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FBI VOL00009
EFTA00227381
2265 sivua
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United States District Court Eastern District of Pennsylvania - Docket Report Page 4 of 6 FOR TRIAL BY 9/23/03. SIGNED BY JUDGE CLARENCE C. NEWCOMER ON 5/22/03. 5/22/03 ENTERED AND COPIES MAILED (ph, ) (Entered: 05/22/2003) 05/29/2003 15 MOTION TO DISMISS COUNTERCLAIM FOR FAILURE TO STATE A CLAIM UPON WHICH RELIEF CAN BE GRANTED, MEMORANDUM, CERTIFICATE OF SERVICE FILED BY NELSON SHANKS.(ph, ) Modified on 5/29/2003 (ph, ). Additional attachment(s) added on 6/16/2003 (vw, ). Additional attachment(s) added on 6/16/2003 (vw, ). Additional attachment(s) added on 6/16/2003 (vw, ). Additional attachment(s) added on 6/16/2003 (vw, ). (Entered: 05/29/2003) 06/19/2003 16 STIPULATION AND ORDER THAT THE TIME IN WHICH THE DEFENDANTS MUST SUBMIT A REPLY TO PLAINTIFFS MOTION TO DISMISS COUNT II OF DEFENDANTS' COUNTERCLAIM, IS EXTENDED UNTIL AND INCLUDING 6/30/03 . SIGNED BY JUDGE CLARENCE C. NEWCOMER ON 6/19/03. 6/19/03 ENTERED AND COPIES MAILED (ph, ) (Entered: 06/19/2003) 07/08/2003 17 STIPULATION AND ORDER THAT DEFENDANTS MUST SUBMIT A REPLY TO PLAINTIFF'S MOTION TO DISMISS COUNT II OF DEFENDANTS' COUNTERCLAIM BY 7/14/03 ETC . SIGNED BY JUDGE CLARENCE C. NEWCOMER ON 7/8/03. 7/9/03 ENTERED AND COPIES MAILED AND FAXED 7/8/03(ph, ) Additional attachment(s) added on 7/9/2003 (1db, ). (Entered: 07/09/2003) 07/14/2003 18 Reply to plaintiff's motion to dismiss pursuant to FRCP 12(b)(6), Certificate of service filed by ABIGAIL WEXNER, LESLIE WEXNER. (ph, ) Additional attachment(s) added on 7/17/2003 (ph, ). (Entered: 07/15/2003) 07/18/2003 19 Response to defendants' reply to motion to dismiss counterclaim for failure to state a claim upon which relief can be granted, Certificate of service filed by NELSON SHANKS. (ph, ) (Entered: 07/21/2003) 08/13/2003 20 MOTION FOR JUDGMENT ON THE PLEADINGS AGAINST JEFFREY EPSTEIN WITH RESPECT TO COUNT I OF THE COMPLAINT (BREACH OF CONTRACT), CERTIFICATE OF SERVICE FILED BY NELSON SHANKS..(ph, ) (Entered: 08/13/2003) 08/21/2003 21 ORDER THAT UPON CONSIDERATION OF PLAINTIFF'S MOTION TO DISMISS AND DEFENDANTS' RESPONSE, IT IS ORDERED THAT SAID MOTION IS DENIED ETC.. SIGNED BY JUDGE JAMES R. MELINSON ON 8/21/03.8/22/03 ENTERED AND COPIES MAILED (ph, ) (Entered: 08/22/2003) 08/26/2003 22 PLAINTIFF'S MOTION TO COMPEL FILED BY NELSON SHANKS,CERTIFICATE OF COUNSEL, CERTIFICATE OF SERVICE.(ar, ) (Entered: 08/26/2003) 08/26/2003 23 ANSWER AND AFFIRMATIVE DEFENSES OF PLAINTIFF TO COUNTERCLAIMS OF DEFENDANTS LESLIE AND ABIGAIL WEXNER BY NELSON SHANKS, CERTIFICATE OF SERVICE.(ar, ) (Entered: 08/26/2003) 08/26/2003 24 Supplement to Plaintiffs Motion for Judgment on the Pleadings Against Defendant Jeffrey Epstein with Respect to Count I of Plaintiffs Complaint https://ecfpaed.uscourts.gov/cgi-bin/DGRIii.V1189b°~2`61WERA3_0-1 PaPPP2067 EFTA00228081
