Case 1:16-cv-04642 Document1 Filed 06/20/16 Page 5 of 9
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Case 1:16-cv-04642 Document1 Filed 06/20/16 Page 5 of 9
sexual and physical abuse of her or else, specifically, Plaintiff and her family would be seriously
physically harmed, if not killed. Exhs. A and B.
14. While still under threats of physical harm by coming forward and having no
reason to believe that the threats have ever been lifted or would ever be lifted, Plaintiff, who has
suffered from stress, emotional distress, mental pain and suffering, among other problems, ever
since the assaults, was subjected to daily painful reminders of the horrific acts of one of the
perpetrators, Defendant Trump, via mass media coverage of him starting on or about June 16,
2015 that, over a short period of time, became continuous and unavoidable. Exh. A.
LS: As a direct and proximate result of the sexual assaults and rapes perpetrated by
Defendants upon her, Plaintiff has suffered stress, emotional distress, and mental pain and
suffering, as well as adverse physical consequences.
16. As a direct and proximate result of the sexual assaults and rapes perpetrated by
Defendants upon her, Plaintiff has suffered physical pain and suffering.
17. As a direct and proximate result of the sexual assaults and rapes perpetrated by
Defendants upon her, Plaintiff has been subjected to public scorn, hatred, and ridicule and has
suffered threats against her life and physical safety.
18. As a direct and proximate result of the sexual assaults and rapes perpetrated by
Defendants upon her, Plaintiff has incurred special damages, including medical and legal
expenses.
19, The sexual assaults and rapes perpetrated by Defendants upon Plaintiff were
intentional acts.
20. The conduct of Defendants demonstrates willful, reckless and intentional conduct
that raises a conscious indifference to consequences.
HOUSE_OVERSIGHT_026388
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