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EFTA02740356

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Case 9:08-cv-80380-KAM Document 9 Entered on FLSD Docket 06/05/2008 Page 1 of 4 
UNITED STATES DISTRICT COURT 
SOUTHERN DISTRICT OF FLORIDA 
CASE NO.: 08-CV-80380-MARRA 
JANE DOE NO. 4, 
Plaintiff, 
vs. 
JEFFREY EPSTEIN, 
Defendant. 
PLAINTIFF'S MOTION FOR JUDGMENT UPON DEFAULT 
AND ORDER SETTING HEARING ON DAMAGES 
Plaintiff, Jane Doe No. 4, by and through undersigned counsel, files this Motion for 
Judgment Upon Default and Order Setting Hearing on Damages, pursuant to So.Dist.Fla.L.R. 
7.1(A)(1)(e) and Fed.R.Civ.P. 55(b)(2), and states as follows: 
1. A Clerk's Default was entered against Defendant Jeffrey Epstein in this action on 
June 2, 2008. 
2. This action is for damages arising from sexual assault committed upon the Plaintiff 
by Defendant Jeffrey Epstein. The sole issue to be determined prior to final judgment in this action 
is the amount of damages sustained by Plaintiff. 
3. Plaintiff requests a hearing before a jury to determine the amount of damages, 
consistent with the demand for jury trial made in the Complaint filed in this case. The Plaintiff s 
damages are unliquidated, and are alleged in the Complaint to consist of severe and permanent 
traumatic injuries, including mental, psychological and emotional damages. (See Complaint 119; 
see alsoll 14, 24). Additionally, Plaintiff requests punitive damages. 
4. Plaintiff is entitled to have a jury assess damages and determine the amounts of 
HERMAN & MERMELSTEIN, P. A. www.hermanlaw.com 
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EFTA02740356

Case 9:08-cv-80380-KAM Document 9 Entered on FLSD Docket 06/05/2008 Page 2 of 4 
compensatory and punitive damages. Plaintiff anticipates that the evidence at the hearing to assess 
the amounts of damages will include the testimony of the Plaintiff, her family members, expert and 
treating psychologists, an expert economist and other victims of Epstein. These other victims of 
Epstein were sexually assaulted under similar facts and circumstances, and their testimony is 
relevant to the amount of punitive damages. 
5. Plaintiff requests a 2-3 day hearing for the purpose of presenting damages evidence to 
the jury and having the jury determine damages. 
WHEREFORE, Plaintiff respectfully requests that a default judgment be entered; the 
amounts set forth in the judgment be assessed by a jury after hearing; and such other and further 
relief as this Court deems just and proper. 
Dated: June 5, 2008. Respectfully submitted, 
By:  s/ Adam D. Horowitz 
Jeffrey M. Herman (FL Bar No. 521647) 
[Email Redacted] 
Stuart S. Mermelstein (FL Bar No. 947245) 
[Email Redacted] 
Adam D. Horowitz (FL Bar No. 376980) 
[Email Redacted] 
HERMAN & MERMELSTEIN, P.A. 
Attorneys for Plaintiffs Jane Doe 
18205 Biscayne Blvd., Suite 2218 
Miami, Florida 33160 
Tel: [Phone Redacted] 
Fax: [Phone Redacted] 
CERTIFICATE OF SERVICE 
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Case 9:08-cv-80380-KAM Document 9 Entered on FLSD Docket 06/05/2008 Page 3 of 4 
I hereby certify that on June 5, 2008, 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 
to 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 Notices of Electronic Filing. 
/s/ Adam D. Horowitz . 
HERMAN & MERMELSTEIN. P. A. www.hermanlaw.com 
EFTA02740358

Case 9:08-cv-80380-KAM Document 9 Entered on FLSD Docket 06/05/2008 Page 4 of 4 
SERVICE LIST 
DOE vs. JEFFREY EPSTEIN 
CASE NO.: 08-CV-80380-MARRa 
United States District Court, Southern District of Florida 
Jeffrey Epstein (Via Regular Mail) 
9 East 71st Street 
New York, NY 10021 
/s/ Adam D. Horowitz 
HERMAN & MERMELSTEIN, P. A. www.hermanlaw.com 
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