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United States District Court Eastern District of Pennsylvania - Docket Report Page 5 of 6 (Breach of Contract) filed by NELSON SHANKS, Certificate of Service. (ar, ) (Entered: 08/26/2003) 08/27/2003 25 Memorandum in opposition to plaintiffs motion for judgment on the pleadings as to count one - breach of contract, Certificate of service filed by JEFFREY E. EPSTEIN. (ph, ) Additional attachment(s) added on 9/4/2003 (ph, ). (Entered: 08/28/2003) 08/28/2003 26 Reply to EPSTEIN'S memorandum in opposition to plaintiffs motion for judgment on the pleadings, Certificate of service by NELSON SHANKS. (ph, ) (Entered: 08/29/2003) 08/28/2003 27 MOTION TO STRIKE DEFENDANTS MEMORANDUM IN OPPOSITION FOR VIOLATION OF COURT ORDER, CERTIFICATE OF SERVICE filed by NELSON SHANKS. (SEE #26).(ph, ) (Entered: 08/29/2003) 09/04/2003 28 ORDER DENYING PLAINTIFF'S MOTION FOR JUDGMENT ON THE PLEADINGS WITH RESPECT TO COUNT I, THE COURT FINDS THAT THERE ARE FACTUAL ISSUES IN THIS CASE AS TO WHETHER A CONTRACT WAS FORMED BETWEEN THE PARTIES AND THE TERMS OF ANY SUCH CONTRACT. . SIGNED BY JUDGE CLARENCE C. NEWCOMER ON 9/4/03.9/4/03 ENTERED AND COPIES MAILED AND FAXED. (ph, ) (Entered: 09/04/2003) 09/05/2003 29 RESPONSE to plaintiff NELSON SHANKS' motion to compel, Certificate of service filed by JEFFREY E. EPSTEIN, GHISLAINE MAXWELL, ABIGAIL WEXNER, LESLIE WEXNER. (ph, ) (Entered: 09/08/2003) 09/05/2003 30 MOTION FOR PROTECTIVE ORDER TO QUASH NOTICE OF DEPOSITIONS, MEMORANDUM, CERTIFICATION OF COUNSEL, CERTIFICATE OF SERVICE filed by JEFFREY E. EPSTEIN, GHISLAINE MAXWELL, ABIGAIL WEXNER, LESLIE WEXNER..(ph, ) Additional attachment(s) added on 10/1/2003 (ph, ). Additional attachment(s) added on 10/10/2003 (ph, ). (Entered: 09/08/2003) 09/09/2003 31 ORDER MOOTING PLAINTIFFS' MOTION TO COMPEL THE PRODUCTION OF DOCUMENTS AND RESPONSES TO INTERROGATORIES ETC. . SIGNED BY JUDGE CLARENCE C. NEWCOMER ON 9/9/03.9/10/03 ENTERED AND COPIES MAILED AND FAXED 9/9/03(ph, ) (Entered: 09/10/2003) 09/10/2003 32 Reply to defendants' motion for a protective order to quash notice of depositions and supplemental memorandum of law in connection with plaintiffs motion to compel discovery responses, Certification of counsel, Certificate of service filed by NELSON SHANKS. (ph, ) Additional attachment(s) added on 9/18/2003 (fh, ). (Entered: 09/11/2003) 09/18/2003 33 ORDER DENYING AS MOOT DEFENDANT'S MOTION TO QUASH NOTICE OF DEPOSITIONS, UPON REPRESENTATION THAT THE PARTIES HAVE AGREED UPON THE LOCATIONS OF THE NOTICED DEPOSITIONS ETC.. SIGNED BY JUDGE CLARENCE C. NEWCOMER ON 9/18/03.9/18/03 ENTERED AND COPIES MAILED (ph, ) (Entered: 09/18/2003) 09/23/2003 34 ORDER THAT THE COURTS PRETRIAL SCHEDULING ORDER IS AMENDED AS FOLLOWS: DISCOVERY BY 10/10/03, https://ecfpacd.uscourts.gov/cgi-bin/Dalit.Y118971915662151WE343_0-1 P4-10i EFTA00228082
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United States District Court Eastern District of Pennsylvania - Docket Report Page 6 of 6 SETTLEMENT/FINAL PRETRIAL CONFERENCE ON 10/20/03 AT 11:15; PRETRIAL MEMORANDA AND JOINT PROPOSED JURY INSTRUCTIONS 10/15/03; COUNSEL SHALL BE PREPARED FOR TRIAL ON 10/20/03 . SIGNED BY JUDGE CLARENCE C. NEWCOMER ON 9/23/03. 9/24/03 ENTERED AND COPIES MAILED (ph, ) (Entered: 09/24/2003) 09/23/2003 SETTLEMENT CONFERENCE SET FOR 10/20/2003 11:15 AM BEFORE HONORABLE CLARENCE C. NEWCOMER. (ph, ) (Entered: 09/24/2003) 10/21/2003 35 STIPULATION AND ORDER THAT THE COURT DISMISS THE CAPTIONED MATTER, INCLUDING ALL CLAIMS AND COUNTERCLAIMS, WITH PREJUDICE. . SIGNED BY JUDGE CLARENCE C. NEWCOMER ON 10/21/03. 10/21/03 ENTERED AND COPIES MAILED AND FAXED.(ph, ) (Entered: 10/21/2003) 10/24/2003 36 STIPULATION AND ORDER THAT PURSUANT TO FRCP 41(a)(1)(ii) AND THE SETTLEMENT AGREEMENT, THAT THE PARTIES REQUEST THE COURT DISMISS THE CAPTIONED MATTER, INCLUDING ALL CLAIMS AND COUNTERCLAIMS, WITH PREJUDICE. . SIGNED BY JUDGE CLARENCE C. NEWCOMER ON 10/24/03. 10/24/03 ENTERED AND COPIES MAILED AND FAXED BY CHAMBERS(ph, ) (Entered: 10/24/2003) PACER Service Center Transaction Receipt 04/27/2007 12:18:55 PACER Login: du4480 Client Code: Description: Docket Report Search Criteria: 2:02-cv-07671-CN Billable Pages: 4 Cost: 0.32 https://ecf.paed.uscourts.gov/cgi-bin/Dicitti.VMH9.7662161WERA3_0-1 P4-#918d7 EFTA00228083
