
Jane Doe 17, who filed a lawsuit against the estate of Jeffrey Epstein, alleges that Epstein began grooming and sexually abusing her in 2008, when she was 26 years old and working in Florida. According to her complaint, Epstein, with assistance from...
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What's up everyone and welcome back to the Epstein Chronicles. In this episode, we're going to hear the allegations from Jane Doe number 17 and we're going to keep the discuss bus rolling. The complaint, plaintiff Jane Doe 17, by and through the undersigned counsel in support of her claims against defendant, alleges and states as follows. 1. This action has brought, inter alia, pursuant to common law, statutory law and US Code 18, Section 1591 and 1595. Therefore, jurisdiction is proper under US Code 281331 and the damages sought exceed the jurisdictional requirements of this court. 2. Plaintiff files this complaint under a pseudonym in order to protect her identity because the complaint makes allegations of a sensitive sexual nature, the disclosure of which in association with her name would further cause her harm. 3. Plaintiff is currently a resident and domiciled in the State of Florida and over the age of 18. 4. At all times material Jeffrey Epstein was a citizen of the United States and resident of the U.S. virgin Islands. Epstein was a man of extreme wealth who frequently traveled between and regularly stayed in his numerous residences, including in New York within the Southern District of New York at 9 East 71st Street, New York, New York in Palm Beach, Florida at 358 El Brio Way, Palm Beach, Florida in New Mexico at 49 Zorra Ranch Road, Stanley, New Mexico in Paris, France at 22 Avenue Foch, Paris, France and in the United States Virgin islands at Little St. James Island. Five at all times material to this cause of action. Epstein was an adult male born on January 20, 1953, who died on August 10, 2019. 6 Defendant Darren K. Endyke and Richard de Kahn as joint personal representatives of the estate of Jeffrey E. Epstein Estate of Jeffrey E. Epstein was opened and domiciled in the United States Virgin Islands Saint Thomas Division and is the legal entity responsible for intentional criminal or tortoise conduct committed by Epstein as described in this complaint. 7 at all times material hereto defendant 9 East 71st Street Corporation was a domestic business corporation conducting business in New York with its principal place of business located at 575 Lexington, 4th Floor, New York. 8 at all times material hereto defendant Laurel Incorporated was and is a U.S. virgin Islands corporation conducting business in multiple locations including New York and Florida. Nine at all times material hereto defendant Financial Trust Co. Inc. Was and is a U.S. virgin Islands corporation conducting business in multiple locations and including New York. 10 at all times material hereto defendant NES, LLC was and is a domestic limited liability company registered in and conducting business in multiple locations including New York. 11 at all times material hereto defendant Maple, Inc. Was and is a U.S. virgin Island Corporation conducting business and in New York. 12 at all times material hereto LSJE, LLC LSJ was and is a U.S. virgin Islands Corporation conducting business in the United States Virgin Islands, conducting business in New York. 13 at all times material hereto defendant HBRK Associates was and is a domestic business corporation registered in and conducting business in multiple locations including New York, with a registered agent located at 1365 York Avenue, Apartment 28, N.Y. 15 at all times material hereto defendant Cypress, Inc. Was and is a U.S. virgin Islands corporation conducting business in New York and New Mexico. 16 at all times material hereto defendant je ge incident is a US Virgin Islands Corporation conducting business throughout the United States of America, including but not limited to Florida, New York and the Virgin Islands, United States. Seventeen Corporate Defendants nine East Laurel Financial Trust, NES Maple, ls, je, hbrk, jege, Nautilus, and Cyprus, referred to as Corporate Defendants, each perform business in whole or in part and in New York. 18. Plaintiff intends to amend this complaint to add or substitute additional parties as discovery reveals the identities of other tortoise, corporate or individual actors. 19 Epstein, the leader of a complex commercial sex trafficking and abuse ring, was an officer, director or employee of many corporate entities registered in various states throughout the United States, one or more of which may also be legally responsible for the crimes and torts he committed against young females, including plaintiff. 20 Additionally, individuals who worked at the residences where sexual crime acts were committed or friends or acquaintances who assisted Epstein in committing such violations, or those of his wealthy, famous or socially powerful friends with whom Epstein caused plaintiff to be sexually abused by or those who were employed through or worked for numerous other corporate entities whose participation caused or contributed to causing the sexual violations that caused harm to Plaintiff may additionally be added as defendants. 21 A substantial part of the acts, events and omissions giving rise to this cause of action occurred in the Southern District of New York. Venue is proper in this district according to U.S. code 2813 91. 22 at all times material to this cause of action, Epstein legally represented now through Darren K. Indyke and Richard D. Kahn as joint personal representatives of the estate of Jeffrey E. Epstein, referred to herein as the State of Jeffrey E. Epstein and corporate defendants owed a duty to Plaintiff to treat her in a non negligent manner and not to commit or conspire to commit or or caused to be committed intentional, criminal, fraudulent or tortious acts against Plaintiff, including any acts that would cause plaintiff to be harmed through conduct committed against or in violation of Common Law Battery New York Penal Code § 130.20 or New York Penal Law § 130.35 or New York Penal Law § 130.50 or New York Penal Law which 130.52 or New York Penal Law 130.66, any violation of U.S. code 18, § 1591 or § 1595, the factual allegations 23 at all times material to this cause of action. Epstein was an adult male, over 45 years old. Epstein was a tremendously wealthy individual, widely recognized as a billionaire. The who uses wealth, power, resources and connections to commit illegal sexual crimes in violation of federal and state laws and who employed or conspired with other individuals and corporate entities to assist him in committing those crimes or torts, or who facilitated or enabled those acts to occur. 24 Epstein displayed enormous wealth, power and influence to his employees, to the employees of the corporate or or company entities who worked at his direction, to the victims procured for sexual purposes and to the public in order to advance, carry out and conceal his crimes and torts. 25 at all relevant times, Epstein had access to numerous mansions as well as a fleet of airplanes, motor vehicles, boats, and one or more helicopters. For example, he regularly traveled by private jet lag aboard a Boeing aircraft of make and model B727 31H with a tail number of N908JE or a Gulfstream Jet of make and model G11 59B with tail number N909JE. 26 Epstein also inhabited and frequently traveled between numerous properties and homes, each of which he admitted to being owned or or controlled by him, including a Manhattan townhome located at 9 East 71st Street, New York, valued conservatively by Epstein's own admission at $55,931,000, but valued by the U.S. attorney's office for this district at $77,000,000 a ranch located at 49 Zorro Ranch Road in Stanley, New Mexico, valued conservatively by Epstein's Own Admission at 17,246,600 a home located at 358 El Brio Way, Palm Beach, Florida, valued conservatively by Epstein's OWN admission at $12,380,209. An apartment located at 22 Avenue Foch, Paris, France, valued conservatively by Epstein's OW Own Admission at $8,672,820. An island located at Great St. James Island, 6A, USVI 00802, parcels A, B, and C, and an island Little St. James Island, 6B USVI 00802, parcels a, B, and C, C. Jeffrey Epstein Asset Summary, June 30, 2019, filed in Case 119 CR 00490 RMB on July 15, 2019. 