EFTA00596325Dataset 9
20p4,063w
…informed Plaintiff that she would introduce Plaintiff to Defendant Epstein, whom she described as a wealthy philanthropist who regularly used his wealth, influence and connections to help financially poor females like Plaintiff achieve their personal and professional goals and aspirations. 36. Defendant reported to her superiors, Defendants Groff and Maxwell, and was paid for her recruitment of young females, including the recruitment of Plaintiff. 37. Defendant introduced Plaintiff to Defendant Epstein, who confirmed to Plaintiff that he would use his…
https://www.justice.gov/epstein/files/DataSet%209/EFTA00596325.pdf
EFTA00313650Dataset 9
1p228w
…informed Plaintiff that she would introduce Plaintiff to Defendant Epstein, whom she described as a wealthy philanthropist who regularly used his wealth, influence and connections to help financially poor females like Plaintiff achieve their personal and professional goals and aspirations. 36. Defendant reported to her superiors, Defendants Groff and Maxwell, and was paid for her recruitment of young females, including the recruitment of Plaintiff. 37. Defendant introduced Plaintiff to Defendant Epstein, who confirmed to Plaintiff that he would use his…
https://www.justice.gov/epstein/files/DataSet%209/EFTA00313650.pdf
EFTA00313653Dataset 9
2017-01-261p218w
…exchange for promises of support), and as a means of threatening punishment (should Plaintiff, refuse to comply with Defendants' instructions). 48. In addition to Plaintiff's being trafficked on Defendant Epstein's private plane, Defendants Groff, Maxwell an with the knowledge of and instruction by Defendant Epstein, arranged Plaintiffs commercial air travel on numerous occasions for the purpose of causing Plaintiff to commit commercial sex acts. 49. Defendants provided living quarters for Plaintiff at 301 East 66 Street, New York…
https://www.justice.gov/epstein/files/DataSet%209/EFTA00313653.pdf
EFTA00285423Dataset 9
2017-01-2621p4,220w
…influence, power and connections were used both as an inducement to provide sex (in exchange for promises of support), and as a means of threatening punishment (should Plaintiff refuse to comply with Defendants' instructions). 48. In addition to Plaintiffs being trafficked on Defendant Epstein's private plane, Defendants Groff, Maxwell an with the knowledge of and instruction by Defendant Epstein, arranged Plaintiffs commercial air travel on numerous occasions for the purpose of causing Plaintiff to commit commercial sex acts. 49…
https://www.justice.gov/epstein/files/DataSet%209/EFTA00285423.pdf
EFTA00590725Dataset 9
2017-01-2621p4,367w
…power and connections were used both as an inducement to provide sex (in exchange for promises of support), and as a means of threatening punishment (should Plaintiff refuse to comply with Defendants' instructions). 48. In addition to Plaintiff's being trafficked on Defendant Epstein's private plane, Defendants Groff, Maxwell and with the knowledge of and instruction by Defendant Epstein, arranged Plaintiffs commercial air travel on numerous occasions for the purpose of causing Plaintiff to commit commercial sex acts. 49…
https://www.justice.gov/epstein/files/DataSet%209/EFTA00590725.pdf
EFTA00594577Dataset 9
2017-01-2621p4,365w
…power and connections were used both as an inducement to provide sex (in exchange for promises of support), and as a means of threatening punishment (should Plaintiff refuse to comply with Defendants' instructions). 48. In addition to Plaintiff's being trafficked on Defendant Epstein's private plane, Defendants Groff, Maxwell and with the knowledge of and instruction by Defendant Epstein, arranged Plaintiffs commercial air travel on numerous occasions for the purpose of causing Plaintiff to commit commercial sex acts. 49…
https://www.justice.gov/epstein/files/DataSet%209/EFTA00594577.pdf