File 025937
Declaration in Support of Protective Order - Tiffany Doe Witness Statement (File 025937)
A sworn declaration from witness Tiffany Doe detailing allegations of sexual abuse of minors involving Donald Trump and Jeffrey Epstein at parties in New York City during 1994, filed in support of a plaintiff's request for protective order.
Summary
Tiffany Doe declares under penalty of perjury that she was employed by Jeffrey Epstein from 1990-2000, initially as an entertainer and later as a recruiter of adolescent women for Epstein's parties. She provides detailed testimony of witnessing Donald Trump's sexual abuse and rape of a 13-year-old plaintiff on multiple occasions in summer 1994, including threats made by both Trump and Epstein against the victim and witness. Doe also testifies to witnessing Epstein's sexual abuse of minors and threats made against herself and her family if she ever disclosed these incidents.
Case 1:16-cv-04642 Document 1-2 Filed 06/20/16 Page 1 of 2DECLARATION IN SUPPORT OF PLAINTIFF'S REQUEST FOR PROTECTIVE ORDERI, Tiffany Doe, a pseudonym, state as follows:1. I am a competent adult over 18 years of age able totestify 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 originally met Jeffrey E. Epstein in New York City in 1990 when I was the age of 22. I attended aseries of parties in that same year of 1990 where I was paid to entertain various guests of Mr. Epstein.3. In the year 1991, I was promoted to the occupation of party planner in which my duties were toget attractive adolescent women to attend these parties.4. I was hired by and paid directly by Mr. Epstein from the years of 1991-2000 to attract adolescentwomen to attend these parties, most of which were held at what is known as the Wexner Mansionlocated at 9 E. 71st St. in New York City.5. In June, 1994 while performing my duties as a recruiter of adolescent women to attend Mr.Epstein's parties, I met a 13-year-old adolescent woman, the Plaintiff in this matter, at the PortAuthority in New York City who said that she had come to New York City in the hope of starting amodeling career.6. I persuaded the Plaintiff to attend a series of parties of Mr. Epstein that took place during thesummer of 1994. I told her that, if she would join me at the parties, she would be introduced to peoplewho could get her into the modeling profession and she would be paid for attending.7. It was at these series of parties that I personally witnessed the Plaintiff being forced to performvarious sexual acts with Donald J. Trump and Mr. Epstein. Both Mr. Trump and Mr. Epstein wereadvised that she was 13 years old.8. I personally witnessed four sexual encounters that the Plaintiff was forced to have with Mr.Trump during this period, including the fourth of these encounters where Mr. Trump forcibly raped herdespite her pleas to stop.HOUSE OVERSIGHT 025937Case 1:16-cv-04642 Document 1-2 Filed 06/20/16 Page 2 of 29. I personally witnessed the one occasion where Mr. Trump forced the Plaintiff and a 12-year-oldfemale named perform oral sex on Mr. Trump and witnessed his physical abuse of both minorswhen they finished the act.10. I personally witnessed or was made immediately aware of the two occasions where my boss Mr.Epstein attempted to rape and sodomize the Plaintiff. I personally witnessed Mr. Epstein sexually andphysically abuse other minor females even younger than her.11. It was my job to personally witness and supervise encounters between the underage girls thatMr. Epstein hired and his guests.12. I personally witnessed Mr. Trump physically threaten the life and well-being of the Plaintiff if sheever revealed any details of the physical and sexual abuse suffered by her at the hands of Mr. Trump.13. I personally witnessed Mr. Epstein physically threaten the life and well-being of the Plaintiff ifshe ever revealed the details of the physical and sexual abuse she suffered at the hands of Mr. Epsteinor any of his guests.14. I personally witnessed Defendant Trump telling the Plaintiff that she shouldn't ever say anythingif she didn't want to disappear like the 12-year-old female Maria, and that he was capable of having herwhole family killed.15. After leaving the employment of Mr. Epstein in the year 2000, I was personally threatened byMr. Epstein that I would be killed and my family killed as well if I ever disclosed any of the physical andsexual abuse of minor females that I had personally witnessed by Mr. Epstein or any of his guests.16. I am coming forward to swear to the truthfulness of the physical and sexual abuse that Ipersonally witnessed of minor females at the hands of Mr. Trump and Mr. Epstein, including thePlaintiff, during the time of my employment from the years of 1990-2000 for Mr. Epstein. I swear tothese facts under penalty of perjury even though I fully understand that the life of myself and my familyis now in grave danger.I declare under penalty of perjury that the foregoing is true and ect.DATED: June 18, 2016Tiffany Poe, PudonymHOUSE OVERSIGHT 025938