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IN TEE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA NELSON SHANKS i. LESLIE and ABIGAIL WEXNER, h/w Case No. ();" -N rii and JEFFREY E. EPSTEIN, individually and d/b/a J. EPSTEIN AND COMPANY, INC. The Villard House 457 Madison Avenue, 4, Floor New York, NY 10022 and GHISLAINE MAXWELL The Villard House 457 Madison Avenue, New York, NY 10022 4a Floor . • 7 3a*: COMPLAINT I. EIRTIRA 1. Plaintiffh.gelsOn Shankqe(aShinks")., la a citizen of the Commonwealth of Pennsylvania,'dnd at all relevant timms, resided at 1163 State Road, Andalusia, Bucks County, Pennsylvania 19020. 2. Defendants, Leslie and Abigail Wexner (the LWexnerse), are husband and wife. At all relevant times, the Wexner. were citizens of the State of Ohio and resided at One Whitsibarn Road, New Albany, Ohio 43054. 3. Defendant, Jeffrey B. irstein, is a resident and citizen of the State of New York. Jeffrey E. Epstein, was at all arti ispieze 4 fitel ttotlittli Case No. 08-80736-CV-MARRA 4mq ORMli UW040)0704 EFTA00228084
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relevant times, a principal and an offiper.of Defendant, J.
Epstein and Company, :Inc, (collectively `Epstein"), which, at all
relevant times, had its. principal piece of business at The
villard House, 457 MadisOn Avenue, .New York, New. York 10022.
4.
Defendant, J. Epstein and Company, Inc. was, at all
relevant times, a corporation orgamizedr and existing under the
laws of the State of New York, withrits principal place of
business at The Villard House, 45744adison Avenue, New York, New
York 10022.
5.
Defendant, Ohislaine Maxwell ("Maxwell"), is, upon
information and belief, a resident.snd citizen of the State of
New York, and at all relevant times hereto, has acted as the
actual, apparent and/or ostensible,agent_for Epstein and/or the
Wexner', and, at all relevant times, conducted business from 457
Madison Avenue, New York, New York:3.0022.. .
, , •
II. 4211=21213pThlitgi
6.
Subject matter jurisdiction is conferred upon this
Court pursuant to provisions of 28.U.S.C. $1332 in that there is
diversity of citizenship between Plaintiff and Defendants, and
the amount in controversy exceeds.tts sum of Seventy-five
Thousand Dollars (875,000.00), exclusive of interest oral costs.
7.
Venue is proper in the Eastern District of Polinsylvania
pursuant to 28 U.S.C. 51391(a) because a substantial part of the
events giving rise to this claim occurred in the Eastern District
of Pennsylvania.
Ili. pAcTs
8.
In early 2000, Shanks was contacted by Maxwell, who
represented to Shanks that she was acting on behalf of Epstein
and/or the Wexners, to inquire whether Shanks would ccnsider
accepting a commissionto paint: a lfamily portrait of koigail
Wexner and her four children.
7 f.
9.
During subsequent conversations between Shanks and
Maxwell, Maxwell informed Shanks that the Wexner" had
specifically requested that Shanks be commissioned to paint a
family portrait because of Shanks' reputation, talent, painting
style, acclaim, notoriety and status as a world renowned artist.
