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1.54 MB

Extraction Summary

7
People
3
Organizations
1
Locations
3
Events
2
Relationships
2
Quotes

Document Information

Type: Court filing / legal complaint
File Size: 1.54 MB
Summary

This document is page 6 of a legal complaint filed on June 20, 2016, in case 1:16-cv-04642. The plaintiff argues that the statute of limitations for her claims of sexual abuse should be paused due to continuous duress and threats from the defendants. The filing alleges that 'Defendant Trump' specifically threatened the plaintiff, telling her she could 'disappear' like a 12-year-old girl named Maria.

People (7)

Name Role Context
Plaintiff Accuser / Victim
The individual filing the lawsuit, alleging sexual abuse and duress by the Defendants. Her identity is not stated.
Defendants Accused
The individuals being sued by the Plaintiff. They are described as wealthy, powerful men who allegedly abused and thr...
Defendant Trump Accused
A specific defendant named in the complaint. He is alleged to have threatened the Plaintiff, telling her she could "d...
Maria Alleged prior victim
A 12-year-old female mentioned in an alleged threat by Defendant Trump, who said she was forced to be involved in an ...
Cullen Party in a legal case citation
Mentioned in the legal citation 'Cullen v. Margiotta' for legal precedent.
Margiotta Party in a legal case citation
Mentioned in the legal citation 'Cullen v. Margiotta' for legal precedent.
Ross Party in a legal case citation
Mentioned in the legal citation 'Ross v. United States' for legal precedent.

Organizations (3)

Name Type Context
United States Court of Appeals for the Second Circuit
Referenced in a legal citation as '(2nd Cir.1987)'.
United States District Court for the Southern District of New York
Referenced in a legal citation as '(S.D.N.Y. 1983)'.
HOUSE_OVERSIGHT
Appears in the footer of the document ('HOUSE_OVERSIGHT_026389'), possibly indicating it was collected as part of a c...

Timeline (3 events)

06/20/2016
Filing of legal complaint 'Case 1:16-cv-04642 Document 1'.
U.S. Court System
Unspecified
Alleged sexual and physical abuse, assault, battery, and false imprisonment of a minor committed by Defendants against Plaintiff.
Unspecified
Unspecified
A 'third incident' is mentioned, in which a 12-year-old girl named Maria was allegedly forced to be involved.
Unspecified

Locations (1)

Location Context
Mentioned in the legal citation 'Ross v. United States, 574 F. Supp. 536, 542 (S.D.N.Y. 1983)'.

Relationships (2)

Plaintiff Victim-Accused Defendants
Plaintiff alleges abuse, threats, and duress by Defendants.
Defendant Trump Accused-Victim Plaintiff
Defendant Trump is alleged to have directly threatened the Plaintiff.

Key Quotes (2)

"Plaintiff was unrelentingly threatened by each Defendant that, were she ever to reveal any of the details of the sexual and physical abuse caused to her by Defendants, Plaintiff and her family would be physically harmed if not killed."
Source
— Legal Filing (Describing the duress imposed on the Plaintiff as justification for tolling the statute of limitations.)
HOUSE_OVERSIGHT_026389.jpg
Quote #1
"Defendant Trump stated that Plaintiff shouldn't ever say anything if she didn't want to disappear like Maria, a 12-year-old female that was forced to be involved in the third incident with"
Source
— Legal Filing (attributing statement to Defendant Trump) (Detailing a specific threat made by Defendant Trump to the Plaintiff. The sentence is cut off at the end of the page.)
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Quote #2

Full Extracted Text

Complete text extracted from the document (1,984 characters)

Case 1:16-cv-04642 Document 1 Filed 06/20/16 Page 6 of 9
21. At the appropriate time in this litigation, Plaintiff shall amend her complaint to assert a claim for punitive damages against Defendants in order to punish Defendants for their actions and to deter Defendants from repeating their conduct.
TOLLING OF STATUTE OF LIMITATIONS
22. Any statute of limitations applicable to rape, sexual misconduct, criminal sexual acts, sexual abuse, forcible touching, assault, battery, intentional and reckless infliction of emotional distress, false imprisonment of a minor, if any, is tolled owing to the continuous and active duress imposed upon Plaintiff by Defendants that effectively robbed Plaintiff of her free will to commence legal action until the present time. Cullen v. Margiotta, 811 F.2d 698, 722 (2nd Cir.1987); Ross v. United States, 574 F. Supp. 536, 542 (S.D.N.Y. 1983). More particularly, Plaintiff was unrelentingly threatened by each Defendant that, were she ever to reveal any of the details of the sexual and physical abuse caused to her by Defendants, Plaintiff and her family would be physically harmed if not killed. The duress has not terminated and the fear has not subsided. The duress is an element of or inherent in the underlying causes of action complained of herein. The duress and coercion exerted by Defendants has been such as to have actually deprived Plaintiff of her freedom of will to institute suit earlier in time, and it rose to such a level that a person of reasonable firmness in Plaintiff's situation would have been unable to resist. Exhs. A and B.
23. Both Defendants let Plaintiff know that each was a very wealthy, powerful man and indicated that they had the power, ability and means to carry out their threats. Indeed, Defendant Trump stated that Plaintiff shouldn't ever say anything if she didn't want to disappear like Maria, a 12-year-old female that was forced to be involved in the third incident with
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