
The Epstein Survivors And Their Lawsuit Against Frederic Fekkai (Part 1) (9/11/26)
About this episode
The complaint went further by accusing Fekkai and Coombs of knowingly enabling gender-motivated violence and helping create conditions that allowed Epstein’s trafficking operation to continue. It cited Sarah Kellen’s allegation that Fekkai sexually assaulted her in the early 2000s and noted that House investigators had already asked the Justice Department to investigate Fekkai over his relationship with Epstein. The plaintiffs brought the case under New York City’s Gender-Motivated Violence Protection Act, relying on a 2026 amendment that reopened a window for survivors to sue not only alleged abusers but also people or entities accused of enabling the abuse. The women sought damages, punitive damages, attorneys’ fees and other relief, arguing that Epstein could not have maintained such a sprawling system of exploitation without people around him providing access, services and infrastructure. Fekkai has denied allegations of wrongdoing, and the filing represented the plaintiffs’ allegations, not a judicial finding that he or Coombs committed the acts described.
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The Moscow Murders and More — The Epstein Survivors And Their Lawsuit Against Frederic Fekkai (Part 1) (9/11/26). Machine-transcribed; use the interactive transcript above to jump the player to any line.
What's up everyone and welcome to another episode of the Epstein Chronicles. In this episode we're going to begin taking a look at the lawsuit filed by Jane Dono No. 1, Jane Dono No. 2, Jane Dono No. 3, Jane Dono 4, Jane Dono 5, and Krzysztof Ferguson and Audra Krzysztof. And their lawsuit against Frederick Fokai can plaint and jury trial demanded. Jane Dono No. 1, Jane Dono 2, Jane Dono 3, Jane Dono 4, Jane Dono 5, Krzysztof Ferguson, and Audra Krzysztof, collectively plaintiffs, buy and through their attorney at Mercen Law, PLLC, and as for their verified complaint in this action against defendants, collectively defendants, Frederick Fokai, Frederick Fokai and company, and Patrick Coombs, hereby alleged the following and upon information and belief, and to all other matters as follows. 1, Nature of Claims
On August 31st, 2026, Representative Thomas Massey, named Frederick Fokai as one of 14 Jeffrey Epstein co-conspirators who should be investigated and prosecuted. Frederick Fokai was an enabler of Jeffrey Epstein's abuse and victims and plaintiff Frederick Fokai and Dysalons and entities acted as perk machines for Epstein for over 15 years, enabling Epstein to control and abuse young women while Frederick Fokai gained the financial windfall. Without Epstein Fokai brands would not have grown into the billion dollar beauty product Mainstay, without Epstein Fokai product would not have landed in stores, like Victoria Secret, a company owned by Les Wexner. Bloomberg News reported that Epstein connected Fokai, the global businessman in Hong Kong and Epstein helped, form his haircare products company. Epstein used Fokai and his entities to control and further abuse of the victims and in turn, Fokai made millions. Jane Doe's one through five, Kristy Ferguson and Audra Chrissianson, were sent to Fokai
by Epstein during which services were always provided under Epstein's direction and control. Fokai groomed the victims to look as young as possible under Epstein's direction, Epstein would direct Fokai to bleach victims blonde and groom them like dolls and to Epstein and others liking. Further upon information and belief defend in Patrick Coombs, one of Fokai's employees facilitated, enabled, and groomed the victims to Epstein's liking and that is a request. Fokai and Coombs collaborated with Epstein so that plaintiffs looked young and how we wanted them so that he could sexually abuse them and have gender-motivated violence committed against them. The Department of Justice released 3,118 documents and emails related to Fokai's salon, which was the epicenter for victim grooming. Frederick Fokai's flagship salon was located at 712, 5th Avenue, within the Henry Bendle Department Store, which was owned by Epstein's affiliate Leslie Wexner until 2019. Fokai Heraproducts were carried, avictorious secret stores, Epstein cannot commit gender-motivated
violence and sex trafficking of hundreds of children and very young women without the ring of enablers who became richer with every year of abuse. Epstein used Fokai as employees and his entities to intimidate and control over his victims. Epstein frequently brought in groups of young women and would have them sit on his lap and stroke his hair. Fokai played a pivotal role in Epstein's grooming scheme by routinely providing salon services to women at Epstein's instruction. Sarah Kellen also provided testimony and name Fokai as an enabler and an abuser. Ms. Kellen testified that she was sexually assaulted by Fokai in the early 2000s. On June 4, 2026, House Republicans asked the Justice Department to investigate Fokai, naming him as Epstein's longtime assistant as being complicit in the abuse. In a letter to the Department of Justice from the Committee on Oversight and Government Reform, it was stated that Mr. Fokai was a close friend of Epstein, who played a role in his grooming schemes by routinely providing salon services to women at Mr. Epstein's instruction.
