SARAH KELLEN

Person
Mentions
569
Relationships
138
Events
137
Documents
282

Relationship Network

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Interactive Network: Click nodes or edges to highlight connections and view details with action buttons. Drag nodes to reposition. Node size indicates connection count. Line color shows relationship strength: red (8-10), orange (6-7), yellow (4-5), gray (weak). Use legend and help buttons in the graph for more guidance.
138 total relationships
Connected Entity Relationship Type
Strength (mentions)
Documents Actions
person Jeffrey Epstein
Co defendants
49 Very Strong
45
View
person Jeffrey Epstein
Employee
22 Very Strong
31
View
person Bruce Reinhart
Client
20 Very Strong
16
View
person Jeffrey Epstein
Business associate
19 Very Strong
25
View
person Bruce E. Reinhart
Client
16 Very Strong
16
View
person Jeffrey Epstein
Professional
10 Very Strong
5
View
person Epstein
Professional
10 Very Strong
6
View
person CAROLYN
Legal representative
9 Strong
5
View
person Jeffrey Epstein
Employment
8 Strong
4
View
person GHISLAINE MAXWELL
Superior subordinate
7
3
View
person GHISLAINE MAXWELL
Employee
7
3
View
person Epstein
Employee
7
3
View
person Ms. Maxwell
Supervisory
7
3
View
person Rodgers
Professional
6
2
View
organization SHOPPERS TRAVEL, INC.
Business associate
6
1
View
person CAROLYN
Adversarial
6
2
View
person Shawn
Acquaintance
6
2
View
person Rodgers
Business associate
6
2
View
person Rodgers
Acquaintance
6
2
View
organization SHOPPERS TRAVEL, INC.
Client
6
2
View
person Visoski
Business associate
6
2
View
person Jeffrey Epstein
Financial
6
2
View
person Brian Vickers
Spouse
6
2
View
person Espinosa
Professional
6
2
View
person Visoski
Professional
6
2
View
Date Event Type Description Location Actions
N/A N/A Sexual abuse of Plaintiff by JEFFREY EPSTEIN, aided by SARAH KELLEN, while Plaintiff was a minor. Palm Beach mansion of JEFFR... View
N/A N/A SARAH KELLEN arranging for Plaintiff to come to Epstein's mansion for 'massages'. Palm Beach mansion of JEFFR... View
N/A N/A Plaintiff being brought to and escorted within Epstein's mansion for 'massages'. Palm Beach mansion of JEFFR... View
N/A N/A SARAH KELLEN paying Plaintiff for 'sessions' with JEFFREY EPSTEIN. N/A View
N/A N/A SARAH KELLEN arranging for gifts to be sent to Plaintiff. N/A View
N/A N/A SARAH KELLEN taking nude photographs of Plaintiff at JEFFREY EPSTEIN's request and paying Plainti... N/A View
N/A N/A District Court's findings and application of sentencing guidelines, including a four-level leader... N/A View
N/A N/A Conspiracy activities involving scheduling massages The house View
N/A N/A Massage appointments attended by Carolyn Palm Beach residence View
N/A N/A Review of video disks extracted by PBSO Computer Crime Unit showing Epstein, Sarah Kellen, Nadia ... Epstein's Office (on video) View
N/A N/A Visoski met Sarah Kellen. Unknown View
N/A N/A Teresa Helm was sexually trafficked by Epstein, Sarah Kellen, and Ghislaine Maxwell. She was recr... N/A View
N/A N/A Massage appointments attended by Carolyn. Palm Beach residence View
N/A N/A CL returned to house after call from Sarah Kellen, coerced into naked massage and sexual acts. Epstein's House, El Brillo Way View
N/A N/A Sarah Kellen takes over as Epstein's primary assistant. Unknown View
N/A N/A Trial evidence presented regarding Sarah Kellen's employment and role. Court View
N/A N/A Approximate timeframe discussed regarding Sarah Kellen's transition to becoming Epstein's primary... N/A View
N/A N/A Testimony of two pilots regarding Sarah Kellen's employment District Court View
N/A N/A Sarah Kellen started working for Epstein Unknown View
N/A N/A Flights with Bill Clinton Epstein's Plane View
N/A N/A Massage appointments scheduled by Sarah Kellen where Maxwell was present. Palm Beach residence View
N/A N/A Flights on Epstein's private jet involving Maxwell and Sarah Kellen. Epstein's private jet View
N/A N/A Investigation analysis of Sarah Kellen's phone records Unknown View
N/A N/A Sarah Kellen took over the scheduling of massages. Unspecified View
N/A N/A Filing of Complaint for sexual assault and abuse. Palm Beach County, Florida View

039.pdf

A court order from the Southern District of Florida dated June 16, 2009, granting a default judgment against Sarah Kellen in a civil case filed by Jane Doe II. Judge Kenneth A. Marra ruled that Kellen failed to respond to the complaint despite being properly served under New York state law. Jeffrey Epstein is listed as a co-defendant in the case header.

