File 025939
Declaration in Support of Protective Order - Jane Doe v. Trump and Epstein (File 025939)
A sworn declaration from Jane Doe filed in June 2016 detailing allegations of sexual abuse and rape by Donald Trump and Jeffrey Epstein at parties in New York City in summer 1994 when she was 13 years old, submitted in support of a request for a protective order.
Summary
Jane Doe's declaration describes traveling to New York City in June 1994 for a modeling career opportunity and being introduced to parties at Jeffrey Epstein's residence. She alleges sexual contact and rape by Donald Trump at four parties and by Jeffrey Epstein at two parties, including threats to her and her family to maintain silence. The document details the psychological impact of these threats and subsequent threatening phone calls received after filing her initial complaint in April 2016, leading to her request for court protection.
Case 1:16-cv-04642 Document 1-1 Filed 06/20/16 Page 1 of 2DECLARATION IN SUPPORT OF PLAINTIFF'S REQUEST FOR PROTECTIVE ORDERI, Jane Doe, the Plaintiff in this matter proceeding under a pseudonym, state as follows:1. I am a competent adult over 18 years of age able to testify as to personal knowledge. The factsin this declaration are true and correct to the best of my knowledge, information, and belief, and I amcompetent to testify to them if called upon to do so.2. I was subject to extreme sexual and physical abuse by the Defendants, including forcible rape,that took place at several parties of Defendant Epstein during the summer of 1994 in New York City at aresidence used by Defendant Epstein. During this period, I was 13 years old.3. More particularly, I traveled by bus to New York City in June 1994 in the hope of starting amodeling career. I went to several modeling agencies but was told that I needed to put together amodeling portfolio before I would be considered. I then went to the Port Authority in New York City tostart to make my way back home. There I met a woman who introduced herself to me as Shetold me about the parties and said that, if I would join her at the parties, I would be introduced topeople who could get me into the modeling profession, also told me I would be paid forattending.4. The parties were held at a New York City residence that was being used by Defendant JeffreyEpstein. Each of the parties had other minor females and a number of guests of Mr. Epstein, includingDefendant Donald Trump at four of the parties I attended. I understood that both Mr. Trump and Mr.Epstein knew that I was 13 years old.5. Defendant Trump had sexual contact with me at four different parties in the summer of 1994.On the fourth and final sexual encounter with Defendant Trump, Defendant Trump tied me to a bed,exposed himself to me, and then proceeded to forcibly rape me. During the course of this savage sexualattack, I loudly pleaded with Defendant Trump to stop but he did not. Defendant Trump responded tomy pleas by violently striking me in the face with his open hand and screaming that he would dowhatever he wanted.6. Immediately following this rape, Defendant Trump threatened me that, were I ever to revealany of the details of Defendant Trump's sexual and physical abuse of me, my family and I would bephysically harmed if not killed.7. Defendant Epstein had sexual contact with me at two of the parties that summer. On thesecond occasion involving Defendant Epstein, Defendant Epstein forced himself upon me and proceededto rape me anally and vaginally despite my loud pleas to stop. Defendant Epstein then attempted tostrike me about the head with his closed fists while he angrily screamed at me that he, DefendantEpstein, should have been the one who took my virginity, not Defendant Trump, before I finallymanaged to break away from Defendant Epstein.HOUSE OVERSIGHT 025939Case 1:16-cv-04642 Document 1-1 Filed 06/20/16 Page 2 of 28. Immediately following this rape, just like Defendant Trump, Defendant Epstein threatened menot to ever reveal any of the details of Defendant Epstein's sexual and physical abuse of me or else myfamily and I would be physically harmed if not killed.9. Both Defendants had let me know that each was a very wealthy, powerful man and indicatedthat they had the power, ability and means to carry out their threats. Indeed, Defendant Trump statedthat I shouldn't ever say anything if I didn't want to disappepr like , a 12-year-old female that wasforced to be involved in the third incident with Defendant Trump and that I had not seen since that thirdincident, and that he was capable of having my whole family killed.10. The duress imposed on me by Defendants not to ever reveal any of the details of the sexual andphysical abuse caused to me by Defendants has not terminated and the fear it has instilled in me has notsubsided. Unfortunately, making matters worse for me, I was subjected to daily painful reminders ofthe horrific acts of Defendant Trump via mass media coverage of him starting last summer that, over ashort period of time, became continuous and unavoidable.11. The duress had prevented me from starting litigation before this year. However, as soon as Isurfaced, I received threats. More specifically, shortly after my first complaint was filed in California onApril 26, 2016, I started receiving threatening phone calls on a cell phone I then owned. The calls werenever for more than 20 seconds or so before they hung up and they were always from a blocked orunavailable phone number according to my caller ID feature. Since I changed phone numbers, thethreatening calls have completely stopped.12. This litigation involves matters that are highly sensitive and of a personal nature, and I believethat identification of me would pose a risk of retaliatory physical harm to me and to others.13. I have no reason to believe that the Defendants' threats have ever been lifted or will ever belifted and so I request that the Court issue an order protecting me and my family from harm andharassment by the Defendants.I declare under penalty of perjury that the foregoing is true and correct.DATED: June 18, 2016ne Doe, a pseudonymHOUSE OVERSIGHT 025940