$19-I
ISO/1Z° d
219-1
ZIOBIAUJZ
Case No. 08-80736-CV-MARRA
ae,j
WU q I Zoisteb705
EFTA00228085
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• 10. Shanks has received critial aColAim for his paintings and portraits which include subjects such as Margaret Thatcher, Luciano Pavarotti, Princess Diana, Ronald Reagan, and Bill Clinton, to name only a few. 11. Conversations between Shanks and Maxwell.culminated in a personal meeting between Shanks andAbigail Wexner in New York City on or about March 15, 2000. 12: The visit between Shanks and Abigail Wexner in Now York City was arranged by Abigail Wexner's personal assistant, Karl W. Koon. : . 13. Following 'the March 15, '2002 visit between Shanks and Abigail wexner, Shanks was invited to the Wexner Estate in New Albany, Ohio for purposes' relatingreto the proposed portrait. 14. Shanks traveled to ,the Wexner Estate on or about April 26, 2000, at the expense of the Wexners.. The arrangements were made by Abigail Wexner's personal aibistant, Karl W. Kocn. A true and correct copy of letters bobjeen"Shanks and Abigail Wexner, together with Shanks' itinekiryers'attached .hereto at Exhibit "A". 14 e .:•• 15. During Shanksi'visit to'tbi Wexner Estate, Shanks spent two days photographiugtner, her four children, and various settings. The resulting photographs would, pursuant to Abigail Wexner's express direction and consent, form the basis of the planned portrait. • , 16. Shanks spent approximately two days at the Wexner Estate during which time he was given limited access to Abigail Wexner andher children. Notwithstanding such limited access, Shanks was able to take approximately 300 still photographs of Abigail Wexner and her children and observed, to the extent allowed, the children in their home environment, interacting with each other and their mother. A representative sample of photographs taken by Shanks during his ;Oft to the Wexner Estate is attached hereto as Exhibit • • 17. Following the April 26,,,'2400 visit to the Wexner Estate, Shanks confirmed in writing to Abigail Wexner in a letter dated May 3, 2000, that he was pleated*ith the photographs he took during the visit, and that he,wie.contemplating the use of a large 6' x 6' format for the painp40.- A true and correct copy of the May 3, 2000' letter from Shanks to Abigail Wexner is attached hereto as Exhibit "C". IZIZO•d ZWIlifla 40A eeSll 1161-41-41 Case No. 08-80736-CV-MARRA P-000706 EFTA00228086
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sr, :44'1( • 18. By fax dated May 4, 2000k;Abigail.Wexner, through her assistant, Amy Robertsi.provided Shanks, at his request, with the measurements of her four children and herself, which measurements provided Shanks with additional information about Abigail Wexner and her children.for puxpeses of composieg the painting. See Exhibit "D". . • • 19. At no time did the Wexners, Maxwell or Epstein request to have any involvement in the creative process such as selection of photographs upon which the painting would be based, or composition of the painting. • de 20. By letter dated May 16e -2OOO, maxwell, attire as the actual, apparent -or ostensible agent of Epstein and/or Wexner, confirmed that the cost of the painting would be 6325,OOO.OO. A true and correct copy of the May 16, 2002 letter from Maxwell to Shanks is attached hereto as Exhibit ,Et: • . to 21. Thereafteri.in reliance. On the conduct,- actions, words, promises, contracts, and contractual representations ol Maxwell. Epstein and the Wexners,,Shanks commenced work on the portrait. During the following months, Shanki expended' hundreds of hours on the Wexner family portrait:. " 4/' • • • 22. On or about October 23iL2000, while the -painting was in progress, Shanks communicated tilMaxwell-that'he proposed using an antique mid-18th century picturb frime for. the painting, which was later agreed upon for the price of $14,000.00. A true and correct copy of the October 23, 2202 letter from Shanks to Maxwell is attached hereto as Exhibit'"F". 