Court order (order of default)
2025-12-26

037.pdf

This document is a Plaintiff's Motion for Default filed on June 12, 2009, in the Southern District of Florida against Sarah Kellen in the case of Jane Doe II vs. Jeffrey Epstein and Sarah Kellen. The motion asserts that Kellen has been avoiding service but was successfully served according to New York law and failed to respond. Notably, it alleges that Kellen is aware of the legal action and has visited Jeffrey Epstein at the Palm Beach County Jail on several occasions.

Legal motion (motion for default)
2025-12-26

037-01.pdf

This document is an Affidavit of Service filed in the Southern District of Florida for the case Jane Doe II v. Jeffrey Epstein. It details multiple attempts by process server Joseph Sanchez in April 2009 to serve Sarah Kellen (a/k/a Sarah Bonk) at her New York apartment. After several failed attempts where the doorman stated she was out of town or not home, service was eventually effected on April 25, 2009, by leaving the papers with the doorman, identified as Hector 'Doe', followed by a mailed copy.

Affidavit of service (legal)
2025-12-26

032.pdf

This document is a legal reply filed on June 4, 2009, by Plaintiffs Jane Doe No. 101 and 102 in the US District Court for the Southern District of Florida. The plaintiffs are requesting a court order prohibiting Jeffrey Epstein and his agents from contacting them directly or indirectly, citing his status as a convicted sex offender and their fear of intimidation. The document also includes a service list detailing the legal representation for various parties, including Bruce E. Reinhart representing co-defendant Sarah Kellen.

Legal reply to motion (civil litigation)
2025-12-26

027.pdf

This document is a Motion for Leave to File Under Seal submitted on May 29, 2009, by attorneys for Plaintiffs Jane Doe No. 101 and 102 in the Southern District of Florida. The plaintiffs request permission to file their response to Epstein's Motion to Stay under seal, or alternatively, request the court to unseal the Non-Prosecution Agreement (NPA) so they can adequately respond. The document includes a comprehensive service list detailing attorneys representing Epstein, co-defendant Sarah Kellen (represented by Bruce Reinhart), and various other Jane Doe plaintiffs.

Court filing - motion for leave to file under seal
2025-12-26

025.pdf

This document is a legal reply filed on May 29, 2009, by Plaintiffs Jane Doe No. 101 and 102 in the Southern District of Florida, arguing for the right to proceed anonymously in their lawsuit against Jeffrey Epstein. The plaintiffs contend that Epstein aims to reveal their identities to harass and intimidate them, and they cite various legal precedents and the Non-Prosecution Agreement (NPA) to support their request for privacy due to the sexual nature of the crimes committed against them as minors. The document also includes a service list detailing the attorneys representing various parties in related cases against Epstein.

Legal pleading (reply in support of motion to proceed anonymously)
2025-12-26

020.pdf

This document is the Plaintiff's Memorandum of Law in Opposition to Defendant Epstein's Motion to Dismiss in a civil case. The Plaintiff argues that the federal court has jurisdiction alongside state claims, that the 2006 amendments to 18 U.S.C. §2255 regarding damages should apply retroactively or are procedural, and that interstate commerce requirements were met via phone calls made by co-defendant Sarah Kellen from a New York number. The document details specific dates of solicitation between 2003 and 2005 and alleges a conspiracy involving Epstein, Kellen, and Haley Robson to procure minors for prostitution.

Plaintiff's memorandum of law in opposition to defendant epstein's motion to dismiss
2025-12-26

016.pdf

This document is a legal motion filed on May 15, 2009, in the Southern District of Florida, case number 09-80469-CIV-MARRA. Plaintiff Jane Doe II requests an extension until May 22, 2009, to file a reply to Defendant Jeffrey Epstein's Motion to Dismiss, citing complex issues and other business. Epstein's counsel, Robert Critton, was consulted and did not oppose the extension.

Legal motion (unopposed motion for enlargement of time)
2025-12-26

015-01.pdf

This document is a Motion to Stay proceedings filed by Jeffrey Epstein's legal team in a civil case brought by a plaintiff identified as C.M.A. Epstein argues that the civil case should be paused until late 2010, when his Non-Prosecution Agreement (NPA) with federal prosecutors expires, to avoid forcing him to waive his 5th Amendment rights against self-incrimination while facing potential ongoing criminal liability. The filing includes an affidavit from his criminal defense attorney, Jack Goldberger, and an Indictment from 2006 for Felony Solicitation of Prostitution.

