EFTA00591461
EFTA00591494 DataSet-9
EFTA00591500

EFTA00591494.pdf

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IN THE CIRCUIT COURT OF THE DRAFT ELEVENTH JUDICIAL CIRCUIT, IN AND FOR DADE COUNTY, FLORIDA CIRCUIT CIVIL SECTION 34 CASE NO. 2014-21348-CA-01 JEAN-LUC BRUNEL, individually; and MC2 MODEL & TALENT MIAMI, LLC, Plaintiffs, vs. JEFFREY EPSTEIN; TYLER McDONALD; and TYLER McDONALD d/b/a YLORG, Defendants. DEFENDANT, JEFFREY EPSTEIN'S PROPOSAL FOR SETTLEMENT TO PLAINTIFF, MC2 MODEL & TALENT MIAMI, LLC Defendant, JEFFREY EPSTEIN, by and through his undersigned counsel, hereby serves this Proposal for Settlement upon Plaintiff, MC2 MODEL & TALENT MIAMI, LLC, pursuant to F.S. §768.79 and Florida Rule of Civil Procedure 1.442: 1. This Proposal is being made pursuant to F.S. §768.79 and Florida Rule of Civil Procedure 1.442. 2. This Proposal is made on behalf of Defendant, JEFFREY EPSTEIN. 3. This Proposal is being made to Plaintiff, MC2 MODEL & TALENT MIAMI, LLC. 4. This Proposal is directed to, and is intended to resolve, all claims, pled in the instant action (Case No. 14-21348 CA 01) including any and all claims for compensatory damages, interest, attorneys fees, and costs. EFTA00591494 Jean-Luc Brunel, individually, and MC2 Model & Talent Miami, LLC vs. Jeffrey Epstein, et al 11th Judicial Circuit Case No. 2014-21348-CA-01 Jeffrey Epstein's Proposal for Settlement to MC2 Model & Talent Miami, LLC Page 2 5. Plaintiff, MC2 MODEL & TALENT MIAMI, LLC, has not pled a claim for punitive damages against Defendant, JEFFREY EPSTEIN, individually, although this Proposal is intended to resolve all such claims if available. 6. Attorneys fees are not part of the legal claims brought by Plaintiff, MC2 MODEL & TALENT MIAMI, LLC, against Defendant, JEFFREY EPSTEIN, individually. However, this Proposal is intended to resolve all such claims if available. 7. The total amount of this Proposal is Five Thousand Dollars ($5,000.00) to be paid by Defendant, JEFFREY EPSTEIN, to Plaintiff, MC2 MODEL & TALENT MIAMI, LLC. S. The conditions of this Proposal are: (1) that Plaintiff, MC2 MODEL & TALENT MIAMI, LLC, shall execute and deliver to the undersigned counsel, the General Release, attached hereto, as Exhibit A. and (2) that Plaintiff, MC2 MODEL & TALENT MIAMI, LLC, shall, by and through his attorney, execute and deliver to the undersigned counsel the Stipulation For Dismissal With Prejudice, attached hereto, as Exhibit B. 9. This Proposal shall expire thirty (30) days from its service, unless withdrawn in writing prior to that date. 10. The acceptance of this Proposal must be in writing and must be an acceptance of the entire Proposal as outlined above. CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of the foregoing has been furnished to EFTA00591495 Jean-Luc Brunel, individually, and MC2 Model & Talent Miami, LLC vs. Jeffrey Epstein, et al 11th Judicial Circuit Caso No. 2014-21348-CA-01 Jeffrey Epstein's Proposal for Settlement to Ma Model & Talent Miami, LLC Page 3 Joe Titone, Esq., Counsel for Plaintiffs, 621 S.E. 5th Street, Pompano Beach, FL 33061, E-Mail by E-Mail, this day of September, 2015. W. CHESTER BREWER, JR., P.A. Attorneys for Jeffrey Epstein Phone Fax E-Mail: By: W. CHESTER BREWER, JR Florida Bar No. 261858 EFTA00591496 DRAFT GENERAL RELEASE TO ALL TO WHOM THESE PRESENTS SHALL COME OR MAY CONCERN: MC2 MODEL & TALENT MIAMI, LLC, for and in consideration of the sum of Five Thousand Dollars ($5,000.00) lawf-ul money of the United States of America, paid to it by JEFFREY EPSTEIN, the receipt whereof is hereby acknowledged, has remised, released, and forever discharged, and by these presents does remise, release, acquit, and forever discharge JEFFREY EPSTEIN, as well as his heirs, survivors, executors, administrators, agents, assigns, and attorneys (hereinafter referred to as "Releasees"), of and from all manner of action and actions, cause and causes of