23. On many occasions while the painting was in progress, Shanks invited the Nexners and/or Maxwell to visit Shanks' studio to see the progression of the portrait and provide comments relative to same. The Wexner. and Maxwell declined ail such invitations. 24. During late April 2001:'othitipiiinting was completed after which the Nexners'dispatcAdd.their own courier pick up the painting at Shanks' studio in,(Andalusia, Bucks Ca.mty, Pennsylvania. A true and correct'kepresentation of the painting is attached hereto as Exhibit "Os 25. In early Nay'2001, antis the painting was delivered to the Wexner., Shanki received communications from the assistants and/or agents of the Wexners that the Nexnere had made certain subjective comments about the painting, in particular, comments regarding their apparent- dissatiefuction with the pores of the -k, 111-i ISIVIZO'd il9-1 DON= Case No. 08-80736-CV-MARRA -+0,i OdIS:21 Z0021010110 70 7 EFTA00228087
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children, their relative ages and sizes as portrayed, and expressions of the subjects, including,Abigail Wexner herself. 26. Shanks attempted to assuage the. Wexner's concerns, by explaining certain elements of the creative process that an artist, such as Shanks, employs in rendering a:portrait such as that which was commissioned and tendered upon completica. 27. On May 9, 2OO1, Shanks invoiced the Wexners for the painting in the agreed upon amount of $325,000.00, $14,000.00 for the antique frame and $900.00 forIthe crate and packing. A true and correct copy of the.invoice;daped MO% 9, 2001 is attached hereto as Exhibit "IP. • 28. At all times the Wexnerevand/or Epstein have refused to pay the afore-referenqed invoicetituagrsed.. 29. Implicit in the contract.,and4Orcouxse of conduct and communication betweettShanks and .Elie Wingers and/or Epstein was Shanks' "creative license', to iete.rpret the subjects and portray them in an artistic fashion. , • 3O. At no time did Shanks contract, explicitly o:: implicitly, to portray -the subjects wi,th photo realism' as one would expect from a photographic rendering of the subjects. 31. Shanks' unique and widely acclaimed style of painting is well represented in the portrait of Abigail Wexner 4nd her four children. COUNT X MAME; v. THE MINXES AND EPSTEIN BREACH OF CONTRACT 32. Plaintiff incorporates by reference Paragraphs 1 through 31 as though fully set forth herein and at length. 33. Epstein, by and throughAis Act4al, apparent and/or ostensible agent, MaXwell, contraded with Shanks to create a painting of Abigail Mohler and her-four children in a manner consistent with the style, workmaAship.and quality customary of Shanks. 34. In the alternative, the Wexner', by and through their actual, apparent and/or .ostensibleagehts, Maxwell and Epstein, DI-I *sward 919-1 imutZ1Z Case No. 08-80736-CV-MARRA Ami siWZI MorbaL -uutu08 EFTA00228088
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contracted with 9hanke.to.createia'paiiting of Abigail Wexner and her four children in a•.manner conedstent- with-the style, workmanship and quality customary of Shanks. 35. By letter dated. May 16,;2000., Maxwell, acting as the actual, apparent and/or_ostensibloNigeat of Epstein and/or the Wexner°, confirmed.in writing the:agreement between Shenk. and Epstein and/or the Wexner., that in exchange for delivering a painting of Abigail.Werner and her•tour children, Epstein and/or the Wexners•would pay Shanks 0325,000,00. " 36. In or about late April, 2001, Shanks tendered to the Wexners, at the behest of Epstein and/or Maxwell, the nubject painting, the tender of which was accepted by Epstein and/or the Wexners at Shanks' studio in Andalusia, Bucks County, Pennsylvania. 37. The subsequent attempts:Sy Epstein and/or the Wexners to reject the painting were based%on purely subjective grounds. 38. Subjective approval of the painting by the Wexner°, Maxwell, and/or Epstein was not a Condition precedent to payment by Epstein and/or thellexners to;lhankg pursuant to the agreement between them. 39. The painting.was completed in a professional and artistic manner, consiatenterithlb4nkr..style, which was well known to Epstein, Maxwell and/or the Wexners. 