE FORM.)
1(a) PLAINTIFFS
DEFENDANTS
JANE DOE NO. 7,
JEFFREY EPSTEIN
(b) COUNTY OF RESIDENCE OF FIRST LISTED PLAINTIFF
ORANGE COUNTY
(EXCEPT IN U.S. PLAINTIFF CASES)
COUNTY OF RESIDENCE OF FIRST LISTED DEFENDANT NEW YORK
(IN U.S. PLAINTIFF CASES ONLY)
(c) ATTORNEYS (FIRM NAME, ADDRESS, AND TELEPHONE NUMBER)
Herman & Mermelstein, PA, 18205 Biscayne Blvd., Suite 2218, Miami,
FL 33180, (305) 931.2200
ATTORNEYS (IF KNOWN)
(d) CIRCLE COUNTY WHERE ACTION AROSE: PALM BEACH
II. BASIS OF JURISDICTION
(PLACE AN X ONE BOX ONLY)
a 1. U.S. Government
X 3 Federal Question
Plaintiff
(U.S Government Not a Party)
O 2 U S. Government
O 4. Diversity
Defendant
(Indicate Citizenship of Parries in Item
111)
f'6V Re970-ei-74y-M,A4.5
III. CITIZENSHIP OF PRINCIPAL PARTIES
(For Diversity Case Only)
PTF
DEF
Citizen of This State
O 1 O 1
Citizen of Another State
CI 2
O 2
Citizen or Subject of a Foreign Country O 3 O 3
PLACE AN X IN ONE BOX FOR PLAINTIFF
AND ONE FOR DEFENDANT
PTF
DEF
Incorporated of Principal Place of
O 4
O 4
Business in This State
incorporated and Principal Piece of
O 5
O 5
Business in Another State
Foreign Nation
O 6
O 6
IV. CAUSE OF ACTION
(CITE THE U.S. CIVIL STATUTE UNDER WHICH YOU ARE FILING AND WRITE A BRIEF STATEMENT OF CAUSE.
DO NOT CITE JURISDICTIONAL STATUTES UNLESS DIVERSITY.)
ACTION FOR SEXUAL ASSAULT UNDER 18 U.S.C. 52422 AND STATE LAW
Na. j
days estimated (for both sides) to try entire case
V. NATURE OF SUIT
(PLACE AN X IN ONE BOX ONLY)
A CONTRACT
A TORTS
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PENALTY
A BANKRUPTCY
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VL ORIGIN
x 1. Original
O 2. Removed from O 3. Remanded from
Proceeding
State Cowl
Appellate Court
(Specify)
O 4. Refilled
O 6. Multidistrict Litigation
O 7.
Appeal to District Judge from
O 5. Transferred from another district
Magistrate Judgment
VII. REQUESTED
IN COMPLAINT
a UNDER F.R.C.P. 23
CHECK IF THIS IS A
O CLASS ACTION
DEMAND $
O
Check YES only if demanded in
X YES
complaint:
JURY DEMAND:
O NO
VIII. RELATED
(See Instructions):
CASE(S) IF ANY
Jane Doe 2 v. Jeffrey Epstein
Jane Doe 3 v. Jeffrey Epstein
Jane Doe 4 v. Jeffrey Epstein
Jane Doe 5 v. Jeffrey Epstein
(SEE ATTACHED)
JUDGE KENNETH k MARRA
JUDGE KENNETH A. MARRA
JUDGE KENNETH A MARRA
JUDGE KENNETH A MARRA
DOCKET NUMBER 08-CV-80119-MARRA-JOHNSON
DOCKET NUMBER 08-CV-80232-MARRA-JOHNSON
DOCKET NUMBER 08-CV-80380-MARRA/JOHNSON
DOCKET NUMBER 08-80
1-CIV-
RNJOHNSON
DATE
O-eF'
,
2-OO
UNITED STATES DISTRICT COURT
S/F 1-2
REV. 9/94
SIGNATURE OF ATTORNEY OF RECORD
tity
FOR OFFICE USE ONLY: Receipt No.
Amount i?
Ali
Date Paid:
Wfp:
5-47/aS
EFTA00221178
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| Filename | EFTA00221172.pdf |
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| OCR Confidence | 85.0% |
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| Indexed | 2026-02-11T11:54:35.490775 |