Case 1:16-cv-04642 Documenti-1 Filed 06/20/16 Page 1 of 2 DECLARATION IN SUPPORT OF PLAINTIFF’S REQUEST FOR PROTECTIVE ORDER |, Jane Doe, the Plaintiff in this matter proceeding under a pseudonym, state as follows: \ 1. | am a competent adult over 18 years of age able to testify as to personal knowledge. The facts in this declaration are true and correct to the best of my knowledge, information, and belief, and | am competent to testify to them if called upon to do so. 2. | 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 a residence used by Defendant Epstein. During this period, | was 13 years old. 3. More particularly, | traveled by bus to New York City in June 1994 in the hope of starting a modeling career. | went to several modeling agencies but was told that | needed to put together a modeling portfolio before | would be considered, | then went to the Port Authority in New York City to start to make my way back home. There | met a woman who introduced herself to me as J She told me about the parties and said that, if | would join her at the parties, | would be introduced to people who could get me into the modeling profession. J also told me | would be paid for attending. 4. The parties were held at a New York City residence that was being used by Defendant Jeffrey Epstein. Each of the parties had other minor females and a number of guests of Mr. Epstein, including Defendant Donald Trump at four of the parties | attended. 1 understood that both Mr. Trump and Mr. | Epstein knew that | was 13 years old. | 5. Defendant Trump had sexual contact with me at four different parties in the summer of 1994. 7 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 sexual attack, ! loudly ple