27 Epstein controlled or was affiliated with the corporation or business entities that owned, managed, or maintained each of the real properties listed in the preceding paragraph and numerated in Exhibit A. 28 the allegations herein concern Epstein's tortoise conduct committed against Plaintiff while at the residences owned by defendant 9 East New York, defendant Laurel in Florida, Defendant Cypress in New Mexico, and defendants LSJE and Nautilus in the US Virgin Islands. Many such acts were facilitated by defendant NES or defendant HBRK or defendant JE GE. 29 Epstein had a compulsive sexual preference for young females as young as 14 years old and acted on that sexual preference for decades. 30 Epstein enjoyed sexual contact with young females, including minor children, and also took pleasure corrupting vulnerable and innocent young females, including minor children, into engaging in sexual acts with them. 31 Epstein directed a complex system of individuals, including employees and associates of Defendants entities, to work in concert and at his direction for the purpose of harming young females throughout through sexual exploitation, abuse, and trafficking. 32 it was widely known among individuals regularly in Epstein's presence that he obtained pleasure from corrupting and inducing vulnerable young girls into engaging in too uncomfortable and unwanted sexual acts for his own gratification. 33 Epstein's illegal sexual activities were investigated by law enforcement on at least two occasions, once in 2005 and 2008 by the United States Attorney for the Southern District of Florida and more recently by the United States Attorney for the Southern district of New York. 34 On July 2, 2019, the United States Attorney's Office for the Southern District of New York filed a sealed two count indictment, including one count of sex trafficking conspiracy and one count of sex trafficking for violations of of U.S. code 1815 91, in part due to Epstein's criminal activities against children in the New York mansion located at 9 East 71st Street. 35 in addition to the allegations in the criminal indictment referenced above, Epstein also utilized a similar, if not the same scheme many years before the time period that was charged and many years after, as well as an additional location I have had no luck lately. 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Casino nationally and internationally. 36 corporate defendants enabled Epstein to receive daily massages from young females, often minors who were not experienced in massage. Rather than receive regular body massages, Epstein was predictably sexually abusing young females, including plaintiff, in violation of New York Penal Code130.37 Additionally, employees of the various corporate defendants performed actions or failed to perform actions that further placed victims, including plaintiff, in danger of being sexually abused by Epstein and assisted in the concealment of his sexually abusive acts. 38 defendants employed many recruiters of young females or directed employees of his related companies to recruit young females in order to grow the enterprise and satisfy his insatiable sexual desire. Epstein and those working at his direction enabled victims themselves to elevate their status within the enterprise to that of a paid recruiter of other victims, an elevation only made possible through the assistance of defendants. 39 recruiters were taught by Epstein or by employees of corporate defendants to inform target young females that Epstein possessed extraordinary wealth, power, resources, and influence that he was a philanthropist who would help female victims advance their education, careers, and lives and that she only needed to provide Epstein with body massages in order to avail herself of his nearly unlimited assistance and influence. 40 Epstein and corporate defendants and their many employees fulfilled Epstein's compulsive need for sex with young females by preying on their personal, psychological, financial, and related vulnerabilities. Epstein and defendants tactics included promising the victims money and shelter, transportation, gifts, employment, admission into educational institutions, professional licensure, protection, health care, and other things of value. 41 Epstein's sexual attraction to young, often underage females dated back to at least the mid-90s, and the number of victims increased substantially with the necessary assistance from the defendants and the defendant's employees. 42 defendants, at the direction of Epstein or in furtherance of his demands, and with help from assistance associates and underlings, and even other victims, recruited or procured dozens, if not hundreds of young females, including minors, for the purpose of Epstein's sexual gratification. 43 Epstein and employees of certain corporate defendants, including at least defendant, specifically targeted underprivileged, emotionally vulnerable, and or economically disadvantaged young females to sexually molest and abuse. 44 Additionally, Epstein and corporate defendants, through employees, inform young females, including Plaintiff, that Epstein was wealthy, well connected, and had the power and ability to impact her life of any young female recruited or obtained to provide a massage. 45 each of the corporate defendants committed acts of negligence that allowed for Epstein to commit acts of violation of New York penal law section 130. 46 each of the defendants committed acts against Plaintiff in violation of US Code 18, 1591, and 1595. All right, folks, we're going to wrap up part one here and we're going to pick up in the next episode with part two. All of the information that goes with this episode can be found in the description box. What's up everyone, and welcome back to the Epstein Chronicles. In this episode, we're going to pick up where we left off with Jane Doe 17:47 consistent with Epstein's foregoing plan scheme, enterprise, the plaintiff was recruited to provide Epstein with massages for monetary compensation. These massages provided to Epstein by plaintiff progressed to instances of inappropriate sexual contact with a plaintiff by Epstein in touching, inappropriate vaginal penetration, and outright rape, Plaintiff was sexually assaulted, violated and otherwise degraded, injured, victimized, and subjected to outrageous reckless abuse and insult. 48 in this regard, the defendants willingly participated, contributed, cooperated, and assisted the inappropriate and the legal scheme by facilitating such scheme by and through the employees of the corporate defendant, such as the corporate defendants were acting jointly and in concert with the illegal scheme with a goal designed to produce corrupt sexual gratification and degradation for the targets and victims of the corrupt scheme set in motion with the active involvement of the corporate defendants and their employees. 