April 08, 2020
Letter filed by Plaintiff's counsel regarding Defendants' Motion to Dismiss.
| Name | Type | Mentions | |
|---|---|---|---|
| Teala Davies | person | 54 | View Entity |
| Daniel Mullkoff | person | 12 | View Entity |
035.pdf
Legal correspondence from Plaintiff's attorney Daniel Mullkoff to Judge Debra Freeman regarding the case Davies v. Indyke et al. The letter argues that the Defendants improperly raised a new argument concerning the New Mexico statute of limitations for the first time in a reply brief and contends that the Plaintiff's claims regarding sexual abuse by Jeffrey Epstein in New Mexico are timely under the discovery rule.
Events with shared participants
A court proceeding where victim Teala Davies provides a statement about the impact of Jeffrey Epstein's crimes on her life.
2019-09-03 • Courtroom (implied)
Flight PBI to JFK
2003-01-13 • PBI to JFK
Flight 195 from TEST to JFK
2003-05-12 • JFK
Declaration signed by Daniel Mullkoff
2020-03-27 • New York, New York
Filing of Notice of Appearance
2021-03-30 • Court (Docket 21-770)
Summons filed/issued
2019-11-21 • Southern District of New York
Issuance of Summons in a Civil Action for Case 1:19-cv-10788-GHW-DCF.
2019-11-22 • Southern District of New York
Filing of Notice of Defendants' Motion to Dismiss
2020-02-28 • New York, New York
Original deadline for Plaintiff's opposition papers
2020-03-20 • SDNY
Sexual assaults inflicted on Teala Davies when she was seventeen years old.
Date unknown • New Mexico
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