This document is a Motion for Enlargement of Time filed on July 25, 2008, in the Southern District of Florida civil case Jane Doe v. Jeffrey Epstein, et al. Defendants Epstein and Sarah Kellen request an extension to answer the complaint until 10 days after a decision is made on their contemporaneous motion to stay the case, citing 18 U.S.C. § 3509 regarding civil stays during parallel criminal proceedings involving child victims. The document includes a service list detailing legal representation for all parties, including Bruce Reinhart as counsel for Sarah Kellen.
| Name | Role | Context |
|---|---|---|
| Jane Doe | Plaintiff |
Minor victim alleging sexual assault
|
| Jeffrey Epstein | Defendant |
Accused of sexual assault; moving for enlargement of time
|
| Haley Robson | Defendant |
Co-defendant in civil suit
|
| Sarah Kellen | Defendant |
Co-defendant; joins Epstein in the motion for enlargement of time
|
| Kenneth A. Marra | Judge |
United States District Judge presiding over the case
|
| Guy A. Lewis | Attorney |
Attorney for Defendants (Lewis Tein, P.L.)
|
| Michael R. Tein | Attorney |
Attorney for Defendants (Lewis Tein, P.L.); signer of the motion
|
| Jack A. Goldberger | Attorney |
Attorney for Defendant Jeffrey Epstein
|
| Theodore J. Leopold | Attorney |
Counsel for Plaintiff Jane Doe
|
| Douglas M. McIntosh | Attorney |
Counsel for Defendant Haley Robson
|
| Jason A. McGrath | Attorney |
Counsel for Defendant Haley Robson
|
| Bruce E. Reinhart | Attorney |
Counsel for Defendant Sarah Kellen
|
| Robert D. Critton | Attorney |
Co-Counsel for Jeffrey Epstein
|
| Michael J. Pike | Attorney |
Co-Counsel for Jeffrey Epstein
|
| Name | Type | Context |
|---|---|---|
| United States District Court Southern District of Florida | ||
| Lewis Tein, P.L. |
Representing Epstein and Kellen
|
|
| Atterbury, Goldberger & Weiss, P.A. |
Representing Epstein
|
|
| Ricci-Leopold, P.A. |
Representing Jane Doe
|
|
| McIntosh, Sawran, Peltz & Cartaya, P.A. |
Representing Haley Robson
|
|
| Bruce E. Reinhart, P.A. |
Representing Sarah Kellen
|
|
| Burman, Critton, Luttier & Coleman, LLP |
Representing Epstein
|
| Location | Context |
|---|---|
|
|
Address for Lewis Tein, P.L.
|
|
|
Address for Atterbury, Goldberger & Weiss, P.A. and Bruce E. Reinhart, P.A.
|
|
|
Address for Ricci-Leopold, P.A.
|
|
|
Address for McIntosh, Sawran, Peltz & Cartaya, P.A.
|
|
|
Address for Burman, Critton, Luttier & Coleman, LLP
|
"This civil action is a private counterpart to a pending federal criminal action."Source
"The pending criminal action purports to arise from the alleged sexual assault of a minor, Jane Doe."Source
"Under that section, when an alleged sexual assault involving a child victim results in a 'criminal proceeding,' a commonly derived civil suit 'shall be stayed until the end of all phases of the criminal action.'"Source
"Undersigned counsel has conferred in good faith with counsel for the plaintiff, who opposes the relief requested in this motion."Source
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