056-02.pdf
ia-court-doe-no-3-v-epstein-no-9ː08-cv-80232-(sd-fla-2008) Court Filing 700.7 KB • Feb 13, 2026
Case 9:08-cv-80232-KAM Document 56-2 Entered on FLSD Docket 03/25/2009 Page 1 of 8
Case
9:08-cv-80232-KAM
Document
50
Entered
on
FLSD
Docket
02/27/2009
Page
1 of
8
UNITED
STATES
DISTRICT COURT
SOUTHERN
DISTRICT OF
FLORIDA
CASE
NO.:
08-CV-80232-MARRA/JOHNSON
JANE
DOE
NO.
3,
Plaintiff,
vs.
JEFFREY
EPSTEIN,
Defendant.
---------------~/
SECOND
AMENDED
COMPLAINT
Plaintiff,
Jane
Doe
No.3
("Jane"
or
"Jane
Doe"),
brings
this
Complaint
against
Jeffrey
Epstein,
as
follows:
Parties,
Jurisdiction
and
Venue
1.
Jane
Doe
is a citizen
and
resident
of
the
State
of
Florida,
and
is sui
juris.
2.
This
Complaint
is
brought
under
a fictitious
name
to
protect
the
identity
of
the
Plaintiff
because
this
Complaint
makes
sensitive
allegations
of
sexual
assault
and
abuse
upon
her
when
she
was
a minor.
3.
Defendant
Jeffrey
Epstein
is a citizen
and
resident
of
the
State
of
New
York.
4.
This
is an
action
for
damages
in
excess
of
$50
million.
5.
This
Court
has
jurisdiction
of
this
action
and
the
claims
set
forth
herein
pursuant
to
28
U .S.C.
§ 1332(a),
as
the
matter
in
controversy
(i)
exceeds
$75,000,
exclusive
of
interest
and
costs;
and
(ii)
is between
citizens
of
different
states.
6.
This
Court
has
venue
of
this
action
pursuant
to
28
U.S.C.
§ 139
l(a)
as
a substantial
part
of
the
events
or
omissions
giving
rise
to
the
claim
occurred
in
this
District.
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Case
9:08-cv-80232-KAM
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Entered
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FLSD
Docket
02/27/2009
Page
2 of
8
Factual
Allegations
7.
At
all
relevant
times,
Defendant
Jeffrey
Epstein
("Epstein")
was
an
adult
male,
52
years
old.
Epstein
is a financier
and
money manager
with
a secret
clientele
limited
exclusively
to
billionaires.
He
is himself
a man
of
tremendous
wealth,
power
and
influence.
He
maintains
his
principal
home
in New
York
and
also
owns
residences
in New
Mexico,
St.
Thomas
and
Palm
Beach,
FL.
The
allegations
herein
concern
Epstein's
conduct
while
at his
lavish
estate
in
Palm
Beach.
8.
Upon
information
and
belief,
Epstein
has
a sexual
preference
and
obsession
for
underage
minor
girls.
He
engaged
in
a plan
and
scheme
in
which
he
gained
access
to
primarily
economically
disadvantaged
minor
girls
in
his
home,
sexually
assaulted
these
girls,
and
then
gave
them
money.
In
or
about
2004-2005,
Jane
Doe,
then
16
years
old,
fell
into
Epstein's
trap
and
became
one
of
his
victims.
9.
Upon
information
and
belief,
Jeffrey
Epstein
carried
out
his
scheme
and
assaulted
girls
in
Florida,
New
York
and
on
his
private
island,
known
as
Little
St.
James,
in
St.
Thomas.
10.
An
integral
player
Epstein's
Florida
scheme
was
Haley
Robson,
a Palm
Beach
Community
College
student
from
Loxahatchee,
Florida.
She
recruited
girls
ostensibly
to
give
a
wealthy
man
a massage
for
monetary
compensation in
his
Palm
Beach
mansion.
Under
Epstein's
plan,
Ms.
Robson
would
be
contacted
when
Epstein
was
planning
to be
at his
Palm
Beach
residence
or
soon
after
he
had
arrived
there.
Epstein
or
someone on
his
behalf
directed
Ms.
Robson
to
bring
one
or
more
underage
girls
to
the
residence.
Ms.
Robson,
upon
information
and
belief,
generally
sought
out
economically
disadvantaged
underage
girls
from
Loxahatchee
and
surrounding
areas
who
would
be
enticed
by
the
money
being
offered
- generally
$200
to
$300
per
"massage"
session
- and
who
were
perceived
as
less
likely
to
complain
to
authorities
or
have
credibility
if
allegations
of
improper
conduct
were
made.
