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Case 9:09-cv-80591-KAM Document 53 Entered on FLSD Docket 06/12/2009 Page 1 of 2 
UNITED STATES DISTRICT COURT 
SOUTHERN DISTRICT OF FLORIDA 
CASE NO.: 09-CI V. 80591 - KAM 
JANE DOE NO. 101, 
Plaintiff, 
v. 
JEFFREY EPSTELN, 
Defendant. 
 I 
DEFENDANT JEFFREY EPSTEIN'S NOTICE OF VVITHDRAWL OF ARGUMENTS I 
THROUGH VII OF THE DEFENDANT'S MOTION TO DISMISS PLAINTIFF'S FIRST 
AMENDED COMPLAINT (DE29) 
Defendant, JEFFREY EPSTEIN, by and through his undersigned counsel, hereby 
withdraws arguments I through VII as set forth in the Defendant's Motion to Dismiss the 
Plaintiff's First Amended Complaint (FAC) [DE 29], dated May 26, 2009. Defendant withdraws 
his arguments contained subparagraphs A, B, C and Sections I (The Complaint Must Be 
Dismissed Because Plaintiff Is Not A Minor), II (The FAC Must Be Dismissed Because The 
Defendant Has Not Been Convicted Of A Predicate Offense), III (Count One Of The FAC Must 
Be Dismissed Because It Does Not Please A Violation Of 18 U.S.C. § 2422(b)), IV (Count Two 
Must Be Dismissed Because It Does Not Plead A Violation Of 18 U.S.C. §2423(b)), V (Count 
Three Must Be Dismissed Because It Does Not Plead A Violation Of 18 U.S.C. § 2251, VI 
(Counts Four and Five Must Be Dismissed Because They Do Not Plead Violation of 18 U.S.C. 
§§ 2252(a)(1) Or 2252(a)(1), and VII (Count Six Must Be Dismissed Because 18 U.S.C. § 
2252A(g) Was Not Enacted Until 2006). 
Defendant will rely only on those arguments set forth in subparagraph D, on page 3, and 
Paragraph VIII (Any Surviving Count Should Be Merged Into A Single Count) of the 
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Case 9:09-cv-80591-KAM Document 53 Entered on FLSD Docket 06/12/2009 Page 2 of 2 
Defendant's Motion to Dismiss the First Amended Complaint Or, In The Alternative, For A 
More Definite Statement [DE 29) dated May 26, 2009. 
Counsel for De ndant EPSTEIN 
Certificate of Service 
I HEREBY CERTIFY that a true copy of the foregoing was electronically filed with the 
Clerk of the Court using CM/ECF. I also certify that the foregoing document is being served this 
day on all counsel record i entified on the following Service List in the manner specified by 
CM/ECF on thiV iay of , 2009 
Robert C. Josefsberg, Esq. 
Katherine W. Ezell, Esq. 
Podhurst Orseck, P.A. 
25 West Flagler Street, Suite 800 
Miami, FL 33130 
[Phone Redacted] 
Fax: [Phone Redacted] 
[Email Redacted] 
[Email Redacted] 
Counsel for Plaintiff 
Jack Alan Goldberger, Esq. 
Atterbury Goldberger & Weiss, P.A. 
250 Australian Avenue South 
Suite 1400 
West Palm Beach, FL 33401-5012 
[Phone Redacted] 
Fax: [Phone Redacted] 
[Email Redacted] 
Counsel for Defendant Jeffrey Epstein 
Respectfully submitted 
By: 
ROBERT D. RITTON, JR., ESQ. 
Florida B o. 224162 
rcrit@bc claw.com 
MICHAEL J. PIKE, ESQ. 
Florida Bar #617296 
[Email Redacted] 
BURMAN, CRITTON, LUTTIER & COLEMAN 
515 N. Flagler Drive, Suite 400 
West Palm Beach, FL 33401 
561/842-2820 Phone 
561/515-3148 Fax 
(Counsel for Defendant Jeffrey Epstein) 
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