action, suits, debts, dues, sums of money, accounts, reckonings, bonds, bills, specialties, covenants, contracts, controversies, agreements, promises, variances, trespasses, damages, judgments, executions, claims and demands whatsoever, in law or in equity, which MC2 MODEL & TALENT MIAMI, LLC, ever had, now has, or may have against Releasees or hereafter can, shall or may have against Releasees, including, but not limited to, all claims for compensatory damages, punitive damages, penalties, interest, costs or attorney's fees, past, present, and future, and all other damages, without limitation, specifically arising out of that certain incident described more particularly in the action entitled JEAN-LUC BRUNEL, individually: and MC2 MODEL & TALENT MIAMI. LLC vs. JEFFREY EPSTEIN. TYLER McDONALD: and TYLER McDONALD d/b/a YLORG, 1 I th District Court Case No. 2014- 21348-CA-01, in and for Miami-Dade County, Florida ("the Action"). It is understood and agreed that this settlement is the compromise of a doubtful and disputed claim, and that the payment made is not to be construed as an admission of liability on the part of the party or parties hereby relesqM, and that Releasees deny liability therefore and intend merely to avoid litigation and buy peace. Es A EFTA00591497 It is understood and agreed that this General Release shall be construed, enforced and interpreted in accordance with the laws of the State of Florida and venue for any action to enforce or construe the General Release shall be Palm Beach County, Florida. IN WITNESS WHEREOF, M2 MODEL & TALENT MIAMI, LLC, has hereunto set its hand and seal on this day of , 2015. Signed , sealed and delivered in the presence of: MC2 MODEL & TALENT MIAMI, LLC By: Witness Printed Name and Title STATE OF FLORIDA COUNTY OF BEFORE ME, the undersigned authority, personally appeared, on behalf of MC2 MODEL & TALENT MIAMI, LW, who, upon being first duly sworn according to law, deposes and says that he executed the foregoing General Release and that the representations therein are true and correct to the best of his knowledge and belief. SWORN TO AND SUBSCRIBED before me this day of 2015. Individually Personally Known OR Produced Identification Type and Number of Identification Produced: My Commission Expires: NOTARY PUBLIC State of Florida at Large 2 EFTA00591498 IN THE CIRCUIT COURT OF THE 1DRAFT ELEVENTH JUDICIAL CIRCUIT, IN AND FOR DADE COUNTY, FLORIDA CIRCUIT CIVIL SECTION 34 CASE NO. 2014-21348-CA-01 JEAN-LUC BRUNEL, individually; and MC2 MODEL & TALENT MIAMI, LLC, Plaintiffs, vs. JEFFREY EPSTEIN; TYLER McDONALD; and TYLER McDONALD d/b/a YLORO, Defendants. STIPULATION FOR DISMISSAL WITH PREJUDICE COME NOW, the parties herein, by and through their undersigned attorneys, and show unto the Court that the parties hereto, Plaintiff, MC2 MODEL & TALENT MIAMI, LLC, and Defendant, JEFFREY EPSTEIN, individually, have agreed to amicably settle all claims brought in the above-styled cause. WHEREFORE, the parties petition this Court for an Order dismissing the claims brought by Plaintiff, MC2 MODEL & TALENT MIAMI, LLC, against Defendant, JEFFREY EPSTEIN, with prejudice, each party to bear its own attorneys fees and costs. The parties further request that the Court retain jurisdiction over this case for a period of sixty (60) days to enforce the terms of the settlement. JOE TITONE, ESQ. W. CHESTER BREWER, JR., P.A. Counsel for MC2 Model & Talent Miami, LLC Counsel for Jeffrey Epstein 621 S.E. 5th Street 250 S. Australian Ave., Suite 1400 Pompano Beach, FL 33061 West Palm Beach, FL 33401 E-Mail: [email protected] E-Mail: [email protected] By: By: JOE TITONE, ESQ. W. CHESTER BREWER, JR., ESQ. Florida Bar No. 203882 Florida Bar No. 261858 Dated: Dated: Es EFTA00591499
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EFTA00591494
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DataSet-9
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