Duplicate Document
This document appears to be a copy. The original version is:
EFTA Document EFTA01386765Case File
efta-efta01386765DOJ Data Set 10CorrespondenceEFTA Document EFTA01386765
Date
Unknown
Source
DOJ Data Set 10
Reference
efta-efta01386765
Pages
0
Persons
0
Integrity
Loading PDF viewer...
Summary
Ask AI About This Document
Extracted Text (OCR)
Text extracted via OCR from the original document. May contain errors from the scanning process.
Case 1:18-cv-07580 Document 1 Filed 08/20/18 Page 19 of 26
and the Class, to himself or the Defendant Entities for his own personal gain or use.
85.
Epstein utilized securities and cash, which properly belonged to TFC, Plaintiffs
and the Class, and for which his co-conspirator Hoffenberg is court ordered to pay restitution, for the
benefit of himself and/or the Defendant Entities.
86.
Epstein utilized these funds in contravention of their intended, disclosed purpose,
and Epstein, ignoring the intended, disclosed purpose, transferred the funds to himself and/or to the
Defendant Entities, for his own personal gain or use.
87.
TFC reasonably relied upon the Ponzi scheme, which was created and executed by
Epstein, and that such scheme was in the best interests of TFC.
88.
Plaintiffs and the Class reasonably relied upon the fraudulent Ponzi scheme, which
was created and executed by Epstein, and that such scheme was in the best interests of Plaintiffs
and the Class.
89.
In an effort to continue to conceal this fraud from Plaintiffs and the Class, Epstein
continues to hide and refuses to identify the assets and funds which were improperly transferred to
Epstein and/or the Defendant Entities.
90.
In an effort to conceal the fraud from banks, financial institutions and current
investors of his holdings and syndication of margin accounts, Epstein continues to hide and refuses
to identify the assets and funds which were improperly transferred to Epstein and/or the Defendant
Entities.
91.
As a direct and proximate result of the foregoing fraudulent acts, Plaintiffs and the
Class have been damaged.
92.
The Defendants at all times acted with malice.
93.
The fraudulent actions of the Defendants merit the imposition of punitive damages.
19
CONFIDENTIAL - PURSUANT TO FED. R. CRIM. P. 6(e)
DB-SDNY-0088603
CONFIDENTIAL
SDNY GM_00234787
EFTA01386765
Technical Artifacts (1)
View in Artifacts BrowserEmail addresses, URLs, phone numbers, and other technical indicators extracted from this document.
Case #
1:18-CV-07580Related Documents (6)
House OversightFinancial RecordNov 11, 2025
Email chain linking Trump, Clinton, Epstein, and a alleged "Trump Super PAC" to voter‑get‑out operations and a lawsuit involving alleged Epstein vi...
The passage contains several potentially actionable leads – references to a "Trump Super PAC" spending over $1 billion on ads, a bus‑get‑out operation targeting 120 million poor voters, and claims tha Mentions a "Trump Super PAC" allegedly spending >$1 billion on advertising and a bus‑based voter out Claims Judge Sweet is central to a lawsuit against Jeffrey Epstein that could expose photos of Bil
2p
DOJ Data Set 10Financial RecordUnknown
EFTA01435899
5p
DOJ Data Set 9OtherUnknown
Serials
2p
DOJ Data Set 10CorrespondenceUnknown
EFTA Document EFTA01384353
0p
DOJ Data Set 9OtherUnknown
From: Brad Edwards <1
2p
DOJ Data Set 10CorrespondenceUnknown
EFTA Document EFTA02117728
0p
Forum Discussions
This document was digitized, indexed, and cross-referenced with 1,500+ persons in the Epstein files. 100% free, ad-free, and independent.
Support This ProjectSupported by 1,550+ people worldwide
Annotations powered by Hypothesis. Select any text on this page to annotate or highlight it.