Named in the Epstein Files

Jeffrey M. Herman

Associate
Also known as: Herman, Jeffrey Herman, Jeff M. Herman
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Flights
756
Documents
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Connections
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Emails
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Note: Inclusion in the Epstein files or this database does not imply guilt or wrongdoing. All data is sourced from publicly released government records, court filings, and verified reporting. This page is for public interest and accountability purposes only.
Background

Co-founding partner of Herman and Mermelstein PA in Miami, Florida, a firm that represented multiple Epstein victims in civil litigation starting as early as 2008. Wrote to prosecutors on September 16, 2008 to object to the restitution procedures in Epstein's non-prosecution agreement after learning that attorneys established through the NPA were making unsolicited contact with victims. Herman and Mermelstein PA represented numerous Jane Doe plaintiffs in federal suits against Epstein and his associates.

Flight Log Appearances
No flight log records found for Jeffrey M. Herman.
Related Documents
Letter: DOJ-OGR-00031855
· Doj · Correspondence
The letter is from Jeffrey M. Herman to Jack A. Goldberger, requesting to reschedule a deposition and to conduct a single deposition for both criminal and civil matters related to Jeffrey Epstein's case.
epstein-docs edoc-doj-ogr-00031855
CM/ECF - Live Pqtabase - flsd
· Efta-ds9 · Other
CM/ECF - Live Pqtabase - flsd Page 1 of 2 U.S. District Court Southern District of Florida (West Palm Beach) CIVIL DOCKET FOR CASE #: 9:08-cv-80993-DTICH Jane Doe No. 71 Epstein Assigned to: Judge Daniel T. K. Hurley Referred to: Magistrate Judge James M. Hopkins Cause: 28:1391 Personal Injury Plaintiff Jane Doe No. 7 Date Filed: 09/10/2008 Jury Demand: Plaintiff Nature of Suit: 710 Labor: Fair Standards Jurisdiction: Federal Question represented by Adam D. Horowitz Herman & Mermelstein, P.A. 18205 Biscayne Blvd. Suite 2218 Miami , FL 33160 305-931-2200 Fax: 305-931-0877 Email: ahorowitz@hermanlaw.com LEAD ATTORNEY ATTORNEY TO BE NOTICED Jeffrey Marc Herman Herman & Mermelstein 18205 Biscayne Boulevard Suite 2218 Miami , FL 33160 305-931-2200 Fax: 931-0877 Email: jherman@hermanlaw.com LEAD ATTORNEY ATTORNEY TO BE NOTICED Stuart S. Mermelstein Herman & Mermelstein 18205 Biscayne Boulevard Suite 2218 Miami , FL 33160 305-931-2200 Fax: 931-0877 E
efta efta-efta00175901 dataset-9 vol00009
HERMAN & MERMELSTEIN PA
· Efta-ds9 · Other
HERMAN & MERMELSTEIN PA ATTORNEYS AT LAW September 16, 2008 Via Fax and Re ular Mail ssis an . . orne 500 Australian Ave., Fourth Floor West Palm Beach, FL 33401 Re: Jeffrey Epstein Dear Ms. Jeffrey. m. Herman magai • Fax 305.931.0877 18205 Biscayne Blvd. Suite 2218 Miami, Florida 33160 www.hormanlaw.com This concerns your letters to us and to sexual assault victims opyfry Epstein dated September 2 2008 Please be advised that we strenuously object to your letters on various'grounds, and believe that they are iti iriolation of the Florida Bar Rules.' First, your letters attempt to steer the victims to a particular attorney, Mr. Josefsberg, and advise them that Mr. Josefsberg will be making an unsolicited contact to them in the next two weeks. This contact with prospective clients and solicitation reflected in your letters is contrary to Fla. Bar. Rule 4-7.4. Additionally, your letters are misleading in the following respects: (1) the action advocated to the vi
efta efta-efta00177791 dataset-9 vol00009
Case 9:08-cv-80119-KAM
· Efta-ds9 · Other
Case 9:08-cv-80119-KAM Document 26 Entered on FLSD Docket 07 21 '2008 Page 1 of 2 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE NO.: 08-CV-80119-MARRA/JOHNSON JANE DOE NO. 2, Plaintiff, vs. JEFFREY EPSTEIN, Defendant. DECLARATION OF JEFFREY M. HERMAN REGARDING SERVICE OF PROCESS AND THIS COURT'S ORDER TO SHOW CAUSE Jeffrey M. Herman, deposes and states as follows: I. I am counsel for Plaintiff in this action. After the parties' briefed the issue of service of process on Defendant Jeffrey Epstein, this Court found valid service under New York law and entered an Order to Show Cause Why Default Should Not be Entered Against Defendant Jeffrey Epstein, dated July 16, 2008. 2. I submit this Declaration to correct what appears to be a factual error in the Court's Order to Show Cause. I do so even though this error is in Plaintiff's favor. 3. In the Order to Show Cause, this Court finds that "[Ole process server also mailed a copy of the summons and co
efta efta-efta00222343 dataset-9 vol00009
Case 9:08-cv-80119-KAM
· Efta-ds9 · Other
Case 9:08-cv-80119-KAM Document 9-2 Entered on FLSQ Docket 06/11/2008 Page 1 of 5 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE NO.: 08-CV-80119-MARRA/JOHNSON JANE DOE NO. 2, Plaintiff, vs. JEFFREY EPSTEIN, Defendant. AFFIDAVIT OF JEFFREY M. HERMAN STATE OF FLORIDA ) SS: COUNTY OF MIAMI-DADE Jeffrey M. Herman, deposes and states as follows: 1. I am the attorney of record for Jane Doe No. 2, and have knowledge of the status and history of this case. 2. The Complaint filed in this action alleges that Defendant Epstein is a financier and money manager to billionaires, who himself is a man of tremendous wealth, power and influence. It alleges that Defendant Epstein preys on young teenage girls by inducing them to give him massages for compensation in his Palm Beach mansion, and then sexually assaulting them. 3. PlaintiffJane Doe No. 2 seeks damages for sexual assault against Defendant Epstein. This case was filed on February 6, 2008. On that day,
efta efta-efta00222595 dataset-9 vol00009
Case 9:08-cv-80069-KAM
· Efta-ds9 · Other
Case 9:08-cv-80069-KAM Document 9 Entered on FLSD Docket 02/22/2008 Page 1 of 2 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE NO.: 08-80069-CIV-MARRA/JOHNSON JANE DOE NO. I, by and through JANE DOE's FATHER as parent and natural guardian, and JANE DOE's FATHER, and JANE DOE's STEPMOTHER, individually, Plaintiffs, vs. JEFFREY EPSTEIN, Defendant. NOTICE OF VOLUNTARY DISMISSAL WITHOUT PREJUDICE Plaintiffs, Jane Doe No. 1 by and through Jane Doe's Father as parent and natural guardian, and Jane Doe's Father, and Jane Doe's Stepmother, individually, hereby give notice of their voluntary dismissal of this action against all Defendant Jeffrey Epstein without prejudice pursuant to Fed.R.Civ.P. 41(1)(A). Dated: February 22, 2008 HERMAN & MERMELSTEIN. P. A. Respectfully submitted, By: s/ Jeffrey M. Herman www.hermanlaw.com EFTA00234058 Case 9:08-cv-80069-KAM Document 9 Entered on FLSD Docket 02/22/2008 Page 2 of 2 CERTIFICATE OF SERVICE I hereby c
efta efta-efta00234058 dataset-9 vol00009
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