Fokai enabled Epstein to commit acts of gender-motivated violence against plaintiffs and other women. Epstein utilized Fokai's salons as a network to manipulate coerce and commit acts of gender-motivated violence against victims and the plaintiff. Without Fokai, Epstein would not have been able to control and commit gender-motivated violence against the victims. Fokai, his employees, and his entities enabled Epstein to build a vast and sophisticated sex trafficking operation, which he used ruthlessly to commit acts of gender-motivated violence upon plaintiff, causing them significant and lifelong injuries. Background Jeffrey Edward Epstein was a notorious sexual predator responsible for committing gender-motivated violence against hundreds of women and minor girls, including the plaintiffs herein. Only one of Epstein's victims was female, conclusively demonstrating that his acts of sexual violence were motivated by gender. As his clear Epstein's conduct against plaintiff constituted gender-motivated violence, which
resulted in severe and protracted pain and suffering for plaintiffs. Defendant Frederick Fokai and his entity Frederick Fokai and company, LLC and his employee Patrick Cooms, played critical roles in enabling and conspiring with Epstein to commit acts of gender-motivated violence against plaintiffs and grooming and controlling plaintiffs. By following Epstein's direction and instruction so that plaintiffs look younger, and like he wanted them to, if not for defendants acting as a cog in the Perks machine, Epstein would not have been able to run a sex trafficking operation and commit gender-motivated violence against hundreds of women and minor girls, including plaintiffs. Venue jurisdiction and timeliness This action is brought under the Gender-motivated Violence Protection Act. Hereafter, GMVA, New York Administrative Code, Section 10-1101. On January 29, 2026, an amendment to the GMVA, Introduction 1297A, herein after intro 1297,
was enacted by the New York City Council. The amendment D2 allows survivors of gender-motivated violence who were harmed prior to January 29, 2022, to file suit against their abuser, and or any other individual or entity who enabled the conduct of set abuser, within 18 months of intro 1297's enactment, on January 29, 2026, as such this action is timely under intro 1297. Further, the GMVA is not preempted by any other law because it addresses all acts of gender-motivated violence, not merely conduct that constitutes a violation of the penal law. General Victims Act, herein after CVA, pursuant to New York Civil Practice Law, and Rules Section 214G, herein after CPLR, and Adult Survivors Act, New York CPLR, Section 214J, herein after ASA, Revive Common Law Assault, Battery, Negligence, and Negligent Hiring Retention, and Supervision Causes of Action. While the GMVA's intro 1297 provides a cause of action pursuant to the GMVA for gender-motivated
violence, and includes explicit provisions for punitive damages, attorney fees, and junked of relief that the CVA and ASA do not. See De Duce versus State of Jeffrey Epstein, New York Index Number 151301, 2026. Justice Adam Silvera recently held that its evident upon both a plain reading and examination of purpose of the subject, statutes, and local law, that the GMVA, which created a new civil rights cause of action, were nonexistent at the time, is not and was not intended to be preempted by two revival statutes that were directed towards sexual assault cases and causes of action. This court has personal jurisdiction over the defendant's pursuant to New York CPLR Section 301 and 302. Further jurisdiction is proper in the court pursuant to CPLR Section 301, 302, as defendant Frederick Fokai and plaintive Christy Ferguson are domiciled in the State of Connecticut
and Patrick Holmes is domiciled in New York City, so there is not complete diversity of parties. Then he was proper in this court pursuant to CPLR Section 503 because at all times herein mentioned, a substantial part of the accidental missions alleged herein occurred in New York County in the City of New York and defendant Patrick Holmes is domiciled in New York County in the City of New York. Defendants conduct violated New York's GMVA that exists to protect and provide legal recourse to persons including the plaintiffs herein, from acts of gender-motivated violence as perpetrated by abstin and his associates. Furthermore any statute of limitation that would otherwise apply to plaintive's claims herein is told in a court with a doctrine of equitable Eastoppel, as based on the deception, duress, fraud, and or threats of retaliation and misconduct that abstin and his co-conspirators used to silence his victims including plaintiffs.
At a minimum the same conduct by abstin and his associates deprived plaintiffs of their legal rights and an opportunity to commence this lawsuit prior to Epstein's death in August of 2019. Accordingly, defendants are equitably Eastopped from asserting a statute of limitations defense. Parties, plaintive Jandou 1 is a resident of the state of New York. Plaintive Jandou 2 is a resident of the state of New York. Plaintive Jandou 3 is a resident of the state of Idaho. Plaintive Jandou 4 is a resident of the state of Montana. Plaintive Jandou 5 is a resident of the state of Rhode Island. Plaintive Kristie Ferguson is a resident of the state of Connecticut. Audra Christensen is a resident of the state of Florida. At all times herein mentioned, defendant Frederick Fokai has maintained the place of business in Manhattan and resides in Connecticut. At all times herein mentioned, defendant Frederick Fokai was and is a corporation duly organized and existing under and by the laws of the state of Delaware and its agents, servants,
and or employees were in charge of and controlled, supervised, operated, inspected, managed, and maintained hair salons in Manhattan where Frederick Fokai enabled Epstein's sexual abuse and grooming of plaintives as described below. At all times herein mentioned, defendant Patrick Coombs was an employee at Fokai's hair salons in Manhattan where Frederick Fokai enabled Epstein's sexual abuse and grooming of plaintives as described below. Alright folks, we're going to wrap up right here and in the next episode we're going to pick up with factual history. All the information that goes with this episode can be found in the description box.
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