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📄 Extracted Text (875 words)
03/10/2000 17:02 FAX 5815153148 BURMAN CRITTON LUTTIER QD003/010
SETTLEMENT AGREEMENT AND GENERAL RELEASE
individually, on the one hand, and Jeffrey Epstein and
on the other hand, (jointly referred to as °Parties, enter into this Settlement
Agreement and General Release ("Settlement Agreement") in order to resolve the pending
litigation (the "Litigation") between them as follows:
1. Case No. 502008CA006596,000048 AB. The Parties agrees to
Immediately dismiss the pending lawsuit presently styled Jane Doe, by and through Jane
Doe's Mother as parent and natural guardian v. Jeffrey Epstein, M, and
Case No. 502008CA006598)0OO(MB AB (Fla. 15th Jud. Cir. Ct.) with prejudice
upon payment and clearance of the settlement amount. Each party shall bear their own
fees and costs.
2. General Release. and each of her agents, attorneys,
predecessors, successors, heirs, administrators and assigns (hereinafter 'First Parties"),
for and in consideration of the sum of Fifty Thousand Dollars, ($50.000.00) or other
valuable considerations, received from or on behalf of Jeffrey Epstein, by (hereinafter
"Second Parties"), the receipt whereof is hereby acknowledged,
(wherever used herein the terms "First Parties" and "Second Parties" shall
include singu) representatives. Second Parties
also includes and any other person who could
have been included as a efe an eintiffs claim.)
HEREBY remise, release, acquit, satisfy, and forever discharge the said Second
Parties of and from all, and all manner of action and actions (State or Federal), cause and
causes of action (common law or statutory), suits, debts, dues, sums of money, accounts.
reckonings, bonds, bills, specialties, covenants, contracts, controversies, agreements.
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promises, variances, trespasses, damages, judgments, executions, claims and demands
whatsoever in law or in equity for compensatory or punitive damages which said First
Parties ever had, now has, or which any personal representative, successor, heir or assign
of said First Parties, hereafter can, shall or may have, against said Second Parties, for,
upon or by reason of any matter, cause or thing whatsoever (whether known or unknown),
from the beginning of the world to the day of this release.
It is further agreed that this is the settlement of a disputed claim and is intended to
avoid litigation and shall not be construed to be an admission of liability or fault by any
Party.
The First Parties further confirm and acknowledge that thls settlement and release is
being entered into without any duress or undue influence, and she has had a full and
complete opportunity to discuss the settlement and this release with hor attorneys.
The First Parties agree to pay any outstanding bills relating to this matter from all
healthcare providers and satisfy any liens arising out of her claim and to hold Second Party
harmless from same, including costs and attorneys' fees.
3. Enforcement. This Settlement Agreement shall be governed by the laws of
the State of Florida. Any dispute arising out of this Settlement Agreement shall be
resolved exclusively in the courts of Palm Beach County, Florida. In the event of litigation
arising out of a dispute over the Interpretation of this Settlement Agreement, the preva-ling
party shall be entitled to recover its cost of litigation, Including attorney fees and other
reasonable costs of litigation.
4. Payment, Payment of the settlement funds shall be made to Plaintiff and her
attorneys within 10 days of the signing of this agreement by all parties.
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5. Miscellaneous. This Settlement Agreement was negotiated and entered
into by the parties with the advice and assistance of counsel. This Settlement Agreement
may he executed by the parties in counterparts on separate signature pages. The parties
and their counsel will cooperate to execute the necessary paperwork and court filings to
cant' out the terms of this Settlement Agreement.
It is So Agreed:
Date
STATE OF eflOCida )
COUNTY OF 4theitheciuk )
vJ
BEFORE ME, the undersigned authority, personally appeared Mantilie — tt
who is personally known to me or has produced persoy,Aki kmaur, as identification,
and executed the foregoing instrument.
WITNESS my hand and official seal this S , 2009.
Notary P blic j
Print Na e: 1, 1Avt
Commission No.: itIt b 4$3q741
My Commission Expires: -2-009
3
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STATE OF )
COUNTY OF )
BEFORE ME, the undersigned authority, personally appeared Jeffrey Epstein who
is personally known to me or has produced , as identification, and
executed the foregoing instrument.
WITNESS my hand and official sea! this day of 2009.
Notary Public
4 Print Name:
Commission No.:
1 My Commission Expires:
STATE OF )
COUNTY OF )
undersigned authority, personally appeared who
or has produced , en ca io 1, and
()mg instrument.
WITNESS my hand and official seal day of (lb\ G91 , 2009.
N0WYPinauc-srArs AWFLORMA Notary Public,
" )Vimmission
Want Patricia Arthuso Print Name: lilt)
Co #DD656882
sisri
aotair' Expires. Commission No.:
MAY 04, 2011 My Commission Expires:
LAARIC EXIXD:NG co,INC
4
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EFTA00730065
ℹ️ Document Details
SHA-256
9b44c7325db9d5a0b19a0cc18b470bf7022f2a5b05c1de7b9c30980523854ce6
Bates Number
EFTA00730062
Dataset
DataSet-9
Type
document
Pages
4
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