Extraction Summary

8
People
4
Organizations
2
Locations
2
Events
2
Relationships
3
Quotes

Document Information

Type: Legal correspondence / court filing
File Size: 78.8 KB
Summary

A status update letter dated November 2, 2020, from attorney Mariann Meier Wang to Judge Debra Freeman regarding three civil cases against the Estate of Jeffrey Epstein (Indyke et al.). The letter informs the court that the plaintiffs have registered with the Epstein Victims Compensation Program and requests that the cases remain stayed pending resolution through that program.

People (8)

Name Role Context
Mariann Meier Wang Attorney
Author of the letter, partner at Cuti Hecker Wang LLP, representing plaintiffs.
Debra Freeman Judge
Honorable Magistrate Judge of the U.S. District Court SDNY, recipient of the letter.
Darren K. Indyke Defendant / Co-Executor
Co-Executor of the Estate of Jeffrey E. Epstein.
Richard D. Kahn Defendant / Co-Executor
Co-Executor of the Estate of Jeffrey E. Epstein.
Jeffrey E. Epstein Deceased
Mentioned in the context of his Estate.
Jane Doe 15 Plaintiff
Plaintiff in case 19-cv-10653.
Mary Doe Plaintiff
Plaintiff in case 19-cv-10758.
Davies Plaintiff
Plaintiff in case 19-cv-10788.

Organizations (4)

Name Type Context
Cuti Hecker Wang LLP
Law firm representing the plaintiffs.
U.S. District Court for the Southern District of New York
Court handling the cases.
Estate of Jeffrey E. Epstein
Legal entity managed by the Co-Executors.
Epstein Victims Compensation Program
Program through which plaintiffs are attempting to resolve their claims.

Timeline (2 events)

2020-06-22
Cases stayed pending plaintiffs' attempt to resolve claims through the Epstein Victims Compensation Program.
U.S. District Court SDNY
Plaintiffs Co-Executors
2020-09-04
Court Order directing the parties to provide a status update.
U.S. District Court SDNY
Hon. Debra Freeman

Locations (2)

Location Context
Address of Cuti Hecker Wang LLP.
Address of the Daniel Patrick Moynihan United States Courthouse.

Relationships (2)

Darren K. Indyke Co-Executors Richard D. Kahn
counsel for Defendants Darren K. Indyke and Richard D. Kahn, Co-Executors of the Estate of Jeffrey E. Epstein
Mariann Meier Wang Legal Representation Plaintiffs (Jane Doe 15, Mary Doe, Davies)
We represent the plaintiffs in the three above-referenced cases.

Key Quotes (3)

"The parties remain hopeful that all claims in these matters will be resolved through the Program."
Source
054.pdf
Quote #1
"Accordingly, all parties believe that these cases should remain stayed at this time."
Source
054.pdf
Quote #2
"The plaintiffs in all three cases have registered their claims with the administrators of the Program"
Source
054.pdf
Quote #3

Full Extracted Text

Complete text extracted from the document (1,851 characters)

Case 1:19-cv-10788-GHW-DCF Document 54 Filed 11/02/20 Page 1 of 2
CUTI HECKER WANG LLP
305 BROADWAY, SUITE 607
NEW YORK, NY 10007
MARIANN MEIER WANG
212.620.2603 TEL
212.620.2613 FAX
MWANG@CHWLLP.COM
November 2, 2020
By ECF
Hon. Debra Freeman
U.S. District Court for the Southern District of New York
Daniel Patrick Moynihan
United States Courthouse
500 Pearl St.
New York, NY 10007-1312
Re: Jane Doe 15 v. Indyke et al., 19-cv-10653 (PAE)(DCF)
Mary Doe v. Indyke et al., 19-cv-10758 (PAE)(DCF)
Davies v. Indyke et al., 19-cv-10788 (GHW)(DCF)
Your Honor:
We represent the plaintiffs in the three above-referenced cases. As
directed in Your Honor’s Order dated September 4, 2020, we write jointly with
counsel for Defendants Darren K. Indyke and Richard D. Kahn, Co-Executors of the
Estate of Jeffrey E. Epstein (the “Co-Executors”), to provide a status update.
These cases were stayed on June 22, 2020 pending the plaintiffs in
each of these cases attempting to resolve their claims against the Co-Executors
through the Epstein Victims Compensation Program. The plaintiffs in all three
cases have registered their claims with the administrators of the Program, and all
three plaintiffs have either submitted or will shortly submit their claims and
supporting documents to the administrators. The parties remain hopeful that all
claims in these matters will be resolved through the Program. Accordingly, all
parties believe that these cases should remain stayed at this time. We will notify
the Court once the Program has progressed further such that either the claims are
resolved or the stays should be lifted.
We appreciate Your Honor’s attention to these matters.
Very truly yours,
/s/ Mariann Meier Wang
Mariann Meier Wang
Case 1:19-cv-10788-GHW-DCF Document 54 Filed 11/02/20 Page 2 of 2
PAGE 2 OF 2
cc: Counsel for Defendants, by ECF

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