This
was
an
important
element
of
Epstein's
plan.
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Case 9:08-cv-80232-KAM Document 56-2 Entered on FLSD Docket 03/25/2009 Page 3 of 8
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11.
Epstein's
plan
and
scheme
reflected
a particular
pattern
and
method.
Upon
arrival
at
Epstein's
mansion,
the
victim
would
be
brought
to the
kitchen.
She
would
then
be
led
up
a flight
of
stairs
to a bedroom
that
contained
a massage
table
in addition
to
other
furnishings.
Once
the
girl
was
alone
in
this
room,
Epstein
would
enter
wearing
only
a towel
to
cover
his
private
area.
He
then
would
lay
down
on
the
massage
table
and
perform
one
or
more
lewd,
lascivious
and
sexual
acts,
including
masturbation
and
touching
the
girl
sexually.
12.
Consistent
with
the
foregoing
plan
and
scheme,
Ms.
Robson
recruited
Jane
Doe
to
give
Epstein
a massage
for
monetary
compensation.
Ms.
Robson
brought
Jane
to Epstein's
mansion
in
Palm
Beach.
Jane
was
led
up
the
flight
of
stairs
to
the
room
with
the
massage
table.
She
was
alone
in the
room
when
Epstein
arrived
wearing
a towel
to
cover
his
private
parts.
He
laid
down
on
the
massage
table,
and
sexually
assaulted
Jane
Doe
during
the
massage.
In
addition,
Jeffrey
Epstein
masturbated
during
the
massage.
13.
After
Epstein
had
completed
the
assault,
he
left
the
room.
Jane
was
then
able
to
leave
the
room
and
go
back
down
the
stairs.
She
then
met
Ms.
Robson
again
who
brought
Jane
home.
Jane
was
paid
$200
by
Epstein.
Ms.
Robson
was
also
paid
by
Epstein
for
bringing
Jane
to
him.
14.
As
a result
of
this
encounter
with
Epstein,
the
16-year
old
Jane
experienced
trauma,
shock,
confusion,
shame,
humiliation
and
embarrassment.
COUNT!
Sexual
Assault and
Battery
15.
Plaintiff
Jane
Doe
repeats
and
realleges
paragraphs
1 through
14
above.
16.
Epstein
acted
with
intent
to cause
an
offensive
contact
with
Jane
Doe,
or
an
imminent
apprehension
of
such a
contact,
and
Jane
Doe
was
thereby
put
in
such
imminent
apprehension.
1
7.
Epstein
made
an
intentional, unlawful
off
er
of
offensive
sexual
contact
toward
Jane
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Case 9:08-cv-80232-KAM Document 56-2 Entered on FLSD Docket 03/25/2009 Page 4 of 8
Case
9:08-cv-80232-KAM
Document
50
Entered
on
FLSD
Docket
02/27/2009
Page
4 of
8
Doe,
creating
a reasonable
fear
of
imminent
peril.
18.
Epstein
intentionally
inflicted
harmful
or
offensive
contact
on
the
person
of
Jane
Doe,
with
the
intent
to
cause
such
contact
or
the
apprehension
that
such
contact
is imminent.
19.
Epstein
tortiously
committed
a sexual
assault
and
battery
on
Jane
Doe.
Epstein's
acts
were intentional,
unlawful,
offensive
and
harmful.
20.
Epstein's
plan
and
scheme
in
which
he
committed
such
acts
upon
Jane
Doe
were
done
willfully
and
maliciously.
21.
As
a direct and
proximate
result
of
Epstein's
assault
on
Jane,
she
has
suffered
and
will
continue
to suffer
severe
and
permanent
traumatic
injuries,
including
mental,
psychological
and
emotional
damages.
WHEREFORE,
Plaintiff
Jane
Doe
No.
3 demands
judgment
against
Defendant
Jeffrey
Epstein
for
compensatory
damages,
punitive
damages,
costs,
and
such
other
and
further
relief
as
this
Court
deems
just
and
proper.
COUNT
II
Intentional
Infliction
of
Emotional
Distress
22.
Plaintiff
Jane
Doe
repeats
and
realleges
paragraphs
1 through
14
above.
23.
Epstein's
conduct
was
intentional
or
reckless.
24.
Epstein's
conduct
with
a minor
was
extreme
and
outrageous,
going
beyond
all
bounds
of
decency.
25.
Epstein
committed
willful
acts
of
child
sexual
abuse
on
Jane
Doe.
These
acts
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