Legal motion (motion to stay), affidavit, and discovery response
2025-12-26

013.pdf

This document is a Motion to Dismiss filed by Jeffrey Epstein's defense team in the U.S. District Court for the Southern District of Florida on May 6, 2009, against Plaintiff Jane Doe II. The defense argues that the federal case should be dismissed because a nearly identical state case was filed 10 months prior, and because the plaintiff is improperly applying a 2006 amendment to 18 U.S.C. §2255 retroactively to conduct alleged to have occurred between 2003 and 2005, thereby violating the Ex Post Facto clause. Additionally, the motion argues that the statute does not allow for multiplying damages per incident and that the plaintiff failed to allege the necessary interstate commerce elements required for federal jurisdiction.

Legal motion (motion to dismiss and supporting memorandum of law)
2025-12-26

004.pdf

This document is an Order of Transfer from the United States District Court for the Southern District of Florida, dated March 2009. Judge Kenneth L. Ryskamp transfers the case of Jane Doe II v. Jeffrey Epstein and Sarah Kellen (Case No. 09-80469) to Judge Kenneth A. Marra. The transfer is ordered because the case is related to several lower-numbered cases already assigned to Judge Marra (including 08-80069, 08-80119, etc.).

Court order (order of transfer)
2025-12-26

003.pdf

This document is an 'Order of Pretrial Procedures' from the U.S. District Court, Southern District of Florida, dated March 25, 2009, in the civil case of Jane Doe II vs. Jeffrey Epstein and Sarah Kellen. It outlines the procedural requirements for the case, including deadlines for scheduling meetings, reports, and discovery planning, and warns of sanctions for non-compliance. The document also includes a sample 'Scheduling Order' template detailing rules for pretrial stipulations, jury instructions, and witness lists.

Court order (order of pretrial procedures)
2025-12-26

002.pdf

This document is a Civil Summons from the United States District Court, Southern District of Florida, dated March 24, 2009. It notifies defendants Jeffrey Epstein and Sarah Kellen (a.k.a. Sarah Bonk) that they are being sued by Jane Doe II and must respond within 20 days. Notably, the summons lists Sarah Kellen's address in New York City and Jeffrey Epstein's address as the Palm Beach County Stockade, including his inmate jacket number.

Civil summons
2025-12-26

026.pdf

This document is an October 2008 court order granting a motion to remand the civil case 'Jane Doe v. Jeffrey Epstein, Haley Robson, and Sarah Kellen' back to state court. The federal judge ruled that the plaintiff had valid state-law claims (civil conspiracy, etc.) against defendant Haley Robson, a Florida resident, meaning her inclusion in the lawsuit was not 'fraudulent joinder' intended solely to defeat federal diversity jurisdiction. The order details the plaintiff's allegations that Robson recruited her at age 14 from Loxahatchee, Kellen managed the encounter, and Epstein sexually abused her at his Palm Beach mansion.

Federal court opinion and order
2025-12-26

024.pdf

This document is an unopposed motion filed on September 18, 2008, by Plaintiff Jane Doe in the Southern District of Florida (Case 08-80804) against Jeffrey Epstein, Haley Robson, and Sarah Kellen. The plaintiff requests an extension of time to respond to Epstein's Motion to Dismiss until 15 days after the court rules on a pending motion to remand the case to state court due to alleged lack of federal jurisdiction. The document lists legal counsel for all parties, including Bruce Reinhart representing Sarah Kellen.

Legal motion (unopposed motion for enlargement of time)
2025-12-26

024-01.pdf

A Proposed Order from the U.S. District Court for the Southern District of Florida in the case of Jane Doe vs. Jeffrey Epstein, Haley Robson, and Sarah Kellen. The document grants the Plaintiff's unopposed motion to extend the deadline for responding to Epstein's Motion to Dismiss until 15 days after a pending motion to remand is decided. The document was entered on the docket on September 18, 2008.

Legal document (proposed order)
2025-12-26

021.pdf

This document is an 'Opposition to Remand Motion' filed by defendants Jeffrey Epstein and Sarah Kellen in September 2008 in the Southern District of Florida. The defendants argue that the case should remain in federal court because the plaintiff fraudulently joined co-defendant Haley Robson (a Florida resident) solely to destroy diversity jurisdiction. The filing contends that the plaintiff has no valid cause of action against Robson for civil conspiracy, intentional infliction of emotional distress (IIED), or civil RICO under Florida law, arguing that Robson's alleged actions do not meet the legal standards for these torts.