40. At all times relevant hereto, Epstein and/or the Wexner° have refused to pay the agreed upon amount of $325,000.00, plus $14,000.00 for the antique frame, together with $900.00 for crate and packing for a total amount of $339,900.00, as represented in the May 9, 2001 invoice. WHEREFORE, Plaintiff, Nelson Shanks demands judgment against Defendants Epstein and Maxwell, individually, jointly and/or severally, for the sum of $339,900,00,. plus interest at: the legal rate and exclusive of costs, and any other damages or relief that this Court may deem appropriate and just. . 01211.201 plums v. makanithain pRouipsoxv wrong ' 41. Plaintiff incorporates Jayk reference Paragraphs 1 through 40 as though fully set fOrSh-herein and at length. 019-d OSO/IZO'd 519-1 ZP0IHHIR N19:21 Zoot-ei-oi Case No. 08-80736-CV-MARRA P-000709 EFTA00228089
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• 42. The words,• conduct, deeds, attions and/or inactions of Maxwell, Epstein, and/or the Wexners,.individually, or in concert, or as principal and agent, induced Shanks to act to his detriment by expending hundreds of hours in- the course of creating the painting..for the benefit sof the Wexner, and/or Epstein. 43. Shanks justifiably relied on the words, deeds, conduct, actions, or inactions of Maxwell, Epstein and/or the *comers in expending hundreds of hours to complete the painting of the Wexner family. 44. Specifically, Defendanta,gave Shanks free reign to compose the painting, to select phogographe upon which the painting would be based, and declined to give Shanks any direction whatever as to the ultimate Composition of the painting. 45. By the words, conduct, deeds, actions or inactions of Defendants, or any of them, Shanks:redsonably believed that he was given creative license to produce the painting of the Wexner family consistent with- his own uni40eIettle of painting, and consistent with prior works which wer4.known to and viewed by the Defendants. 46. Absent the specific words, conduct, deeds, actions or inactions of Defendants, or any of'ihem, Shanks would not have proceeded to expend hundreds of'hours to complete the painting of the Wexner family. 47. As the result of the inducements of the Defendants, or any of them, upon which Shanks reasonably relied, manifest injustice would result if Shanks is not paid for the t:.me and materials he expended in completing the painting of the Wexner family, which time is valued in excess of $325,000.00. Thr Med MO/020'd 50-1. ZM011ZZ11 d odZS:21 ZOOZ-01-0l Case No. 08-80736-CV-MARRA P-000710 EFTA00228090
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• V WHEREFORE, Plaintiff, Nelson Shanks demands judgment against Defendants Epstein and Maxwell, and the Wexners, jointly and/or severally, for a sum in excess of $325,000.00, exclusive of interest, costs, and -any other damages or relief that this Court may deem appropriate and just. Date: October 2, 2002 en-i 'ward smq M. GRIFFIN & ING. P.C. eenth Floor : • t-341; wr%i. mad e. ZwILIEM -00. I IsZS:2 I ZOE-et-a i Case No. 08-80736-CV-MARRA P-000711 EFTA00228091
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VIDIVMAD-9£L08-80 '0N asuD Date Item Credit Debit Balance Payee/Payor 4/11/2005 Dep $ 6,000.00 $ 6,000.00 Warren Newell GB&T #10037737 4/11/2005 Dep $ 25,444.13 $ 31,444.13 JPJ Development & Design LLC 4/11/2005 W/D $ 500.00 $ 30,944.13 Cash Back 4/13/2005 1001 $ 27.00 $ 30,917.13 Sharon R Bock, Clerk & Comptroller 4/19/2005 1003 $ 300.00 $ 30,617.13 Julie Newell 4/14/2005 1004 $ 4,000.00 $ 26,617.13 W Newell/Julie Newell 4/15/2005 1005 $ 197.24 $ 26,419.89 Mazada 4/20/2005 1006 $ 300.00 $ 26,119.89 Nancy Domeyer, MSW 4/15/2005 1008 $ 30.41 $ 26,089.48 City of Lake Worth 4/14/2005 1010 $ 500.00 $ 25,589.48 MBNA 4/15/2005 1011 $ 381.60 $ 25,207.88 Boat US 4/15/2005 1012 $ 15.78 $ 25,192.10 Adelphia 4/18/2005 1007 $ 500.00 $ 24,692.10 American Express Check Pymt 4/22/2005 1002 $ 500.00 $ 24,192.10 Citicard Payment Check Pymt 4/27/2005 Auto Deb $ 9.95 $ 24,182.15 Harland Checks Chk Order 