001.pdf
ia-court-doe-no-8-v-epstein-no-909-cv-80802-(sd-fla-2009) Court Filing 448.2 KB • Feb 13, 2026
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May 28, 2009
09-CV-80802-Marra-Johnson
Case 9:09-cv-80802-KAM Document 1 Entered on FLSD Docket 05/28/2009 Page 1 of 7
JANE
DOE
NO.
8,
Plaintiff,
vs.
JEFFREY
EPSTEIN,
Defendant.
UNITED
STATES
DISTRICT
COURT
SOUTHERN
DISTRICT
OF
FLORIDA
CASE
NO.:
I
----------------
COMPLAINT
FILED
by
VT
D.C.
ELECTRONIC
STEVEN
M.
LARIMORE
CLERK
U.S.
DIST.
CT.
S.
D.
OF
FLA.·
MIAMI
Plaintiff,
Jane
Doe
No
. 8 ("Jane"
or
"Jane
Doe"),
brings
this
Complaint
against
Jeffrey
Epstein,
as
follows:
Parties, Jurisdiction
and
Venue
1.
Jane
Doe
No.
8 ("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
a
mmor.
3.
Defendant
Jeffrey
Epstein
is a citizen
and
resident
of
the
State
of
New
York,
and
presently
serving
a prison
sentence
in
Palm
Beach
County,
Florida
for,
inter
alia,
solicitation
of
prostitution
and
solicitation
of
minors
to
engage
in prostitution
..
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;
MERMELSTEIN
&
HOROWITZ,
P.
A.
www.sexabuseattorney
.
corn
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Case 9:09-cv-80802-KAM Document 1 Entered on FLSD Docket 05/28/2009 Page 2 of 7
and (ii) is between citizens of different states.
6. Additionally, this Court has jurisdiction pursuant to 28 U.S.C. § 1331 because
Plaintiff alleges a claim under the laws of the United States. This Court has supplemental
jurisdiction pursuant to
28 U.S.C. § 1367(a) over all other claims set forth herein which form part of
the same case or controversy.
7. This Court has venue of this action pursuant to 28 U.S.C. §§ 1391(a) and 1391(b) as a
substantial part
of the events or omissions giving rise to the claim occurred in this District.
Factual Allegations
8. At all relevant times, Defendant Jeffrey Epstein ("Epstein") was an adult male in his
early 50's. 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.
9. 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 2001, Jane Doe, then approximately
16 years old, fell into Epstein's trap
and became one
of his victims.
10. 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.
11. Epstein's scheme involved the use of young girls to recruit underage girls. These
underage girls were recruited ostensibly
to give a wealthy man a massage for monetary compensation
MERMELSTEIN & HOROWITZ, P. A.
www.sexabuseattorney.com
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Case 9:09-cv-80802-KAM Document 1 Entered on FLSD Docket 05/28/2009 Page 3 of 7
in his
Palm
Beach
mansion.
Epstein,
upon
information
and
belief,
generally
sought
out
economically
disadvantaged
underage
girls
from
Palm
Beach
County
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.
12.
Epstein's
plan
and
scheme
reflected
a particular
pattern
and
method.
The
underage
victim
would
be
brought
or
directed
to
Epstein's
mansion,
where
she
would
be
led
up
a flight
of
stairs
to
a room
that
contained
a massage
table
in addition
to
other
furnishings.
The
girl
would
then
find
herself
alone
in
the
room
with
Epstein,
who
would
be
wearing
only
a towel.
He
would
then
remove
his
towel
and
lie
naked
on
the
massage
table,
and
direct
the
girl
to
remove
her
clothes.
Epstein
would
then
perform
one
or
more
lewd,
lascivious
and
sexual
acts.
13.
Consistent
with
the
foregoing
plan
and
scheme,
Jane
Doe
was
recruited
by
another
girl,
who
told
her that
she
could
make
some
money,
but
did
not
tell
her
what
was
involved.
At
all
relevant
times,
the
girl
who
recruited
Jane
Doe
was
acting
on
behalf
of
and
as
agent
for
Epstein.
Jane
was
contacted
by
this
girl
by
telephone.
Jane
was
then
picked
up
and
brought
to
Epstein's
mansion
in
Palm
Beach.
Once
there,
she
was
led
up
the
flight
of
stairs
to
the
room
with
the
massage
table.
Epstein
came
into
the
room
and
directed
Jane
to
remove
her
clothes
and
give
him
a massage.
Jane
was
frightened
and
felt
trapped.
As
directed
by
Epstein,
Jane
removed
her
clothes.
Epstein
then
during
the
massage
touched
Jane
on
her
breasts
and
vagina,
and
he
grabbed
her
hand
and
placed
it on
his
penis.
Epstein
masturbated
himself
during
the
massage.
Epstein
then
left
money
for
Jane.
14.
As
a result
of
this
encounter
with
Epstein,
Jane
experienced
confusion,
shame,
humiliation and
embarrassment,
and
has
suffered
severe
psychological
and
emotional
injuries.
MERMELSTEIN
&
HOROWITZ,
P.
A.
www.sexabuseattorney.com
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Case 9:09-cv-80802-KAM Document 1 Entered on FLSD Docket 05/28/2009 Page 4 of 7
COUNTI
Sexual Assault
and
Battery
15.
Plaintiff
Jane
Doe
repeats
and
realleges
paragraphs
1
through
14
above.
16.
Epstein
made
an
intentional,
unlawful
offer
of
offensive
sexual
contact
toward
Jane
Doe,
creating
a reasonable
fear
of
imminent
peril
and
sexual
assault.
17.
Epstein
intentionally
inflicted
harmful
or
offensive
sexual
contact
on
the
person
of
Jane
Doe.
18.
Epstein
tortiously
committed
a sexual
assault
and
battery
on
Jane
Doe.
Epstein's
acts
were
intentional,
unlawful,
offensive
and
harmful.
19.
Epstein's
plan
and
scheme
in which
he
committed
such
acts
upon
Jane
Doe
were
done
willfully
and
maliciously.
20.
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
and
loss
of
enjoyment
of
life.
WHEREFORE,
Plaintiff
Jane
Doe
No.
6 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
21.
Plaintiff
Jane
Doe
repeats
and
realleges
paragraphs
1
through
14
above.
22.
Epstein's
conduct
was
intentional
or
reckless.
23.
Epstein's
conduct
with
a minor
was
extreme
and
outrageous,
going
beyond
all
bounds
of
decency.
MERMELSTEIN
&
HOROWITZ,
P.
A.
www.
sexabuseattorney.
com
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Case 9:09-cv-80802-KAM Document 1 Entered on FLSD Docket 05/28/2009 Page 5 of 7
24.
Epstein
committed
willful
acts
of
child
sexual
abuse
on
Jane
Doe.
These
acts
resulted
in mental
or
sexual
injury
that
caused
or
were
likely
to
cau
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- Feb 13, 2026