Case 9:08-cv-80069-KAM
Case 9:08-cv-80069-KAM Document 7-1 Entered on FLSD Docket 02,112008 Page 1 of 5 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE NO.: 08-80069-CIV-MARRA/JOHNSON JANE DOE NO. I, by and through JANE DOE's FATHER as parent and natural guardian, and JANE DOE's FATHER, and JANE DOE's STEPMOTHER, individually, Plaintiffs, vs. JEFFREY EPSTEIN, Defendant. PLAINTIFFS' MEMORANDUM OF LAW IN OPPOSITION TO MOTION TO STAY PROCEEDINGS PENDING JANE DOE NO. 1 REACHING AGE OF MAJORITY Plaintiffs, Jane Doe No. 1, by and through Jane Doe's Father as parent and natural guardian, and Jane Doe's Father and Jane Doe's Stepmother, individually, submit this Memorandum of Law in Opposition to Motion to Stay Proceedings Pending Jane Doe No. 1 Reaching Age of Majority, as follows: I. Introduction This action alleges the sexual assault of Plaintiff Jane Doe No. 1 ("Jane Doe") by the Defendant when she was 14 years old. The Motion to Stay Proceedings filed by Jane Doe's Mother
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Case 9:08-cv-80069-KAM Document 7-1 Entered on FLSD Docket 02,112008 Page 1 of 5 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE NO.: 08-80069-CIV-MARRA/JOHNSON JANE DOE NO. I, by and through JANE DOE's FATHER as parent and natural guardian, and JANE DOE's FATHER, and JANE DOE's STEPMOTHER, individually, Plaintiffs, vs. JEFFREY EPSTEIN, Defendant. PLAINTIFFS' MEMORANDUM OF LAW IN OPPOSITION TO MOTION TO STAY PROCEEDINGS PENDING JANE DOE NO. 1 REACHING AGE OF MAJORITY Plaintiffs, Jane Doe No. 1, by and through Jane Doe's Father as parent and natural guardian, and Jane Doe's Father and Jane Doe's Stepmother, individually, submit this Memorandum of Law in Opposition to Motion to Stay Proceedings Pending Jane Doe No. 1 Reaching Age of Majority, as follows: I. Introduction This action alleges the sexual assault of Plaintiff Jane Doe No. 1 ("Jane Doe") by the Defendant when she was 14 years old. The Motion to Stay Proceedings filed by Jane Doe's Mother
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“...to Stay be denied. Dated: February 13, 2008 Respectfully submitted, By: s/ Jeffrey M. Herman Jeffrey M. Herman (FL Bar No. Stuart S. S. Mermelstein (FL Bar No. =) Adam D. Horowitz (FL Bar No...”
Jane Does“...ll Parental Custody of both minor children shall be granted to former husband [Jane Does' Father]." (Custodial Parent Modification, ¶ 3) (emphasis supplied). Under Fl...”
Jeffrey Epstein“...JANE DOE's FATHER, and JANE DOE's STEPMOTHER, individually, Plaintiffs, vs. JEFFREY EPSTEIN, Defendant. PLAINTIFFS' MEMORANDUM OF LAW IN OPPOSITION TO MOTION TO STAY PROCEEDINGS PENDING JANE D...”
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9:08-CV-80069-KAMwww.hermanlaw.com1524-1525Related Documents (6)
Attorney‑Generated Oversight Memo Accuses DOJ Prosecutors of Misconduct, Conflict of Interest, and Political Motives in Jeffrey Epstein Federal Case
Attorney‑Generated Oversight Memo Accuses DOJ Prosecutors of Misconduct, Conflict of Interest, and Political Motives in Jeffrey Epstein Federal Case The document provides a detailed, contemporaneous account of alleged DOJ misconduct—including unauthorized subpoenas, misrepresentations to the court, undisclosed financial incentives to witnesses, ex‑parte communications, and leaks to the press—while naming senior DOJ officials (Deputy Attorney General Mark Filip, Assistant U.S. Attorneys Marie Villafana and Jeffrey Sloman) and linking the case to former President Bill Clinton’s notoriety. These allegations, if substantiated, could expose abuse of prosecutorial discretion, potential violations of DOJ ethics rules, and political influence, making it a strong investigative lead. However, much of the material is defensive in nature and repeats known procedural complaints, limiting its novelty and concrete evidentiary hooks. Key insights: Alleged illegal re‑issuance of a grand‑jury subpoena after a Non‑Prosecution Agreement (NPA) was signed (July 1 2008 subpoena).; Claims that AUSA Villafana disclosed confidential case details to the New York Times and leaked information to reporter Landon Thomas.; Accusations that Villafana attempted to appoint a personal friend of her live‑in boyfriend as attorney‑representative for victims, suggesting a conflict of interest.
