DOJ-OGR-00030273.tif
34.7 KB
Extraction Summary
3
People
2
Organizations
2
Locations
3
Events
2
Relationships
2
Quotes
Document Information
Type:
Court document (motion for sanctions and to compel deposition)
File Size:
34.7 KB
Summary
This document is a court filing from September 17, 2009, in the case of Jane Doe No. 2 vs. Jeffrey Epstein, specifically a motion filed by Jeffrey Epstein for sanctions and to compel the deposition of Jane Doe No. 4. The motion details that Jane Doe No. 4's deposition was noticed for September 16, 2009, but her counsel indicated she could not appear before 1:00 p.m., and the deposition location was moved to Prose Court Reporting in West Palm Beach, FL.
People (3)
| Name | Role | Context |
|---|---|---|
| JEFFREY EPSTEIN | Defendant |
Defendant in case 08-CV-80119-MARRA-JOHNSON and related cases, filing a motion for sanctions and to compel deposition.
|
| JANE DOE NO. 2 | Plaintiff |
Plaintiff in case 08-CV-80119-MARRA-JOHNSON.
|
| JANE DOE NO. 4 | Deponent (potential) |
Subject of a deposition noticed for September 16, 2009, which Jeffrey Epstein seeks to compel.
|
Organizations (2)
| Name | Type | Context |
|---|---|---|
| UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA |
The court where the case and motion are filed.
|
|
| Prose Court Reporting |
Court reporter's office where the deposition of Jane Doe No. 4 was moved to.
|
Timeline (3 events)
2009-09-16
Scheduled deposition of Jane Doe No. 4 at 1:00 p.m. Plaintiff's counsel advised Jane Doe No. 4 could not appear before this time.
Prose Court Reporting, 250 Australian Avenue South, Suite 115, West Palm Beach, FL 33401
Locations (2)
| Location | Context |
|---|---|
|
Location of Prose Court Reporting, 250 Australian Avenue South, Suite 115.
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|
|
Address of Prose Court Reporting.
|
Relationships (2)
Case 08-CV-80119-MARRA-JOHNSON
Jeffrey Epstein's motion seeks to compel the deposition of Jane Doe No. 4.
Key Quotes (2)
"DEFENDANT'S, JEFFREY EPSTEIN, MOTION FOR SANCTIONS AND TO COMPEL DEPOSITION OF JANE DOE NO. 4 AND MEMORANDUM IN SUPPORT THEREOF"Source
DOJ-OGR-00030273.tif
Quote #1
"Plaintiff's counsel had advised that Jane Doe No. 4 could not appear for a deposition prior to that time of day, i.e. 1:00 p.m."Source
DOJ-OGR-00030273.tif
Quote #2
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