EFTA00162812Dataset 9
2021-03-0980p15,510w
…role as President of ICRAS, intentionally and/or negligently caused her discussion with SPEAK Project described in paragraph 27 to be published. 29. In the article published by SPEAK Project described i❑ paragraph 27, in her role as President of Defendant ICRAS, Defendant Valerie Dirksen encouraged others to donate to the cause and directed viewers to Defendant ICRAS, website, ICRAS8.com. 30. On or about October 12, 2019, Defendant Valerie Dirksen, individually, and in her role as President of ICRAS…
https://www.justice.gov/epstein/files/DataSet%209/EFTA00162812.pdf