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      Case 1:19-cv-09610-PAE-DCF                Document 39      Filed 01/09/20       Page 1 of 2
         Case 1:19-cv-09610-PAE-DCF Document 38 Filed 01/08/20 Page 1 of 2




 UNITED STATES DISTRICT COURT
 SOUTHERN DISTRICT OF NEW YORK


  JANE DOE 17,

                                  Plaintiff,
                  v.                                          Case No. I: l 9-cv-09610-PAE-DCF

 DARREN K. INDYKE AND RICHARD D. KAHN,
 AS JOINT PERSONAL REPRESENTATIVES OF
 THE ESTATE OF JEFFREY E. EPSTEIN, NINE
 EAST 71st STREET CORPORATION, LAUREL,
 INC., FINANCIAL TRUST COMPANY, INC.,
 NES, LLC, MAPLE, INC., LSJE, LLC, HBRK
 ASSOCIATES, INC., NAUTILUS, INC.,
 CYPRESS, INC. and JEGE, INC.

                                  Defendants.


              JOINT STIPULATION AND [PRQPOS~RDER STAYING ACTION
             WHEREAS independent claims administration experts are designing and implementing

the Epstein Victims' Compensation Program (the "Program") to resolve sexual abuse claims

against decedent Jeffrey E. Epstein ("Decedent") in a non-adversarial alternative to litigation;

and

         WHEREAS Plaintiff Jane Doe I 7 ("Plaintjff"; and together with Defendants Darren K.

Indyke and Richard D. Kahn, Co-Executors of the Estate of Jeffrey E. Epstein, Nine East 71st

Street Corporation, Laurel, Inc., Financial Trust Company Inc., NES LLC, Maple, Inc., LSJE,

LLC, HBRK Associates, Inc., Nautilus, Inc., Cypress, Inc., and JEGE, Inc., the "Parties") seeks

to participate in the Program; and

         WHEREAS the Parties seek to preserve their resources and judicial economy by staying

this action unless and until Plaintiff ceases her participation in the Program; and




40967362vl
     Case 1:19-cv-09610-PAE-DCF               Document 39        Filed 01/09/20       Page 2 of 2
         Case 1:19-cv-09610-PAE-DCF Document 38 Filed 01/08/20 Page 2 of 2




             WHEREAS, should Plaintiff resolve her claims against Decedent via the Program, the

 Parties will therea

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