49 Epstein's abuse of plaintiff was not incidental or fleeting, but but rather was born out of a pathological desire to achieve corrupt and deviate sexual gratification through the subjugation and abuse of Epstein's targeted victims. The actions on behalf of the corporate defendants by and through its employees enhanced, facilitated, and promoted the deviate sexual acts of Epstein and contributed a corrupting influence which ensnared unsuspecting women and girls in its reach. 50 Epstein, by acting singularly and in concert with the corporate defendants, devised a sophisticated plan and modus operandi which subtly and pervasively over time connived to influence the victims and subjects of the corrupt and deviant sexual scheme to influence the will to resist the temptations both actual and promised on behalf of the scheme and thereby manipulate the victims into acceptance of the scheme as being one that was acceptable and appropriate. By virtue of communications and representations made on behalf of Epstein by the corporate defendants and in fact Epstein himself, the scheme utilized a gradual wearing down of the victim's will to resist and did so by virtue of offering positive and negative rewards for compliance with the scheme's overall deviant methodology and goals. 51 Once Epstein and the corporate defendant's victims were entrapped and the scheme's methodologies enabled Epstein and The corporate defendants, through the employees, utilized techniques to further inhibit, indoctrinate, and threaten Epstein's victims such that compliance with the deviant scheme's goals could further be obtained. 52 the deviant scheme was perpetrated over years by the actions of Epstein and the corporate defendants such that victims were caught up in the scheme pressure, threats, and indoctrination techniques utilized to bring the victims to heel. 53 for victims young, vulnerable, and struggling financially, the scheme's methodology was particularly effective.54 as part and parcel of the scheme's goals, Epstein's colleagues and acquaintances were involved in the scheme and benefited from the scheme the by virtue of receiving sexual favors and inappropriate, illegal, and otherwise commercial sexual services provided by Epstein's victims such that the corrupt intent of this scheme involved males other than Epstein himself. So is anyone going to get arrested or are we going to talk about the flight logs a little bit more? As a direct and proximate result of the methodology of the deviant scheme and the goals of sexual exploitation of the women recruited and victimized, plaintiff was subject to unwanted touching of her breasts and genitals, other sensitive areas of her body, required to perform acts of a sexual nature against her will, and subjected to genital penetration and otherwise sexually degraded, abused, insulted, coerced, and injured experience resulting in confusion, emotional distress, mental pain and suffering, shame, humiliation, loss of the enjoyment of life, inconvenience, and other injuries to body, mind, and soul. 55 Epstein and the corporate defendants, by and through their employees and agents, substantially contributed to proximately cause injury to the plaintiff as aforementioned.56 over the course of years, Epstein and the corporate defendants, by and through its employees and agents, facilitated the multiple rapes conducted on the plaintiff in addition to other deviant sexual acts against her will. Furthermore, the plaintiff's virginity was forcefully taken from her against her will. 57 this fraudulent scheme of Epstein's constituted acts of coercion from beginning to end from 2001 through mid-2006, inasmuch as the scheme was designed to, and in fact caused plaintiff to believe that her failure to perform any sex act required by Epstein would result in serious financial, reputational, physical and emotional harm to her. Count one Battery against Darren K. Indyke and Richard D. Kahn as joint personal representatives of the estate of Jeffrey Epstein. 58 the plaintiff adopts and re alleges paragraphs 1, 57 above. 59 Epstein committed a harmful or offensive touching against plaintiff. 60 As a direct and proximate result of Epstein's battery, the plaintiff has in the past suffered and in the future will continue to suffer physical injury, pain, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self esteem, loss of dignity, invasion of her privacy, and the loss of her capacity to enjoy life, as well as other damages. Plaintiff incurred medical and psychological expenses and plaintiff will in the future suffer additional medical and and psychological expenses. These injuries are permanent in nature and plaintiff will continue to suffer these losses in the future. Wherefore Plaintiff demands judgment against the estate of Jeffrey E. Epstein for compensatory and general damages, attorney fees, punitive damages, and other and further relief. As this Court deems just and proper. Plaintiff hereby demands trial by jury on all issues triable as the right by a jury. Count 2 Battery Violation of Section 130 against Darren K. Indyke and Richard D. Kahn as joint personal representatives of the estate of Jeffrey Epstein. 61. The plaintiff adopts and re alleges paragraphs 157 above. 62. The intentional acts of Epstein against Plaintiff constitute a sexual offense as defined in New York penal law section 130, including but not limited to the following Happy Birthday, America.
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Sexual misconduct as defined in section 130.20. Inasmuch as Epstein engaged in sexual intercourse with plaintiff without plaintiff's consent. B. Rape in the first degree as defined in section 130.35 inasmuch as Epstein engaged in sexual intercourse with plaintiff by forcible compulsion c. Criminal sexual act in the first degree as defined in section 130.50 inasmuch as Epstein engaged in oral sexual conduct with plaintiff by forcible compulsion, forcible touching as defined in section 130.52 inasmuch as Epstein intentionally and for no legitimate purpose engage the forcible sexual touching of Plaintiff for the purpose of degrading or abusing her or for the purpose of gratifying the his own sexual desire and e Aggravated sexual abuse in the third degree as defined in section 130.66 inasmuch as Epstein inserted a foreign object in the vagina of plaintiff by forcible compulsion. 63 As a direct and proximate result of Epstein's violations of New York Penal Law Section 130, plaintiff has in the past suffered and in the future will continue to suffer physical injury, pain, emotional distress, psychological trauma, mental anguish, humiliation, embarrassment, loss of self esteem, loss of dignity, invasion of her privacy and the loss of her capacity to enjoy life, as well as other damages. Plaintiff incurred medical and psychological expenses and plaintiff in the future will suffer additional medical and psychological expenses. These injuries are permanent in nature and plaintiff will continue to suffer these losses and in the future. Wherefore plaintiff demands judgment against the estate of Jeffrey E. Epstein for compensatory and general damages, attorney fees, punitive damages, and such other and further relief as this Court deems just and proper, Plaintiff hereby demands trial by jury on all issues triable as a right by a jury. Count three Cause of Action Against Darren K. Endyke and Richard D. Khan as joint personal representatives of the estate of Jeffrey E. Epstein pursuant to U.S. code 18 section 1595. 64 Plaintiff adopts and re alleges paragraphs 157 above. 65 Epstein within the Special maritime and territorial jurisdiction of the United States is interstate and foreign commerce and or affecting interstate and foreign commerce, knowingly recruited, enticed, harbored, transported, provided, obtained, maintained, patronized, solicited, threatened, forced, and coerced plaintiff to engage in commercial sex acts. 66 such actions were undertaken knowing that his use of force, threats of force, fraud, coercion, and or a combination of such means would be used and were in fact used in order to cause Plaintiff to engage in in commercial sex acts. In doing so, Epstein violated U.S. code 1815, 91. 