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Case 9:08-cv-80893-KAM Document 176 Entered on FLSD Docket 06/29/2010 Page 1 of 4

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Case 9:08-cv-80893-KAM Document 176 Entered on FLSD Docket 06/29/2010 Page 1 of 4 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA JANE DOE, Plaintiff, Vs. JEFFREY EPSTEIN, et al. Defendant. CASE NO. 08-CV-80893-CIV-MARRA/JOHNSON Related Cases: 08-80119, 08-80232, 08-80380, 08-80381, 08-80994, 08-80811, 08-80893, 09-80469, 09-80591, 09-80656, 09-80802, 09-81092 PLAINTIFF JANE DOE'S NOTICE THAT COUNT V OF HER FIRST AMENDED COMPLAINT [DE 38] SEEKS PUNITIVE DAMAGES AND PROTECTIVE MOTION FOR TECHNICAL AMENDMENT TO FIRST AMENDED COMPLAINT AND INCORPORATED MEMORANDUM OF LAW Plaintiff, Jane Doe, hereby files this notice that she is seeking punitive damages in Count V of her First Amended Complaint [DE 38] and files a protective motion for, if necessary, a technical amendment of Count V of her First Amended Complaint [DE 38] to make clear that she seeks punitive damages on this cause of action. BACKGROUND Jane Doe's First Amended Complaint [DE 38] contains four operative counts — Counts 1, 2, 3, and 5. (Count 4, the "RICO" count, was previously dismissed.) Count 2 is a federal cause of action under 18 U.S.C. § 2255, for which punitive damages are not provided. The other three causes of action are various state law causes of actions. Jane Doe intends to seek punitive damages under all three causes of action. EFTA00728498 Case 9:08-cv-80893-KAM Document 176 Entered on FLSD Docket 06/29/2010 Page 2 of 4 CASE NO: 08-CV-80893-MARRNJOHNSON In her First Amended Complaint, Jane Doe had specifically indicated that she sought "punitive damages" in Counts 1 and 3. With regard to Count 5, however, Jane Doe had simply included general language: WHEREFORE, Plaintiff, Jane Doe, demands judgment against the Defendant, Jeffrey Epstein, for compensatory damages, attorney's fees, and such other and further relief as this Court deems just and proper, and hereby demands trial by jury on all issues triable as of right by a jury. In his recently filed pleading requesting a bifurcated trial, defendant Epstein seems to indicate some possible question about whether Count V is requesting punitive damages. See Defendant Epstein's Motion for Separate Trial or Bifurcation of Plaintiff's Punitive Damages Claims at 2, Case No. 9:08-CV-80893-KAM (DE 165] ("To the extent Plaintiff asserts that she is entitled to punitive damages if she proves the elements of "Count V ) Accordingly, Jane Doe, through this pleading, wishes to make clear that she is requesting punitive damages on Count 5 to the maximum extent authorized by law. Punitive damages are specifically authorized by Florida law for Count V. See Fla. Stat. Ann. § 796.09(1) ("A person has a cause of action for compensatory and punitive damages against . ."). To the extent that the Court believes that her First Amended Complaint must specifically alleged punitive damages in this Count in order for her to obtain them, Jane Doe respectfully requests that her First Amended Complaint be technically amended to include the three words "and punitive damages" in her request for damages in Count V. POSITION OF THE PARTIES Pursuant to Local Rule 7.1, the undersigned counsel and Epstein's counsel have conferred and were unable to reach an agreement. 2 EFTA00728499 Case 9:08-cv-80893-KAM Document 176 Entered on FLSD Docket 06/29/2010 Page 3 of 4 CASE NO: 08-CV-80893-MARRAJJOHNSON CONCLUSION Plaintiff, Jane Doe, requests this Court acknowledge and affirm the request by Jane Doe that she be entitled to make a claim for punitive damages relative to Count V of her First Amended Complaint [DE 38], wherein Fla. Stat. § 796.09(1) specifically states within the statute that Plaintiff "has a cause of action" for such damages. Alternatively, Plaintiff seeks, if necessary, a technical amendment of Count V of her First Amended Complaint to make clear that she seeks punitive damages on this cause of action. DATED: June 29, 2010 Respectfully Submitted, s/ Bradley J. Edwards Bradley J. Edwards FARMER, JAFFE, WEISSING, EDWARDS, FISTOS & LEHRMAN, P.L. 425 North Andrews Avenue, Suite 2 Fort Lauderdale, Florida 33301 Telephone (954) 524-2820 Facsimile (954) 524-2822 Florida Bar No.: 542075 E-mail: [email protected] and Paul G. Cassell Pro Hac Vice 332 S. 1400 E. Salt Lake City, UT 84112 Telephone: 801-585-5202 Facsimile: 801-585-6833 E-Mail: [email protected] 3 EFTA00728500 Case 9:08-cv-80893-KAM Document 176 Entered on FLSD Docket 06/29/2010 Page 4 of 4 CASE NO: 08-CV-80893-MARRAMOHNSON CERTIFICATE OF SERVICE I HEREBY CERTIFY that on June 29, 2010 I electronically filed the foregoing document with the Clerk of the Court using CM/ECF. I also certify that the foregoing document is being served this day on all parties on the attached Service List in the manner specified, either via transmission of Notices of Electronic Filing generated by CM/ECF or in some other authorized manner for those parties who are not authorized to receive electronically filed Notices of Electronic Filing. s/ Bradley J. Edwards Bradley J. Edwards SERVICE LIST Jane Doe v. Jeffrey Epstein United States District Court, Southern District of Florida Jack Alan Goldberger, Esq. JooldbercierRagwoa.com Robert D. Critton, Esq. rcrittonebdclaw.com Isidro Manual Garcia isidrociarciaAbellsouth.net Michael James Pike MPike(akcIclaw.com Paul G. Cassell cassellpAlaw.utah.edu 4 EFTA00728501

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Case #9:08-CV-80893-KAM
Domainakciclaw.com
Domaincassellpalaw.utah.edu
Domainisidrociarciaabellsouth.net
Domainjooldbercierragwoa.com
Domainrcrittonebdclaw.com
FaxFacsimile (954) 524-2822
FaxFacsimile: 801-585-6833
Phone(954) 524-2820
Phone(954) 524-2822
Phone801-585-5202
Phone801-585-6833

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