052.pdf
56.3 KB
Extraction Summary
25
People
2
Organizations
2
Locations
1
Events
3
Relationships
4
Quotes
Document Information
Type:
Legal motion (motion for protective order)
File Size:
56.3 KB
Summary
This document is a Motion for Protective Order filed on July 29, 2009, in the Southern District of Florida by Plaintiffs 'Jane Does 2-7' against Jeffrey Epstein. The plaintiffs allege that Epstein hired private investigators to harass and intimidate them by contacting their former employers, ex-boyfriends, and friends to ask intrusive personal questions and potentially 'out' them as sexual abuse victims. The motion seeks a court order to stop Epstein's investigators from making ex parte contacts with nonparties associated with the plaintiffs.
People (25)
| Name | Role | Context |
|---|---|---|
| Jeffrey Epstein | Defendant |
Sued by multiple Jane Doe plaintiffs; accused of employing investigators to harass nonparties.
|
| Jane Doe No. 2 | Plaintiff |
Plaintiff in Case No. 08-CV-80119.
|
| Jane Doe No. 3 | Plaintiff |
Plaintiff in Case No. 08-CV-80232.
|
| Jane Doe No. 4 | Plaintiff |
Plaintiff in Case No. 08-CV-80380; former employer contacted repeatedly by investigators.
|
| Jane Doe No. 5 | Plaintiff |
Plaintiff in Case No. 08-CV-80381.
|
| Jane Doe No. 6 | Plaintiff |
Plaintiff in Case No. 08-CV-80994; former employer contacted by investigators.
|
| Jane Doe No. 7 | Plaintiff |
Plaintiff in Case No. 08-CV-80993.
|
| C.M.A. | Plaintiff |
Plaintiff in Case No. 08-CV-80811.
|
| Jane Doe | Plaintiff |
Plaintiff in Case No. 08-CV-80893.
|
| Doe II | Plaintiff |
Plaintiff in Case No. 08-CV-80469.
|
| Jane Doe No. 101 | Plaintiff |
Plaintiff in Case No. 08-CV-80591.
|
| Jane Doe No. 102 | Plaintiff |
Plaintiff in Case No. 08-CV-80656.
|
| Gilbert Kliman, M.D. | Declarant |
Provided a declaration (Exhibit A) regarding psychological harm.
|
| Adam D. Horowitz | Attorney |
Attorney for Plaintiffs; Mermelstein & Horowitz, P.A.
|
| Stuart S. Mermelstein | Attorney |
Attorney for Plaintiffs; Mermelstein & Horowitz, P.A.
|
| Jack Alan Goldberger | Attorney |
Listed on Service List.
|
| Robert D. Critton | Attorney |
Listed on Service List.
|
| Bradley James Edwards | Attorney |
Listed on Service List.
|
| Isidro Manuel Garcia | Attorney |
Listed on Service List.
|
| Jack Patrick Hill | Attorney |
Listed on Service List.
|
| Katherine Warthen Ezell | Attorney |
Listed on Service List.
|
| Michael James Pike | Attorney |
Listed on Service List.
|
| Paul G. Cassell | Attorney |
Listed on Service List.
|
| Richard Horace Willits | Attorney |
Listed on Service List.
|
| Robert C. Josefsberg | Attorney |
Listed on Service List.
|
Organizations (2)
Timeline (1 events)
2009-07-29
Filing of Plaintiffs Jane Does' 2-7 Motion for Protective Order
United States District Court, Southern District of Florida
Locations (2)
| Location | Context |
|---|---|
Relationships (3)
Defendant vs Plaintiffs in multiple civil cases.
Motion states Epstein 'has employed investigators'.
Signed motion as 'Attorneys for Plaintiffs'.
Key Quotes (4)
"Defendant Jeffrey Epstein has employed investigators who have made repeated contacts with ex-boyfriends, former employers, and others who know nothing of the underlying facts of the case."Source
052.pdf
Quote #1
"The Defendant’s repeated contacts with these nonparties is harassing and designed to intimidate the Plaintiffs."Source
052.pdf
Quote #2
"Plaintiffs have a well-grounded fear that the investigators will use the opportunity of their contacts with these nonparties to 'out' the Plaintiffs’ as alleged childhood sexual abuse victims of Jeffrey Epstein."Source
052.pdf
Quote #3
"three of Defendant’s investigators recently called the former employer of Jane Doe 4 on repeated occasions over a two-day period"Source
052.pdf
Quote #4
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