Woman sues Jeffrey Epstein for alleged sexual assault during a massage when she was 16
The passage provides a concrete new lawsuit filing, naming the plaintiff (Jane Doe No. 3), the attorney (Jeffrey Herman), alleged recruitment by [REDACTED - Survivor], and a specific monetary demand ($50 milli Federal lawsuit filed by Jane Doe No. 3 alleging sexual assault at Epstein’s Palm Beach mansion when Plaintiff seeks >$50 million in damages, matching two prior Jane Doe suits filed in the same perio
EFTA Document EFTA01355632
• C) O 0 Z Z Page 20 OO mm z z r• > r- -o C *** THIS DATA IS FOR INFORMATIONAL PURPOSES ONLY*" Copyright © 2011 CourtLink Corporation UNITED STATES DISTRICT COURT -n o SOUTHERN DISTRICT OF FLORIDA ?) (West Palm Beach) Jane Doe No 6 v. Epstein cp PLAINTIFF: Jane Doe No 6 CD DEFENDANT: Epstein, Jeffrey AMICUS: United States of America WITNESS: Jean Luc Bruhnel Material DOCKET CASE NUMBER: 9:08cv80994 FILING DATE: 9/10/2008 JURISDICTION: Federal Question JUDGE: Marra. K
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Case 9:08-cv-80119-KAM
Case 9:08-cv-80119-KAM Document 12 Entered on FLSD Docket 06/20/2008 Page 1 of 6 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE NO.: 08-CV-80119-MARRA-JOHNSON JANE DOE NO. 2, Plaintiff, vs. JEFFREY EPSTEIN, Defendant. DEFENDANT'S MOTION FOR STAY Defendant Jeffrey Epstein respectfully moves for a mandatory stay of this action under Title 18, United States Code, Section 3509(k). As discussed below, this action is subject to a mandatory stay based on the existence of two pending parallel criminal actions. Introduction This civil action is a private counterpart to two ongoing criminal actions, one in Palm Beach state court, the other in Miami federal court. Both cases purport to arise from the same occurrence: the alleged sexual assault of a minor, Jane Doe No. 2. A federal statute directly on point provides that when an alleged sexual assault involving a child victim results in a "criminal proceeding," a commonly EFTA00221641 Case 9:08-cv-80119-KAM
Starr & Whitley Letter to Deputy Attorney General Mark Filip Alleging Prosecutorial Misconduct in Jeffrey Epstein Federal Review (May 19, 2008)
Starr & Whitley Letter to Deputy Attorney General Mark Filip Alleging Prosecutorial Misconduct in Jeffrey Epstein Federal Review (May 19, 2008) The document provides specific allegations of federal prosecutor misconduct, including leaks to the press, unusual financial demands on alleged victims, and potential conflicts of interest involving a civil attorney linked to a prosecutor’s personal relationship. These claims point to possible abuse of prosecutorial discretion and financial motivations, offering concrete follow‑up leads (names, dates, alleged actions). While many details are unverified, the involvement of high‑level DOJ officials (U.S. Attorney Alex Acosta, Deputy AG Mark Filip) and the high‑profile nature of Jeffrey Epstein make the lead both controversial and potentially explosive if substantiated. Key insights: Alleged leak of confidential case information to New York Times reporter by Assistant U.S. Attorney David Weinstein.; Federal prosecutors demanded $150,000 per alleged victim and payment of civil counsel fees, despite most victims being adults.; Claim that a civil attorney recommended for victims was personally connected to the prosecutor’s boyfriend.
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