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EFTA02741007

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Case 9:08-cv-80380-KAM Document 101-1 Entered on FLS9094005/9t1,39.0 Page 125424 
5-9312200 Herman &Mermelsteln, P 
r 
UNITED STATES DISTRICT COURT 
SOUTHERN DISTRICT OF FLORIDA 
CASE NO.: 08-CV-80380-MARRASEI 
JANE DOE NO. 4, 
Plaintiff, 
v. 
JEFFREY EPSTEIN, 
Defendant. 
PLAINTIFF'S ANSWERS TO DEFENDANT'S FIRST INTERROGATORIES 
Plaintiff, JANE DOE 4, by and through their undersigned counsel, and pursuant 
to Federal Rules of Civil Procedure Rule 33, hereby responds to Defendant, JEFFREY 
EPSTEIN'S First Set of Interrogatories to Plaintiff as follows: 
General Objections 
1. Plaintiff objects to Defendant's Interrogatories to the extent that the 
Interrogatories call for the disclosure of information protected by the attorney-client 
privilege, attorney work-product doctrine, or other applicable privilege or immunity, 
whether created by statute or common law. Plaintiff claims such privileges and 
protections to the extent implicated by each Interrogatory, and excludes privileged and 
protected information from any responses to Defendant's discovery. Any disclosure is 
inadvertent and is not intended to waive those privileges or protections, which are 
specifically reserved. 
2. Plaintiff objects to Defendant's Interrogatories to the extent that same are 
vague, ambiguous, incomprehensible and/or overly broad. 
*A" 
EFTA02741007

15_9312200Case 9:043;priya-mnahm, Document 101-1 Entered on ELSOaaska1705/06/20099 Page 27a44 
Doe No. 4 v. Epstein 
Page 6 
Answer: 
See Plaintiff's Answer to Interrogatory No. 5. 
7. Were you suffering from physical infirmity, disability, disease, sickness, or 
psychiatric/psychological condition at the time of the incident(s) described in the 
complaint? If so, what was the nature of the infirmity, disability, or sickness? 
Answer: 
No. 
8. Did you consume any alcoholic beverages or take any drugs or medications 
within 12 hours before the time of each incident(s) described in the complaint? If 
so, state the type and amount of alcoholic beverages, drugs, or medication which 
were consumed, and when and where you consumed them. 
Answer: 
No. 
9. Describe each injury (physical, emotional, mental) for which you are claiming 
damages in this case, specifying the part of your body that was injured, the 
nature of the Injury, and as to any injuries you contend are permanent, the effects 
on you that you claim are permanent. 
Answer: 
Plaintiff has suffered severe psychological and emotional injuries, including 
without limitation, corruption of morals, anxiety, intrusive thoughts, disturbed 
sleep, impaired concentration, disruption and distortion of normal development, 
loss of innocence. 
Plaintiff's psychological and emotional injuries will be analyzed by a forensic 
expert, whose opinions and related information will be disclosed in accordance 
with the expert discovery rules of the Federal Rules of Civil Procedure. Plaintiff 
further reserves the right to supplement this response in accordance with the 
Federal Rules of Civil Procedure. 
EFTA02741008

Case 9:08-cv-80380-KAM Document 101-1 Entered on FLSD Docket 05/06/2009 Page 3 of 4 [Phone Redacted] Herman &Mermelsteln, P 10:30:31 p.m. 26-01-2009 15 /52 
Doe No. 4 v. Epstein 
Page 14 
25. Please describe any statements made to you by any federal or state law enforcement agent or prosecutor regarding the availability of civil remedies against Mr. Epstein and regarding whether there would be any benefit from your voluntary cooperation with law enforcement. 
VERIFICATION 
being duly sworn, deposes and says that the foregoing answers to interrogatones are true and correct to the best of her knowledge, information and belief. 
STATE OF FLORIDA 
COUNTY OF PALM BEACH 
SW 
o lowing iden ification
) ss 
RIBED before me this a3 day of a.)\-mmie;  20Dik by 
who is personally known to me or has produced lie b  which is current or has been issued within the past five years and bears a serial or other Identifying number. 
EFTA02741009

105-9312200Case 9:08-cv-80380-KAM&Mermels 
P 
Document 101-1 Entered on FLSD Docketp.m. 05/06/2009 09 Page 4 14of 4 Herman teln, 10:30:25 26-01-20  /52 
Doe No. 4 v. Epstein 
Page 13 
January A, 2009 Respectfully submitted: 
HERMAN & MERMELSTEIN P.A. 
18205 Biscayne Blvd., Suite 2218 
Miami, Florida 33160 
www.hermanlaw.com 
Tel: [Phone Redacted] 
Fax: [Phone Redacted] 
By: 
Jeffrey M. Herman 
jhermaneherrnanlaw.com 
Florida Bar No. 521647 
Stuart S. Mermelstein 
smermelsteina.hermanlaw.com 
Florida Bar No. 947245 
Adam D. Horowitz 
[Email Redacted] 
Florida Bar No. 376980 
EFTA02741010
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