Legal pleading (opposition to remand motion)
2025-12-26

019.pdf

Defendant Jeffrey Epstein moves to dismiss Counts I (sexual assault), II (civil conspiracy), and IV (civil RICO) of Jane Doe's amended complaint. The motion argues that the sexual assault claim improperly relies on a criminal statute with no private right of action, the conspiracy claim lacks an actionable underlying tort, and the RICO claim fails to allege a direct injury resulting from a predicate act. The document outlines relevant Florida case law and statutes to support the dismissal of these claims.

Legal motion to dismiss
2025-12-26

018.pdf

This document is a Motion for Stay filed by defendants Jeffrey Epstein and Sarah Kellen in a civil lawsuit brought by Jane Doe. They argue that a stay is mandatory under federal law because of a pending federal criminal investigation/action (the deferred prosecution agreement). Attached is a declaration from AUSA A. Marie Villafana detailing the government's interaction with victims (T.M., C.W., S.R.) and providing copies of notification letters sent to them and their attorneys regarding their rights and the non-prosecution agreement.

Legal motion for stay (civil case) with attached declaration and exhibits (us attorney letters)
2025-12-26

017.pdf

This document is a Motion to File Under Seal submitted by defendants Jeffrey Epstein and Sarah Kellen on July 25, 2008, in the case of Jane Doe v. Epstein et al. The defendants request to seal their 'motion for stay' to protect a confidential agreement between Epstein and the U.S. Attorney's Office for the Southern District of Florida. The document includes certificates of compliance and service, noting that the plaintiff opposes the motion, and lists the legal counsel representing all parties involved.

Legal motion (motion to file under seal)
2025-12-26

016-01.pdf

This document contains a Proposed Order and an Unopposed Motion for Enlargement of Time filed by Plaintiff Jane Doe in a civil case against Jeffrey Epstein, Haley Robson, and Sarah Kellen (Case No. 08-80804). Filed on August 13, 2008, the motion requests an extension to file a Civil RICO Case Statement until after the court rules on an upcoming motion to remand the case back to state court. The plaintiff argues the case was improperly removed to federal court and lacks federal jurisdiction. The document includes a service list identifying legal counsel for all parties, including Bruce Reinhart representing Sarah Kellen.

Legal motion and proposed order
2025-12-26

014.pdf

This document is a legal response filed on August 22, 2008, by Jeffrey Epstein's legal team in the case of Jane Doe vs. Jeffrey Epstein, Haley Robson, and Sarah Kellen. Epstein's lawyers state they have no opposition to the plaintiff's Motion to Preserve Evidence (DE 12). However, they dispute the plaintiff's certification of compliance, arguing that plaintiff's counsel filed the motion prematurely without properly conferring with the defense or waiting for a return call regarding Epstein's position.

Legal filing (response to motion)
2025-12-26

013.pdf

Court order from the Southern District of Florida dated August 21, 2008, in the case of Jane Doe vs. Jeffrey Epstein, Haley Robson, and Sarah Kellen. Judge Kenneth A. Marra orders defendant Jeffrey Epstein to respond to the Plaintiff's Motion to Preserve Evidence and Expedite Certain Discovery by August 26, 2008.

Court order
2025-12-26

012.pdf

This document is a motion filed on August 21, 2008, by Plaintiff Jane Doe in a civil case against Jeffrey Epstein, Haley Robson, and Sarah Kellen. The plaintiff requests the court to preserve evidence seized by the Palm Beach Police Department from Epstein's home, citing concerns that Epstein (who had recently pleaded guilty and was in jail) was attempting to retrieve the evidence through State Court and might destroy it. The document includes a service list identifying legal counsel for all parties, including Bruce E. Reinhart representing Sarah Kellen.

Legal motion (plaintiff's motion to preserve evidence)
2025-12-26

011.pdf

This document is a Motion to Remand filed on August 18, 2008, by Plaintiff Jane Doe against Jeffrey Epstein, Haley Robson, and Sarah Kellen. The plaintiff seeks to move the case back to Florida state court, arguing that federal diversity jurisdiction is invalid because both the Plaintiff and Defendant Haley Robson are Florida citizens. The motion details allegations that Robson recruited the plaintiff (a minor at the time) for Epstein's sexual abuse scheme and argues that Robson is a legitimate defendant, not 'fraudulently joined' solely to prevent federal jurisdiction.

