Extraction Summary

7
People
5
Organizations
2
Locations
2
Events
3
Relationships
4
Quotes

Document Information

Type: Joint stipulation and [proposed] order staying action
File Size: 26.1 KB
Summary

This document is a Joint Stipulation and Proposed Order filed on June 12, 2020, in the Southern District of New York, regarding the case of Teresa Helm v. The Estate of Jeffrey Epstein. The parties agreed to stay (pause) the legal proceedings for 60 days to allow the Plaintiff, Teresa Helm, to participate in the Epstein Victims’ Compensation Program, a non-adversarial alternative to litigation. If the claims are resolved through the program, the plaintiff agrees to discontinue the lawsuit with prejudice.

People (7)

Name Role Context
Teresa Helm Plaintiff
Plaintiff in the lawsuit against the Epstein Estate; seeks to participate in the Victims' Compensation Program.
Darren K. Indyke Defendant
Co-Executor of the Estate of Jeffrey Edward Epstein.
Richard D. Kahn Defendant
Co-Executor of the Estate of Jeffrey Edward Epstein.
Jeffrey Edward Epstein Decedent
Deceased; estate is being sued for sexual abuse claims.
Sigrid McCawley Attorney
Attorney for Plaintiff Teresa Helm; Partner at Boies, Schiller & Flexner LLP.
Bennet J. Moskowitz Attorney
Attorney for Defendants (Epstein Estate); Partner at Troutman Sanders LLP.
Debra C. Freeman Judge
Hon. Debra C. Freeman, United States Magistrate Judge.

Organizations (5)

Name Type Context
United States District Court Southern District of New York
Jurisdiction where the case is filed.
Estate of Jeffrey Edward Epstein
Legal entity being sued.
Epstein Victims’ Compensation Program
Non-adversarial alternative to litigation designed to resolve sexual abuse claims.
Boies, Schiller & Flexner LLP
Representing the Plaintiff.
Troutman Sanders LLP
Representing the Defendants.

Timeline (2 events)

2020-06-12
Filing of Joint Stipulation to stay the action for 60 days.
New York, New York
2020-06-12
Plaintiff Teresa Helm seeks to participate in the Epstein Victims' Compensation Program.
N/A

Locations (2)

Location Context
Location of the court and where the document was dated/signed.
Office location for attorney Sigrid McCawley.

Relationships (3)

Teresa Helm Accuser/Alleged Victim Jeffrey Edward Epstein
Helm is plaintiff bringing sexual abuse claims against Epstein's estate.
Sigrid McCawley Attorney/Client Teresa Helm
McCawley signs as 'Attorneys for Plaintiff'.
Indyke listed as Co-Executor of the Estate of Jeffrey Edward Epstein.

Key Quotes (4)

"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
051.pdf
Quote #1
"WHEREAS Plaintiff Teresa Helm... seeks to participate in the Program"
Source
051.pdf
Quote #2
"Plaintiff will promptly discontinue this action with prejudice."
Source
051.pdf
Quote #3
"The captioned action is hereby stayed, both as to discovery and to the resolution of any pending motions, for sixty (60) days from the date of entry of this Order."
Source
051.pdf
Quote #4

Full Extracted Text

Complete text extracted from the document (2,240 characters)

Case 1:19-cv-10476-PGG-DCF Document 51 Filed 06/12/20 Page 1 of 2
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF NEW YORK
TERESA HELM,
Plaintiff,
v.
DARREN K. INDYKE and RICHARD D. KAHN
in their capacities as the executors of the ESTATE
OF JEFFREY EDWARD EPSTEIN,
Defendants.
Case No. 1:19-cv-10476-PGG-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 Teresa Helm (“Plaintiff,” and together with Defendants, Darren K.
Indyke and Richard D. Kahn, as Co-Executors of the Estate of Jeffrey E. Epstein, the “Parties”),
seeks to participate in the Program; and
WHEREAS the Parties seek to preserve their resources and judicial economy by staying
this action for sixty (60) days while Plaintiff participates in the Program; and
WHEREAS should Plaintiff resolve her claims against Decedent via the Program,
Plaintiff will promptly discontinue this action with prejudice.
IT IS HEREBY STIPULATED AND AGREED, by and between the undersigned counsel
for the Parties, that:
1. The captioned action is hereby stayed, both as to discovery and to the resolution of
any pending motions, for sixty (60) days from the date of entry of this Order.
42498340v1
Case 1:19-cv-10476-PGG-DCF Document 51 Filed 06/12/20 Page 2 of 2
2. After the expiration 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,
BOIES, SCHILLER & FLEXNER LLP
By: /s/ Sigrid McCawley
Sigrid McCawley
401 E. Las Olas Blvd. Suite 1200
Fort Lauderdale, FL, 33301
(954) 377 4223
smccawley@bsfllp.com
Attorneys for Plaintiff
TROUTMAN SANDERS LLP
By: /s/ Bennet J. Moskowitz
Bennet J. Moskowitz
875 Third Avenue
New York, NY 10022
(212) 704-6000
bennet.moskowitz@troutman.com
Attorneys for Defendants
Date: __________________, 2020
New York, New York
______________________________
HON. DEBRA C. FREEMAN
United States Magistrate Judge
2
42498340v1

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