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📄 Extracted Text (228 words)
Case 1:17-cv-00616 Document 1 Filed 01126/17 Page 11 of 21
35. Defendant 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 wealth and influence to have Plaintiff
admitted into The Fashion Institute of Technology, known as "F.I.T.", in New
York City, or into a similar institute of higher learning offering a curriculum of
fashion industry training. Defendants Maxwell, and Groff each confirmed
this promise to Plaintiff many times.
38. Defendant Maxwell told Plaintiff she would need to provide
Defendant Epstein with body massages in order to reap the benefits of his and
Maxwell's connections. Maxwell and Epstein also threatened Plaintiff that, while
they had the ability to advance her education and career, they also had the ability to
make sure that she would obtain no formal education or modeling agency contracts
if she failed to provide the sexual favors desired by Defendant Epstein or abide by
the instructions given her by Defendants Epstein and Maxwell.
II
EFTA00313650
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