Legal motion (motion to remand)
2025-12-26
Total Received
$0.00
0 transactions
Total Paid
$15,000.00
3 transactions
Net Flow
-$15,000.00
3 total transactions
Date Type From To Amount Description Actions
N/A Paid SARAH KELLEN plaintiff $0.00 Paid Plaintiff for 'sessions' with JEFFREY EPSTEIN View
N/A Paid SARAH KELLEN plaintiff $0.00 Paid Plaintiff for posing for photographs View
N/A Paid SARAH KELLEN plaintiff $15,000.00 Demanded judgment for damages in excess of fift... View
As Sender
86
As Recipient
35
Total
121

Scheduling appointments

From: SARAH KELLEN
To: Unspecified recipients

Kellen was making the calls and scheduling the massage appointments

Calls
N/A

Arranging for Plaintiff to come to Palm Beach mansion for...

From: SARAH KELLEN
To: plaintiff

Sarah Kellen often called the Plaintiff, when the Plaintiff was a minor, to arrange for the Plaintiff to come to the Palm Beach mansion of JEFFREY EPSTEIN, for the ostensible purpose of providing 'massages' to JEFFREY EPSTEIN.

Call
N/A

Arranging for gifts

From: SARAH KELLEN
To: plaintiff

Sarah Kellen made telephone calls to the Plaintiff, when the Plaintiff was a minor, to arrange for gifts to be sent to the Plaintiff.

Call
N/A

Schedule massages

From: SARAH KELLEN
To: Carolyn (implied)

Sarah Kellen taking over calling to schedule massages.

Call
N/A

Scheduling massages

From: SARAH KELLEN
To: CAROLYN

Sarah Kellen calling to schedule massages for Carolyn.

Call
N/A

Contact Information

From: SARAH KELLEN
To: N/A

The witness is asked to identify Sarah Kellen's phone number from a binder to refresh recollection.

Phone number
N/A

Solicitation for photos

From: SARAH KELLEN
To: CAROLYN

Sarah called stating she was calling in regards to Mr. Epstein and offered payment for photos.

Call
N/A

Scheduling massages

From: SARAH KELLEN
To: CAROLYN

Sarah Kellen took over calling for appointments.

Call
N/A

Scheduling massage appointments

From: SARAH KELLEN
To: CAROLYN

Sarah Kellen took over the responsibility of scheduling appointments.

Call
N/A

Scheduling flights

From: LARRY VISOSKI
To: SARAH KELLEN

Routine coordination regarding flight schedules

Conversations
N/A

Return to work

From: SARAH KELLEN
To: CL

Coordinated for CL to return to 'work' at Epstein's house.

Call
N/A

Scheduling appointments

From: SARAH KELLEN
To: CAROLYN

Sarah would call to schedule appointments.

Call
N/A

Recruitment

From: SARAH KELLEN
To: Jeffrey Epstein (Implied)

'I have girls for him.' Or 'I have 2 girls for him.'

Note
N/A

Scheduling appointments

From: SARAH KELLEN
To: CAROLYN

Scheduling appointments for sexualized massages

Call
N/A

Contact Information

From: Unknown
To: SARAH KELLEN

Witness is shown a binder to refresh recollection of Sarah Kellen's phone number.

Phone number record
N/A

Coordination

From: SARAH KELLEN
To: Various unnamed female...

Calls coordinating encounters

Call
N/A

Unknown

From: SARAH KELLEN
To: Unknown

and sometimes Sarah Kellen would call, too

Call
N/A

Scheduling of massages

From: SARAH KELLEN
To: Victims (implied)

Kellen took over the task of calling to schedule massages.

Scheduling
N/A

Massage appointments

From: SARAH KELLEN
To: CAROLYN

Scheduling massage appointments after Kellen was hired.

Call
N/A

Scheduling

From: SARAH KELLEN
To: CAROLYN

Setting up appointment times.

Call
N/A

Sharing underage girls

From: Lawyers
To: SARAH KELLEN

Question regarding whether Andrew and Epstein shared girls; Kellen invokes the Fifth.

Legal deposition/questioning
N/A

Arranging massage appointments

From: SARAH KELLEN
To: victims

The transcript describes Sarah Kellen's role in earlier years as 'calling victims and arranging for massage appointments.'

Phone call
N/A

Arranging girls for Epstein

From: SARAH KELLEN
To: ["Robson"]

When Epstein announces he is traveling to Palm Beach, Sarah Kellen would contact Robson to arrange girls for him.

Communication
N/A

Summons

From: plaintiff
To: SARAH KELLEN

Mailing of summons to address where doorman was served.

Mail
2009-04-29

Concert Tickets

From: SARAH KELLEN
To: CAROLYN

Called to tell her about concert tickets

Call
2007-01-01

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