4/29/2005 1003 $ 239.98 $ 23,942.17 FPL Payment Ctr Bill Pymt 4/29/2005 Interest $ 2.75 $ 23,944.92 Interest 5/9/2005 Dep $ 15,000.00 $ 38,944.92 SFRN, Inc 5/9/2005 W/D $ 2,000.00 $ 36,944.92 Cash Back 5/26/2005 Dep $ 2,854.33 $ 39,799.25 PBC-BCC 5/26/2005 W/D $ 600.00 $ 39,199.25 Cash Back 5/31/2005 Interest $ 1.95 $ 39,201.20 Interest 4/26/2005 1001 $ 873.00 $ 38,328.20 MBNA 4/26/2005 1002 $ 197.24 $ 38,130.96 Mazda 4/26/2005 1004 $ 974.16 $ 37,156.80 Chase 4/26/2005 1005 $ 962.50 $ 36,194.30 Jonathan Root 4/28/2005 1007 $ 10,000.00 $ 26,194.30 Linda Jaffe Esq 4/28/2005 1008 $ 3,500.00 $ 22,694.30 Glickman, Witter Marell PA 5/4/2005 1009 $ 5,000.00 $ 17,694.30 Sue Gent 5/4/2005 1010 $ 5,000.00 $ 12,694.30 Sue Gent EFTA00228092
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Page 2 of 2 maw, FEIN RECORD Information Currant Through: 03-11-2007 Database Last Updated: 03-13-2007 Update Frequency: QUARTERLY Source: Copyright 0 2007 by Dun & Bradstreet, Inc. Currant Date: 04/24/2007 BUSINESS INFORMATION Company Names J EPSTEIN FOUNDATION Address: 457 MADISON AVE NEW YORK, NY 10022 WSIN NUmbera DAS Source': DAB Company Name: DUNS Number: SIC: Kxecutivo Name: DEPARTMENT OF TREASURY - TAX EXEMPT J EPSTEIN G CO INC 62829903 INVESTMENT COUNSELORS EXECUTIVE INFORMATION JIMMY E MASTED; Title: PRESIDENT ENU UV 2007 Thomson/West. No Claim to Orig. U.S. Govt. Works. https://w eb2.west law.com/pri nt/pri fieitYlAk&-4t nat i on =atp &sv=S p I i t... 4/21O00i I 3 EFTA00228093
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Pagc 2 of 4 Atglaw. 0121385/1995 Page 1 TO ORDER COPIES OP ANY DOCUMENTS LISTED BELOW, CALL WESTIAW COURTEXPRESS 1-877-DOC-RETR (1-877-362-7387) (Additional Charges Apply). Dockets - NEW YORK SUPREME COURT Current Dates 04/24/2007 Source: SUPREME COURT, NEW YORK COUNTY, NEW YORK CAM smrcamanom Case Titles J. EPSTEIN G COMPANY 457 MADISON AVENUE CORP. Court: SUPREME COURT, NEW YORK COUNTY Divisions SUPREME Case Nuaber: 0121385/1995 Case Types CIVIL Case Subtypes OTHER REAL PROPERTY Case Complexity: COMPLEX, COMPUTER ASSIGNED Date Filed: 08/29/1995 Justice: LOUISE GRUNER GANS Case Status: DISPOSED RJI Type: ORDER TO SHOW CAUSE RJI Entry: ORDER TO SHOW CAUSE PART RJI Filed Date: 08/29/1995 RJI Date: 08/30/1995 RJI Pre NOT Deadlines 11/29/1996 PARTICIPANT iNFONNATION 2007 Thomson/Nest. No Claim to Orig. U.S. Govt. Works. ni tstrearn eNo.a2W07t.01-MARRA https://web2.westlaw.com/printip !pm tiimusaestination=atp&sv-Split... 4/247988314 EFTA00228094
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Page 3 o 1 4 0121385/1995 Page 2 Name: j. EPSTEIN E. COMPANY , INC. AND JEFFREY EPSTEIN. Type: PLAINTIFF Name: 457 MADISON AVENUE CORP. . Type: DEFENDANT ATTORNEY INFORMATION Firm/Attorney For: PLAINTIFF Firm Name: WACHTEL 6, MASYR L.L.P. Firm Address: 110 EAST 59TH STREET - 27TH FL NEW YORK, NEW YORK 10022 Firm Phone: CALENDAR INFORMATION Date/Tice: Description: Location: Judge: 04/24/1997 Event, Part: IAS PART 61 LOUISE GRUNER GANS SUPREME-INI TIAL(FIRST TIME ON) Disposition: OTHER FINAL DISP. (PRE-NOTE) 04/12/1996 Event, MOTION Part, IAS MOTION JOAN B. LOBIS Disposition: SUBMITTED 20 09/15/1995 Event, MOTION Part, IAS MOTION JOAN B. LOBIS Disposition: SUBMITTED 20 DOCKET PROCEEDINGS 2007 Thomson/West. No Claim to Orig. U.S. Govt. Works. haps://web2.weettaw.com/print/priziaaii2agi tination-miptsv-Split... 4/2111206q 15 EFTA00228095
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Page 4 of 4 0121385/1995 Date. 04/12/1996 09/15/1995 Entry Is Descriptions Docket Entry. MOTION Document Descriptions C Justices JOAN B. LOBIS Dispositions MOTION DISPOSED AS INDICATED Decision Date: 04/26/1996 Times 09:37:16 Docket Miscellaneous! DECISION DUE: 06/11/1996; FULLY SUBMITTED: 04/12/1996; ORDER DATE: 04/26/1996; DATE COUNTY CLERK NOTIFIED OF ORDER: 04/30/1996; REFERRAL DATE: 04/12/1996; REFERRAL PART NUMBER: IAS MOTION 20 Parts IAS MOTION 20 Date Docketed, Order Document for Later Delivery Docket Entry. EX PARTE Document Descriptions C Justices JOAN B. [OBIS Dispositions MOTION DISPOSED AS INDICATED Decision Date: 09/15/1995 Ttmes 09:38:43 Docket Miscellaneous, DECISION DUE: 11/14/1995; FULLY SUBMITTED: 09/15/1995; ORDER DATE: 09/15/1995; DATE COUNTY CLERK NOTIFIED OF ORDER: 09/21/1995 Parts IAS MOTION 20 Order Document for Later Delivery TO ORDER COPIES OF ANY DOCUMENTS LISTED ABOVE, CALL WESTLAW COURTEXPRESS 1-877-DOC-RETR (1-877-362-7387) (Additional Charges Apply). END OF DOCUMENT 2007 Thomson/West. No Claim to Orig. U.S. Govt. Works. Page 3 Party: https/Aweblveestlavteont/prinVpatikrelt9447A6Iciital J.: nation=atp&sv=Split... 41* EFTA00228096
