EFTA02742627
Court Records
Document Pages (3) #
Extracted Text #
This text was extracted automatically from the scanned pages and may contain errors. Check any quotation against the original scan above or the source document.
Case 9:08-cv-80994-KAM Document 10 Entered on FLSD Docket 11/10/2008 Page 1 of 3 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE NO.: 08-CV-80994-MARRa JANE DOE NO. 6, Plaintiff, v. JEFFREY EPSTEIN, Defendant. DEFENDANT EPSTEIN'S REPLY TO PLAINTIFF'S RESPONSE TO DEFENDANT'S MOTION TO DISMISS & FOR MORE DEFINITE STATEMENT Defendant, JEFFERY EPSTEIN, (EPSTEIN), by and through his undersigned attorneys, files his reply to Plaintiffs' Memorandum Of Law In Opposition To Motions To Dismiss, dated October 31, 2008, and states: Although Plaintiffs, Jane Doe Nos. 2 through 7, are separate and distinct persons, in separate and distinct actions, with separate and distinct facts and circumstances pertaining to the claims each is attempting to allege, Plaintiffs' counsel has filed a broad brush, identical response to Defendant's motions to dismiss and for more definite statement which were filed in each of the actions. As pointed out in Defendant's previously filed motions, there are factual distinctions in the actions and the allegations in Plaintiffs' attempts to assert the claims labeled as Count I — "Sexual Assault and Battery," and Count III - "Coercion and Enticement to Sexual Activity In Violation of 18 U.S.C. §2422." It is essential that each of the actions and the respective complaints filed therein are examined and treated as separate and distinct actions in deciding the respective legal issues and positions asserted. EFTA02742627 Case 9:08-cv-80994-KAM Document 10 Entered on FLSD Docket 11/10/2008 Page 2 of 3 Jane Doe No. 6 v. Epstein Page 2 As noted, Defendant's motion is directed to Count I and III of the respective complaints. Contrary to each Plaintiffs assertion, Defendant does not concede that Plaintiff has sufficiently plead the elements required to assert claims in Count I for "Sexual Assault and Battery" and in Count III pursuant to 18 U.S.C.§2422, and Defendant has not "misconstrued" the pleading standard formulated by the United States Supreme Court in Bell Atlantic Corp. v. Twomblv, 127 S.Ct. 1955 (2007). In discussing Twomblv the Eleventh Circuit in v. Fla. International Univ. 495 F.3d 1289, 1295 (11th Cir. 2007), noted - "The Supreme Court's most recent formulation of the pleading specificity standard is that 'stating such a claim requires a complaint with enough factual matter (taken as true) to suggest' the required element." In order to sufficiently allege the claim, the complaint is required to identify "facts that are suggestive enough to render [the element] plausible." 495 F.3d at 1296 (quoting Twombly , 127 S.Ct. at 1965). As stated in Defendant's motion to dismiss, Plaintiff has not met this standard requiring the pleading of facts to suggest the elements of the claims she is attempting to assert. In other words, Plaintiff is required to plead facts that suggest each element of the claim she is attempting to assert, as opposed to a generalized pleading. Accordingly, Defendant relies on the legal positions and argument in his motion, rather than reargue what has already been stated. Finally, the letter attached as an Exhibit to Plaintiffs response is not dispositive of the issue of whether the Plaintiff has sufficiently alleged a claim in Count III pursuant to 18 U.S.C. §2422. EFTA02742628 Case 9:08-cv-80994-KAM Document 10 Entered on FLSD Docket 11/10/2008 Page 3 of 3 Jane Doe No. 6 v. Epstein Page 3 Wherefore, Defendant requests that this Court grant his motion to dismiss and for more definite statement directed to Plaintiffs Complaint. 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 of rector dentified on the following Service List in the manner specified by CM/ECF on this /bay of 2008: Adam D. Horowitz, Esq. Jeffrey Marc Herman, Esq. Stuart S. Mermelstein, Esq. 18205 Biscayne Boulevard Suite 2218 Miami, FL 33160 305-931-2200 Fax: 305-931-0877 ahorowitzehermanlaw.com jhermanehermanlaw.com Iriveraahermanlaw.com Counsel for Plaintiff Jane Doe #6 Respectful sub itted, By: ROBER . C O JR., ESQ. Florida Bar No. 224162 rcritabcIclaw.com BURMAN, CRITTON, LUTfIER & 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) EFTA02742629