67 Furthermore, Epstein attempted to violate U.S. code 18, section 1591 in doing so violated section 18 of U.S. code 1594 A. 68 Epstein conspired with each member of the enterprise and with other persons known and unknown to violate U.S. code 181591 in doing so violated 1815 94. 69 by virtue of Epstein's violations of U.S. code 18 Section 1591, 1593A, and 1594, defendants Darren K. Endyke and Richard D. Kahn, as joint personal representatives of the estate of Jeffrey E. Epstein, is subject to civil causes of action under U.S. code 18 section 1595 by plaintiff who is a victim of the violations. 70 certain property of Epstein's was essential to the commission of the federal crimes and torts described herein, including The Palm Beach, Florida estate located at 358 El Brio Way, Palm Beach, Florida. The use of multiple private aircrafts, including a Boeing aircraft and a Gulfstream aircraft, such real property and aircraft, along with other of Epstein's property, were used as the means and instruments of Epstein's tortoise and criminal offenses and as such are subject to forfeiture. 71 Additionally, Epstein's New York townhouse, located at 9 East 71st street in the Southern District of New York, Epstein's private island located in the United States Virgin Islands, and Epstein's New Mexico estate, were used as means and instruments of Epstein's tortoise and criminal offences as they relate to Plaintiff and as such are subject to forfeiture. 72 As a direct and proximate result of Epstein's commission of the aforementioned criminal offenses enumerated in U.S. code 18, section 1591, 1593A and 1594, and the associated civil remedies provided in section 1595, plaintiff has in the past suffered and will continue to suffer injury and pain, emotional distress, psychological and psychiatric trauma, mental anguish, humiliation, confusion, embarrassment, loss of self esteem, loss of dignity, loss of enjoyment of life, invasion of privacy, and other damages associated with Epstein's actions, plaintiff will incur further medical and psychological expenses. These injuries are permanent in nature and plaintiff will continue to suffer from them in the future. In addition to these losses, plaintiff has incurred attorneys fees and will be required to do so in the future for which Epstein is liable pursuant to U.S. code 1815 95. Wherefore, plaintiff demands judgment against the estate of Jeffrey E. Epstein for compensatory damages and general damages, attorney fees pursuant to U.S. code 18 section 1595, punitive damages, forfeiture of Epstein's assets, and such other and further relief as this court deems just and proper, Plaintiff hereby demands trial by jury on all issues triable as of right by a jury. Alright folks, we're gonna wrap up with part two here and in the next episode, we'll pick up where we left off. All of the information that goes with this episode can be found in in the description box. What's up everyone? And welcome back to the Epstein Chronicles. This episode we're going to pick back up with Jane Doe 17 and her allegations against Jeffrey Epstein and Jeffrey Epstein's estate. Hey everybody.
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Count number four, cause of action against 9E 71st Street Corporation pursuant to U.S. code 18, Section 1595. 73 Plaintiff adopts and re alleges paragraphs 1, 57 above. 74. Defendant by and through its management and personnel within the special maritime and territorial jurisdiction of the United States in interstate and foreign commerce and or affecting interstate and foreign commerce, knowingly recruited, enticed, harbored, transported, provided, obtained, maintained, patronized, solicited by any means. Plaintiff from 2001 through 2006. 75 defendant by and through its management and personnel knew what means of fraud or coercion and or a combination of such means would be used and were in fact used in order to cause plaintiff to engage in commercial sex acts. In doing so, Defendant Corporation violated U.S. code 18 Section 1591. 76 Furthermore, Defendant Corporation attempted to violate U.S. code 18 Section1591 in so doing violated U.S. code 181594 A. 77 Defendant, by and through its management and personnel, conspired with other members of the enterprise and with other persons and companies known and unknown to violate U.S. code 18 Section 1591. In doing so, defendant violated U.S. code 18 Section1594c. 78 by virtue of its violations of U.S. code 18 Section fifteen ninety one and fifteen ninety three A and fifteen ninety four, defendant is subject to civil causes of action under U.S. code 18 fifteen ninety five by plaintiff who is a victim of their violations. 79 Defendant, by and through its management and personnel, participated in a venture with Epstein's enterprise by knowingly recruiting, transporting, soliciting, obtaining, and maintaining Plaintiff knowing that fraud or coercion would be used to cause Plaintiff to commit a commercial sex act. 80 as a direct and proximate result of Defendant Corporation's commission of the aforementioned criminal offenses enumerated in U.S. code 18 section 1591, 1593a and 1594, and the associated civil remedies provided in section 1595, plaintiff has in the past suffered and will continue to suffer injury and pain, emotional distress, psychological and psychiatric trauma, mental anguish, humiliation, confusion, embarrassment, loss of self esteem, loss of dignity, loss of enjoyment of life, invasion of privacy, and other damages associated with defendant's actions. 81 Plaintiff will incur further medical and psychological expenses. These injuries are permanent in nature and plaintiff will continue to suffer from them in the future. In addition to these losses, plaintiff has incurred attorneys fees and will continue to do so in the future for which Defendant is liable pursuant to U.S. code 18 section 1595. Wherefore plaintiff demands judgment against 9 East 71st Street Corporation for compensatory and general damages, attorney FEES pursuant to U.S. code 18 Section 1595, Forfeiture of Defendants assets, punitive damages, and such other and further relief as this Court deems just and proper, plaintiff hereby demands trial by jury on all issues triable as of a right by a jury. Count 5 Cause of action against Laurel incorporated pursuant to U.S. code 1815 95. 82 Plaintiff adopts and re alleges paragraphs 157 above. 83 Defendant by and through its management and personnel within the special maritime and territorial jurisdiction of the United States in interstate and foreign commerce and or affecting interstate and and foreign commerce, knowingly recruited, enticed, harbored, transported, provided, obtained, maintained, patronized, solicited by any means. Plaintiff from 2001 through 2006, 84 defendant, by and through its management and personnel knew that means of fraud and coercion and or a combination of such means would be used and were in fact used in order to cause plaintiff to engage in commercial sex acts. In doing so, Defendant Corporation violated U.S. code 18 section 1591. 85 Furthermore, Defendant Corporation attempted to violate U.S. code 18 section1591 in so doing violated U.S. code 18 Section1594. 86 Defendant, by and through its management and personnel conspired with other members of the enterprise and with other persons and companies known and unknown to violate U.S. code 18 section 1591. In doing so, defendant violated U. S. Code 18, section 1594C. Hey, everybody.