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Page 2 of 4 Vti?stlaw. 121385/1995 Page 1 TO ORDER COPIES OF ANY DOCUMENTS LISTED BELOW, CALL WESTLAW COURTEXPRESS 1-877-DOC-RETR (1-877-362-7387) (Additional Charges Apply). Dockets - NEW YORK - COUNTY CLERK CIVIL INDEX Current Date: Source: 04/24/2007 COUNTY CLERK CIVIL INDEX, NEW YORK COUNTY, NEW YORK CASE INFORMATION Case Title: J EPSTEIN 4 COMPANY INC 1. 457 MADISON AVENUE CORP Court: COUNTY CLERK CIVIL INDEX, NEW YORK COUNTY Case Maher: 121385/1995 Description: PERSONAL INJURY: NO; PERSONAL DAMAGE: NO; EQUITABLE RELIEF: YES; PUBLIC ASSISTANCE: NO; MUNICIPALITY: NO Date Filed: 08/29/1995 Foe Informations Name: Type: Name: Type: INDEX PURCHASE FEE: YES; INDEX PURCHASE DATE: 08/29/1995; RJI PURCHASE FEE: YES; RJI PURCHASE DATE: 08/29/1995 PARTICIPANT INFORMATION J EPSTEIN i COMPANY INC PLAINTIFF EPSTEIN JEFFREY PLAINTIFF Names 457 MADISON AVENUE CORP 2007 Thomson/West. No Claim to Orig. U.S. Govt. Works. 7.00102 1 7 haps://web2.westlaw.com/print/princiiiiaNda2M01-94Watination=atp&sv=Split... 4/2t Diu/ EFTA00228097
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Page 3 of 4 121385/1995 TYPti: Firm Names Firm Address: DEFENDANT ATTOIUITY INIFORNATION WACHTEL i MASYR L.L.P., LAW FIRM 110 EAST 59TH STREET - 27TH FL NEW YORK, NEW YORK 10022 Firm Phone: Status: ATTORNEY FOR: PLAINTIFF DOCKET PROCEEDINGS Date: 05/01/1996 09/22/1995 09/18/1995 Entry S. Description: Docket Entry: ORDER IAS PART 20 SE0002-DENIED Entry Last Updated: 10/30/1999 Date Docketed: Order Document for Later Delivery Docket Entry: ORDER IAS PART 20 RESOLVED SEO.0 001 Document Description: PROOF OP SERVICE: NO Entry Last Updated: 09/25/1995 Order Document for Later Delivery Docket Entry: ANSWER Entry Last Updated: 10/30/1999 Order Document for Later Delivery • 2007 Thomson/West. No Claim to Orig. U.S. Govt. Works. Page 2 Partys https://web2.westlaw.com/print/prictitireeN:agiSiathvagelliAtination=atp&sv=Split... 4/2PtPie8318 EFTA00228098
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Page 4 of 4 121385/1995 08/29/1995 Docket Entry: SUMMONS AND COMPLAINT,MEMO OF LAW UNSIGNED ORDER TO SHOW CAUSE Document Description: PROOF OF SERVICE: NO Entry Last Updated: 08/31/1995 Order Document for Later Delivery TO ORDER COPIES OF ANY DOCUMENTS LISTED ABOVE, CALL WESTLAW COURTEXPRESS 1-877-DOC-RETR (1-877-362-7387) (Additional Charges Apply). END OF DOCUMENT c 2007 Thomson/West. No Claim to Orig. U.S. Govt. Works. Page 3 https://web2.westlaw.com/print/prigtineatkaiirtkWntitelnetination=atp&sv=Split... 4/214742 tf. 119 EFTA00228099
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FOR PUBLICATION IN THE DISTRICT COURT OF THE VIRGIN ISLANDS DIVISION OF ST. THOMAS AND ST. JOHN FINANCIAL TRUST COMPANY, INC. JEFFREY E. EPSTEIN, AND ) ) ) Plaintiffs, v. ) ) ) Civ. No. 2002-108 ) CITIBANK, N.A. AND CITIGROUP, d/b/a "CITIGROUP," INC. ) ) ) Defendants. ) ) ATTORNEYS: Maria Tankenson Hodge, Esq. Hodge & Francois St. Thomas, U.S.V.I., For the plaintiffs, Gregory H. Hodges, Esq. Dudley, Topper and Feuerzeig, LLP St. Thomas, U.S.V.I. For the defendants. MEMORANDUM OPINION Moore, J. Defendants have moved to dismiss the second amended complaint for failure to meet Federal Rule of Civil Procedure 9(b)'s heightened pleading requirement for fraud and for failure to state a claim upon which relief can be granted pursuant to Federal Rule of Civil Procedure 12(b)(6). I. Factual and Procedural History In their second amended complaint, Jeffrey E. Epstein and Case No. 08-80736-CV-MARRA P-000720 EFTA00228100