Extraction Summary

7
People
8
Organizations
3
Locations
3
Events
3
Relationships
3
Quotes

Document Information

Type: Legal order / joint stipulation
File Size: 200 KB
Summary

This document is a Joint Stipulation and Order Staying Action from June 2020 in the Southern District of New York. The plaintiff 'VE' and the defendants (Epstein's estate executors Indyke and Kahn, and associated entities) agreed to pause the litigation to allow the plaintiff to participate in the 'Epstein Victims' Compensation Program,' a non-adversarial alternative. Judge Debra Freeman signed the order, staying the case and requiring a status report by August 14, 2020.

People (7)

Name Role Context
VE Plaintiff
Victim seeking to participate in the Epstein Victims' Compensation Program
Darren K. Indyke Defendant
Joint Personal Representative of the Estate of Jeffrey E. Epstein
Richard D. Kahn Defendant
Joint Personal Representative of the Estate of Jeffrey E. Epstein
Jeffrey E. Epstein Decedent
Deceased, estate is defendant
Brad Edwards Attorney
Attorney for Plaintiff, Edwards Pottinger LLC
Bennet J. Moskowitz Attorney
Attorney for Defendants, Troutman Sanders LLP
Debra C. Freeman Judge
U.S. Magistrate Judge signing the order

Timeline (3 events)

2020-06-12
Joint Stipulation dated by counsel
New York, New York
Brad Edwards Bennet Moskowitz
2020-06-15
Order signed and filed by Judge Debra Freeman
New York, New York
2020-08-14
Deadline for joint status report
Court
Plaintiff Counsel Defense Counsel

Locations (3)

Location Context

Relationships (3)

VE Accuser/Accused Jeffrey E. Epstein
VE is Plaintiff in sexual abuse claims against Epstein's estate
Indyke is Joint Personal Representative of the Estate of Jeffrey E. Epstein
Kahn is Joint Personal Representative of the Estate of Jeffrey E. Epstein

Key Quotes (3)

"WHEREAS independent claims administration experts have designed and are implementing the Epstein Victims’ Compensation Program (the “Program”) to resolve sexual abuse claims against decedent Jeffrey E. Epstein (“Decedent”) in a non-adversarial alternative to litigation"
Source
066.pdf
Quote #1
"The captioned action is hereby stayed pending further Order of the Court."
Source
066.pdf
Quote #2
"The parties are directed to submit a joint status report no later than 8/14/2020."
Source
066.pdf
Quote #3

Full Extracted Text

Complete text extracted from the document (2,320 characters)

Case 1:19-cv-07625-AJN-DCF Document 66 Filed 06/15/20 Page 1 of 2
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF NEW YORK
VE,
Plaintiff,
v.
DARREN K. INDYKE AND RICHARD D. KAHN,
AS JOINT PERSONAL REPRESENTATIVES OF
THE ESTATE OF JEFFREY E. EPSTEIN, NINE
EAST 71st STREET, CORPORATION, FINANCIAL
TRUST COMPANY, INC., NES, LLC,
Defendants.
Case No. 1:19-07625-AJN-DCF
JOINT STIPULATION AND [PROPOSED] ORDER STAYING ACTION
WHEREAS independent claims administration experts have designed and are
implementing the Epstein Victims’ Compensation Program (the “Program”) to resolve sexual
abuse claims against decedent Jeffrey E. Epstein (“Decedent”) in a non-adversarial alternative to
litigation; and
WHEREAS Plaintiff VE (“Plaintiff,” and together with Defendants, Darren K. Indyke and
Richard D. Kahn, as Co-Executors of the Estate of Jeffrey E. Epstein, Nine East 71st Street,
Corporation, Financial Trust Company, Inc., and NES, LLC, the “Parties”) seeks to participate in
the Program; and
WHEREAS the Parties seek to preserve their resources and judicial economy by staying
this action unless and until Plaintiff elects to resume the litigation and requests the stay be lifted;
and
WHEREAS should Plaintiff resolve her claims against Defendants via the Program, the
Parties will thereafter promptly discontinue this action with prejudice.
42501382v1
Case 1:19-cv-07625-AJN-DCF Document 66 Filed 06/15/20 Page 2 of 2
IT IS HEREBY STIPULATED AND AGREED, by and between the undersigned counsel
for the Parties, that:
1. The captioned action is hereby stayed pending further Order of the Court.
2. After the lifting of the stay, if any, the Parties will confer on a schedule for the
remaining discovery in this action.
Dated: June 12, 2020
New York, New York
Respectfully submitted,
EDWARDS POTTINGER LLC
By: /s/ Brad Edwards
Brad Edwards
425 North Andrews Avenue, Suite 2
Fort Lauderdale, Florida 33301
Tel: (954) 524-2820
brad@epllc.com
Attorneys for Plaintiff
TROUTMAN SANDERS LLP
By: /s/ Bennet Moskowitz
Bennet J. Moskowitz
875 Third Avenue
New York, NY 10022
(212) 704-6000
bennet.moskowitz@troutman.com
Attorneys for Defendants
Date: June 15, 2020
New York, New York
The parties are directed to submit a joint status report
no later than 8/14/2020.
[Signature]
Hon. Debra Freeman, U.S.M.J.

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