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Epstein Chronicles Narrator
87 by virtue of its violations of U.S. code 18, Section 1591, 1593A and 1594, defendant is subject to civil causes of action under U.S. code 18 Section 1595 by plaintiff who is a victim of their violations. 88 Defendant, by and through its management and personnel, participated in a venture with Epstein's enterprise by knowingly recruiting, transporting, soliciting, obtaining, and maintaining Plaintiff, knowing that fraud or coercion would be used to cause Plaintiff to commit a commercial sex act.89 As a direct and proximate result of Defendants Corporation Commission of the aforementioned criminal offenses enumerated in U.S. code 18 section 1591, 1593a and 1594, and the associated civil remedies provided in section 1595, plaintiff has in the past suffered and will continue to suffer injury and pain, emotional distress, psychological and psychiatric trauma, mental anguish, humiliation, confusion, embarrassment, loss of self esteem, loss of dignity, loss of enjoyment of life, invasion of privacy, and other damages associated with the defendant's actions. 90 plaintiff will incur further medical and psychological expenses. These injuries are permanent in nature and plaintiff will continue to suffer from them in the future. In addition to these losses, Plaintiff has incurred attorneys fees and will continue to do so in the future for which Defendant is liable pursuant to U.S. code 18 section 1595. Wherefore plaintiff demands judgment against Laurel, Inc. For compensatory and general damages, attorney FEES pursuant to U.S. code 1815 95, Forfeiture of Defendants assets, punitive damages, and such other and further relief as this Court deems just and proper, Plaintiff hereby demands trial by jury on all issues triable as of the right by a jury. Count 6 Cause of Action against Financial Trust Co. Inc. Pursuant to U.S. code 18 Section 1595. 91 Plaintiff Adopts and Re Alleges Paragraphs 157 above. 92 Defendant, by and through its management and personnel within the special maritime and territorial jurisdiction of the United States in interstate and foreign commerce and or affecting interstate and foreign commerce, knowingly recruited, enticed, harbored, transported, provided, obtained, maintained, patronized, solicited by any means, the plaintiff 93 defendant, by and through its management and personnel knew that means of fraud or coercion and or a combination of such means would be used and were in fact used in order to cause Plaintiff to engage in commercial sex acts. In doing so, Defendant Corporation violated U.S. code 18 Section 1591. 94 Defendant, by and through its management and personnel, knowingly benefited financially and by receiving things of value from participating in a venture with Epstein Sex trafficking Venture Enterprise which had engaged in acts of violation of US Code 18 section 1592 and 1595A, knowing that the venture had engaged in such violations. In doing so, Defendant Corporations violated U.S. code 18 Section 1593. 95 Furthermore, Defendant Corporation attempted to violate U.S. code 181591 in so doing violated U.S. code 18 section 1594. 96 Defendant, by and through its management and personnel, conspired with other members of the enterprise and with other persons and companies known and unknown to violate U.S. code 18 Section 1591. In doing so, defendant violated U.S. code 18 1594. 97 by virtue of their violations of U.S. code 18 Section1591, 1593A and 1594, defendant is subject to civil causes of action under U.S. code 181595 by plaintiff who is a victim of their violations. 98 Defendant, by and through its management and personnel, participated in a venture with Epstein's enterprise by knowingly recruiting, transporting, soliciting, obtaining, and maintaining Plaintiff knowing that fraud or coercion would be used to cause Plaintiff to commit a commercial sex act. 99 as a direct and proximate result of Defendants corporation commission of the aforementioned criminal offenses enumerated in U.S. code 18 section 1591, 1593a and 1594, and the associated civil remedies provided in 1595, plaintiff has in the past suffered and will continue to suffer injury and pain, emotional distress, psychological and psychiatric trauma, mental anguish, humiliation, confusion, embarrassment, loss of self esteem, loss of dignity loss, loss of enjoyment of life, invasion of privacy, and other damages associated with the defendant's actions. 100 Plaintiff will incur further medical and psychological expenses. These injuries are permanent in nature and plaintiff will continue to suffer from them in the future. In addition to these losses, Plaintiff has incurred attorney fees and will continue to do so in the future for which Defendant is liable pursuant to U.S. code 18 section 1595. Wherefore plaintiff demands judgment against defendant Financial Trust Co. Inc. For compensatory and general damages, attorney FEES pursuant to U.S. code 1815 95, Forfeiture of the Defendant's assets, punitive damages, and other such and further relief as this Court deems just and proper. Plaintiff hereby demands trial by jury on all issues triable as of right by a jury. Count 7 Cause of Action against NES LLC pursuant to U.S. code 18 Section 1595. 101 Plaintiff Adopts and Re Alleges Paragraphs 157 above. 102 Defendant by and through its management and personnel within the special maritime and territorial jurisdiction of the United States in interstate and foreign commerce and or affecting interstate and foreign commerce, knowingly recruited, enticed, harbored, transported provided, obtained, maintained, patronized, solicited by any means, the plaintiff. 103. Defendant, by and through its management and personnel, knew that means of fraud or coercion and or a combination of such means would be used and were in fact used in order to cause plaintiff to engage in commercial sex acts. In doing so, Defendant Corporation violated U.S. code 18 Section 1591. 104 Furthermore, Defendant Corporation attempted to violate U.S. code 18 Section1591 in so doing violated U.S. code 18, 1594 A. 105 Defendant, by and through its management and personnel, conspired with other members of the enterprise and with other persons and companies known and unknown to violate U.S. code 18 section 1591. In doing so, defendant violated U.S. code 18 section1594. 106 by virtue of their violations of U.S. code 18 section fifteen ninety one, fifteen ninety three A and fifteen ninety four, defendant is subject to civil causes of action under U.S. code 18 fifteen ninety five by plaintiff who is a victim of their violations. One hundred and seven defendant, by and through its management and personnel, participated in a venture with Epstein's enterprise by knowingly recruiting, transporting, soliciting, obtaining and maintaining Plaintiff knowing that fraud or coercion would be used to cause Plaintiff to commit a commercial sex act. 108. As a direct and proximate result of Defendants corporation commission of the aforementioned criminal offenses enumerated in U.S. code 18, section 1591, 1593A and 1594, and the associated civil remedies provided in section 1595, plaintiff has in the past suffered and will continue to injury and pain, emotional distress, psychological and psychiatric trauma, mental anguish, humiliation, confusion, embarrassment, loss of self esteem, loss of dignity, loss of enjoyment of life, invasion of privacy, and other damages associated with the defendant's actions. 109 Plaintiff will incur further medical and psychological expenses. These injuries are permanent in nature and Plaintiff will continue to suffer them in the future. In addition to these losses, Plaintiff has incurred attorneys fees and will continue to do so in the future for which Defendant is liable pursuant to U.S. code 18 section 1595. Wherefore, plaintiff demands judgment against Defendant Inc. For compensatory and general damages, attorney FEES pursuant to U.S. code 18 Section 1595, Forfeiture of Defendant's assets, punitive damages and and such other and further relief as this court deems just and proper. Plaintiff hereby demands trial by jury on all issues trialable as a right by a jury. Alright, folks, that's gonna do it for this one. In the next episode, we're gonna pick up where we left off and continue on with Jane Doe 17 and her allegations against Jeffrey Epstein's estate. All of the information that goes with this episode you can be found in the description box.
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Epstein Chronicles Narrator
What's up everyone and welcome back to the Epstein Chronicles. We're gonna pick right back up where we left off with Jane Doe and her complaints against Jeffrey Epstein and and his estate. Count 8 Cause of Action against Maple, Inc. Pursuant to U.S. code 18, Section 1595. 110. Plaintiff adopts and re alleges paragraphs 157 above 111. Defendant, by and through its management and personnel within the special maritime and territorial jurisdiction of the United States and interstate and foreign commerce and or affecting interstate and foreign commerce, knowingly recruited, enticed, harbored, transported provided, obtained, maintained, patronized, solicited by any means. Plaintiff from 2001 through 2006, 1:12. Defendant, by and through its management and personnel, knew that means of fraud or coercion and or a combination of such means would be used and were in fact used in order to cause plaintiff to to engage in commercial sex acts. In doing so, Defendant Corporation violated U.S. code 18 Section 1591. 113 Furthermore, defendant attempted to violate U.S. code 18 Section1591 in doing so violated U.S. code 18 section 1594. 114 Defendant, by and through its management and personnel, conspired with other members of the enterprise and with other persons and companies known and unknown to violate U.S. code 18 Section 1591. In doing so, defendant violated 18 U.S. code Section 1594. 115 by virtue of its violations of U.S. code 18 Section1591, Section 1593A and 1594, defendant is subject to civil causes of action under U.S. code 18 Section fifteen ninety five by plaintiff who is a victim of their violations. One hundred and sixteen defendant, by and through its management and personnel, participated in a venture with Epstein's enterprise by knowingly recruiting, transporting, soliciting, obtaining, and maintaining Plaintiff knowing that fraud and or coercion would be used to cause Plaintiff to commit a commercial sex act.117 As a direct and proximate result of Defendants corporation's commission of the aforementioned criminal offenses enumerated in U.S. code 18 section 1591, 1593a, and 1594, and the associated civil remedies provided in section 1595, plaintiff has in the past suffered and will continue to suffer injury and pain, emotional distress, psychological and psychiatric trauma, mental anguish, humiliation, confusion, embarrassment, loss of self esteem, loss of enjoyment of life, invasion of privacy, and other damages associated with a defendant's actions. 118 Plaintiff will incur further medical and psychological expenses. These injuries are permanent in nature and plaintiff will continue to suffer from them in the future. In addition to these losses, Plaintiff has incurred attorneys fees and will continue to do so in the future for which Defendant is liable pursuant to U.S. code 18 section 1595. Wherefore, plaintiff demands judgment against Maple, Inc. For compensatory and general damages, attorney FEES pursuant to U.S. code 18 Section 1595, Forfeiture of Defendants assets, punitive damages, and such other and further relief as this Court deems just and proper. Plaintiff hereby demands trial by jury on all issues triable as of right by a jury. Count 9 Cause of Action against LSJE, LLC pursuant to U.S. code 18 Section 1595. 119 Plaintiff Adopts and Re Alleges Paragraphs 157 above. 120 Defendant by and through its management and personnel within the special maritime and territorial jurisdiction of the United States in interstate and foreign commerce and or affecting interstate and foreign commerce, knowingly recruited, enticed, harbored, transported provided, obtained, maintained, patronized, solicited by any means, plaintiff from 2001 through 2006. 121 defendant, by and through its management and personnel, knew that means of fraud or coercion and or combinations of such means would be used and were in fact used in order to cause Plaintiff to engage in commercial sex acts. In doing so, Defendant Corporation violated U.S. code 18 section 1591. 122 Furthermore, Defendant Corporation attempted to violate U.S. code 18 section1591 in so doing violated U.S. code 18 Section 1594 A. 123 Defendant, by and through its management and personnel, conspired with other members of the enterprise and with other persons and companies known and unknown to violate U.S. code 18 Section 1591. In doing so, defendant violated U.S. code 18 Section1594. 124 by virtue of its violations of U.S. code 18 Section fifteen ninety one, fifteen ninety three a, and fifteen ninety four, defendant is subject to civil causes of action under U.S. code 18 Section Fifteen ninety five by plaintiff who is a victim of their violations. 125 Defendant, by and through its management and personnel, participated in a venture with Epstein's enterprise by knowingly recruiting, transporting, soliciting, obtaining, and maintaining Plaintiff knowing that fraud or coercion was would be used to cause Plaintiff to commit a commercial sex act. 126 As a direct and proximate result of Defendants Corporation commission of the aforementioned criminal offenses enumerated in U.S. code 18 section 1591, 1593a and 1594, and the associated civil remedies provided in section 1595, plaintiff has in the past suffered and will continue to suffer injury and pain, emotional distress, psychological and psychiatric trauma, mental anguish, humiliation, confusion, embarrassment, loss of self esteem, loss of enjoyment of life, invasion of privacy, and other damages associated with the defendant's actions. 127 Plaintiff will incur further medical and psychological expenses. These injuries are permanent in nature and and Plaintiff will continue to suffer from them in the future. In addition to these losses, Plaintiff has incurred attorney fees and will continue to do so in the future for which Defendant is liable pursuant to U.S. code 18 section 1595. Wherefore, plaintiff demands judgment against LSJE, LLC for compensatory and general damages, attorney fees pursuant to U.S. code18 section 1595, forfeiture of defendants assets, punitive damages, and such other and further relief as this court deems just and proper, Plaintiff hereby demands trial by jury on all issues triable as of a right by a jury. Count 10 Cause of action against HBRK Associates Incorporated pursuant to U.S. code 18 Section 1595. 128 Plaintiff adopts and re alleges paragraphs 157 above. 129 Defendant, by and through its management and personnel within the special maritime and territorial jurisdiction of the United States in interstate and foreign commerce and or affecting interstate and foreign commerce, knowingly recruited, enticed, harbored, transported, provided, obtained, maintained, patronized, solicited by any means, the plaintiff. 130 defendant, by and through its management and personnel, knew that means of fraud and or coercion and or combinations of such means would be used and were in fact used in order to cause plaintiff to engage in commercial sex acts. In doing so, Defendant Corporation violated U.S. code 18 Section 1591. 131 defendant, by and through its management and personnel, knowingly benefited financially and by receiving things of value from participating in a venture with Epstein sex trafficking venture enterprise which had engaged in acts of violation of US Code 18 section 1592 and 1595, knowing that the venture had engaged in such violations. In doing so, Defendant Corporation violated U.S. code 18 Section 1593. 132 Furthermore, Defendant Corporation attempted to violate U.S. code 18 Section1591. In so doing, Defendant violated U.S. code 18 section 1594. 133 Defendant, by and through its management and personnel, conspired with other members of the enterprise and with other persons and companies known and unknown to violate U.S. code 18 Section 1591. In doing so, defendant violated U.S. code 181594 c.134 by virtue of their violations of U.S. code 18, 1591, 1593 a and 1594, defendant is subject to civil causes of action under U.S. code 18 Section1595 by plaintiff who is a victim of their violations. 135 defendant, by and through its management and personnel, participated in a venture with Epstein's enterprise by knowingly recruiting, transporting, soliciting, obtaining, and maintaining Plaintiff knowing that fraud or coercion would be used to cause plaintiff to commit a commercial sex act. 136 As a direct and proximate result of defendant corporation's commission of the aforementioned criminal offenses enumerated in U.S. code 18 sections 1591, 1593A and 1594and the associated civil remedies provided in section 1595, plaintiff has in the past suffered and will continue to suffer injury and pain, emotional distress, psychological and psychiatric trauma, mental anguish, humiliation, confusion, embarrassment, loss of self esteem, loss of enjoyment of life, invasion of privacy, and and other damages associated with defendant's actions. 137. Plaintiff will incur further medical and psychological expenses. These injuries are permanent in nature and plaintiff will continue to suffer from them in the future. In addition to the losses, Plaintiff has incurred attorney's fees and will continue to do so in the future for which Defendant is liable pursuant to U.S. code 18, Section 1595. 138. Wherefore, plaintiff demands judgment against defendant HBRK Associates, Inc. For compensatory and general damages, attorney FEES pursuant to U.S. code 18, Section 1595, Forfeiture of Defendants assets, punitive damages, and such other and further relief as this Court deems just and proper. Plaintiff hereby demands trial by jury on all issues triable as of a right by a jury. All right, folks, we're going to wrap up there and in the next episode we're going to finish off Jane Doe 17 and the allegations that she's making or made, I should say against the estate. All of the information that goes with this episode can be found in the Description box.
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Epstein Chronicles Narrator
What's up everyone, and welcome back to the Epstein Chronicles. In this episode, we're going to finish off with Jane Doe 17 and her allegations against Jeffrey Epstein and the Jeffrey Epstein estate. So let's get right back to it. Count 11 Cause of Action against Nautilus, Inc. Pursuant to U.S. code 18 Section 1595. 139 Plaintiff Adopts and Re Alleges Paragraphs 157 above. 140 Defendant, by and through its management and personnel within the special maritime and territorial jurisdiction of the United States in interstate and foreign commerce and or affecting interstate and foreign commerce, knowingly recruited, enticed, harbored, transported, provided, obtained, maintained, patronized, solicited by any means, the plaintiff 141 defendant, by and through its management and personnel, knew that means of fraud or coercion and and or combinations of such means would be used and were in fact used in order to cause Plaintiff to engage in commercial sex acts. In doing so, Defendant Corporation violated U.S. code 18 Section 1591. 142 defendant, by and through its management and personnel, knowingly benefited financially and receiving things of value from participating in a venture the Epstein sex trafficking venture enterprise which had engaged in acts in violation of U.S. code 18 section 1592 and 1595A, knowing that the venture had engaged in such violations. In so doing, Defendant Corporation violated U.S. code 18 Section 1593A.143 Furthermore, Defendant Corporation attempted to violate U.S. code 18 1591. In so doing, Defendant violated U.S. code 18 section 1594A.144 Defendant, by and through its management and personnel, conspired with other members of the enterprise and with other persons and companies known and unknown to violate U.S. code 18 Section 1591. In doing so, defendant violated U.S. code 18 Section1594. 145 by virtue of their violations of U.S. code 18, Section 1591, 1593A and 1594, defendant is subject to civil causes of action under U.S. code 18 Section fifteen ninety five by plaintiff who is a victim of their violations. 146 Defendant, by and through its management and personnel, participated in a venture with Epstein's enterprise by knowingly recruiting, transporting, soliciting, obtaining, and maintaining Plaintiff knowing that fraud or coercion would be used to cause Plaintiff to commit a Commercial Sex Act147 as a direct and proximate result of Defendants Corporation's commission of the aforementioned criminal offenses enumerated in U.S. code 18 sections 1591, 1593a and 1594 and the associate civil remedies provided in section 1595. Plaintiff has in the past suffered and will continue to suffer injury and pain, emotional distress, psychological and psychiatric trauma, mental anguish, humiliation, confusion, embarrassment, loss of self esteem, loss of dignity, loss of enjoyment of life, invasion of privacy, and other damages associated with the defendant's actions. 148 Plaintiff will incur further medical fees and psychological expenses. These injuries are permanent in nature and Plaintiff will continue to suffer from them in the future. In addition to these losses, Plaintiff has incurred attorneys fees and will continue to do so in the future for which Defendant is liable pursuant to U.S. code 18 section 1595. 149 wherefore a plaintiff demands judgment against Defendant Nautilus Incorporated for compensatory and general damages, attorney FEES pursuant to U.S. code 18 Section 1595, Forfeiture of Defendants assets, punitive damages, and such other and further relief as this Court deems just, and property. Plaintiff hereby demands trial by jury on all issues triable as of right by a jury. Count 12 Cause of Action Against Cyprus, Inc. Pursuant to U.S. code 18 Section 1595. 150 Plaintiff Adopts and Re Alleges Paragraphs 1, 57 above. 151 Defendant, by and through its management and personnel within the special maritime and territorial jurisdiction of the United States in interstate and foreign commerce and or affecting interstate and foreign commerce, knowingly recruited, enticed, harbored, transported, provided, obtained, maintained, patronized, solicited by any means, the plaintiff 152 defendant, by and through its management and personnel, knew that means of fraud or coercion and or a combination of such means would be used and were in fact used in order to cause plaintiffs to engage in commercial sex acts. In doing so, Defendant Corporation violated U.S. code 18 Section 1591. 153 defendant, by and through its management and personnel, knowingly benefited financially and by receiving things of value from participating in a venture, the Epstein Sex Trafficking Venture enterprise which had engaged in acts in violation of U.S. code 18 section 1592 and 1595A, knowing that the venture had engaged in such violations. In doing so, Defendant Corporation violated U.S. code 18 Section 1593 A.154 Furthermore, Defendant Corporation attempted to violate U.S. code 18 Section1591. In doing so, Defendant violated U.S. code 18 section 1594. 155 Defendant, by and through its management and personnel, conspired with other members of the enterprise and with other persons and companies known and unknown to violate U.S. code 18 Section 1591. In doing so, defendant violated U.S. code 18 Section1594. 156 by virtue of their violations of U. S. Code 18, 1591, 1593 A and 1594, defendant is subject to civil causes of action under U.S. code 18 Section fifteen ninety five by plaintiff who is a victim of their violations. 157 Defendant, by and through its management and personnel, participated in a venture with Epstein's enterprise knowingly recruiting, transporting, soliciting, obtaining, and maintaining Plaintiff knowing that fraud or coercion would be used to cause Plaintiff to commit a commercial sex act.158 As a direct and proximate result of Defendants Corporation's commission of aforementioned criminal offenses enumerated in U.S. code 18 section 1591 and 1593A and and 1594 and the associated civil remedies provided in section 1595, plaintiff, as in the past, suffered and will continue to suffer injury and pain, emotional distress, psychological and psychiatric trauma, mental anguish, humiliation, confusion, embarrassment, loss of self esteem, loss of dignity, loss of enjoyment of life, invasion of privacy, and other damages associated with the defendant's actions. 159 Plaintiff will incur further medical and psychological expenses. These injuries are permanent in nature and Plaintiff will continue to suffer from them in the future. In addition to these losses, Plaintiff has incurred attorneys fees and will continue to do so in the future for which Defendant is liable pursuant to U.S. code 18 section 1595. 160 wherefore plaintiff demands judgment against Defendant Cyprus Incorporated for compensatory and general damages, attorney fees pursuant to U.S. code 18 Section 1595 Forfeiture of defendants assets, punitive damages, and such other and further relief as this Court deems just and proper. Plaintiff hereby demands trial by jury on all issues triable as right by a jury. Count 13 Cause of Action against Je Ge Inc. Pursuant to U.S. code 18 Section 1595. 161 Plaintiff Adopts and Re Alleges Paragraphs 157 above. 162 Defendant by and through its management and personnel within the special maritime and territorial jurisdiction of the United States in interstate and foreign commerce and or affecting interstate and foreign commerce, knowingly recruited, enticed, harbored, transported, provided, obtained, maintained, patronized, solicited by any means, plaintiff from 2001 through 2006. 163 defendant by and through its management and personnel, knew that means of fraud or coercion and or a combination of such means would be used and were in fact used in order to cause Plaintiff to engage in commercial sex acts. In doing so, Defendant Corporation violated U.S. code 18 Section 1591.164 Furthermore, Defendant Corporation attempted to violate U.S. code 18 Section1591 in doing so violated U.S. code 18 section 1594 A.165 Defendant, by and through its management and personnel, conspired with other members of the enterprise and with other persons and companies known and unknown to violate U.S. code 18 Section 1591. In doing so, defendant violated U.S. code 18 Section1594. 166 by virtue of its violations of U.S. code 18, Section 1591, 1593A, and 1594, defendant is subject to civil causes of action under U.S. code 18 Section fifteen ninety five by plaintiff who was a victim of their violations. 167 Defendant, by and through its management and personnel, participated in a venture with Epstein's enterprise by knowingly recruiting, transporting, soliciting, obtaining, and maintaining Plaintiff knowing that fraud or coercion would be used to cause plaintiff to commit a commercial sex act. 168 As a direct and proximate result of Defendants corporation's commission of the aforementioned criminal offenses enumerated in U.S. code 18, section 1591, 1593A, and 1594, and the associated civil remedies provided in section 1595, plaintiff has in the past suffered and will continue to suffer injury and pain, emotional distress, psychological and psychiatric trauma, mental anguish, humiliation, confusion, embarrassment, loss of self esteem, loss of dignity, loss of enjoyment of life, invasion of privacy, and other damages associated with the defendant's actions. 169 Plaintiff will incur further medical and psychological expenses. These injuries are permanent in nature, and plaintiff will continue to suffer from them in the future. In addition to these losses, plaintiff has incurred attorney fees and will continue to do so in the future, for which defendant is liable pursuant to U.S. code 18 section 1595. Wherefore, plaintiff demands judgment against Jege, Inc. For compensatory and general damages, attorney FEES pursuant to U.S. code 18 Section 1595, Forfeiture of Defendants assets, punitive damages, and such other and further relief as this court deems just and proper. Plaintiff hereby demands trial by jury on all issues triable as of right by a jury. All right, folks, well, that's going to wrap up Jane Doe number 17 and her allegations against Jeffrey Epstein and his estate. We have plenty more where that came from as well, including the Jeffrey Epstein deposition that we're going to get around to this weekend. So buckle up, get your barf bags ready, because the Disgust bus is about to leave the station. All of the information that goes with this episode can be found in the description box.
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Host: Bobby Capucci
Date: August 3, 2026
This “Mega Edition” episode of The Epstein Chronicles is dedicated to a comprehensive reading and discussion of the civil lawsuit filed by Jane Doe 17 against the estate of Jeffrey Epstein and several of his associated corporations. The episode meticulously breaks down the legal complaint: outlining Jane Doe 17’s allegations of sexual abuse, trafficking, and systematic criminal conspiracy perpetrated and facilitated by Epstein, his employees, and his web of corporate entities. Bobby Capucci maintains the show’s trademark direct and no-nonsense tone, emphasizing the depth and brazenness of the alleged criminal enterprise while expressing frustration with the slow pace of justice.
[01:02 – 08:00]
[05:00 – 13:00]
[13:00 – 21:00]
[17:47 – 26:00]
[25:15 – 67:31; several interspersed segments]
[21:00 – 23:00, 31:00 – 67:31]
[Throughout Complaint]
| Timestamp | Segment | Highlights | |------------|-------------------------------------------------|--------------------------------------------------------------------------| | 01:02 | Case framework and complaint overview | Pseudonym use, legal basis, Epstein’s properties and corporate web | | 06:58 | Naming corporate defendants | List and alleged roles of companies implicated in Epstein’s operation | | 13:00 | Description of recruitment and grooming tactics | How vulnerable girls were targeted and indoctrinated | | 17:47 | Specific allegations of abuse against Jane Doe 17| Escalation from massage to sexual assault and rape | | 19:45 | Modus operandi: coercion and manipulation | Psychological and social mechanisms used to control victims | | 21:40 | Host reaction | Frustration about lack of arrests and accountability | | 25:15+ | Legal claims section-by-section | Damages sought, nature of corporate liability, demand for jury trial | | 66:31 | Beginning of counts against Nautilus, Cyprus, JeGe | Continuation of legal claims against Epstein’s corporations | | 80:53 | Episode wrap-up, tease for future material | Referencing upcoming coverage of Epstein depositions |
This “Mega Edition” podcast serves both as a chilling legal document and an urgent call for justice. Through the in-depth breakdown of Jane Doe 17’s claims against Jeffrey Epstein’s estate and his corporate collaborators, The Epstein Chronicles demonstrates how Epstein’s predations were institutionalized, protected, and concealed by layers of wealth, influence, and corporate maneuvers. The episode ends by promising even more disclosures, including coverage of deposition transcripts and further lawsuits—implying that, despite the magnitude of what’s already been revealed, there is still more darkness to be brought to light.
For more information and supporting documents for this episode, check the show’s description box.