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Beyond The Horizon

Diddy Do It: Adria English And Her Allegations Made Against Diddy (Part 10) (7/14/24)


Adria English, a former porn star, has filed a lawsuit against Sean "Diddy" Combs, accusing him of grooming her into sex trafficking. According to English, she met Combs in 2004 through her boyfriend, who was auditioning for a modeling gig with Combs' company, Sean John. English claims that Combs coerced her into becoming a go-go dancer at his parties and that she was given drugs, including ecstasy, to impair her judgment. She alleges that Combs demanded she have sex with other individuals, including jeweler Jacob Arabov, and that she was sexually assaulted by several people at Combs' parties.


Combs' legal team has denied all allegations, stating that Combs has never engaged in sexual assault or sex trafficking. They argue that the numerous lawsuits against him are baseless attempts to gain money​.


In this episode, we begin taking a look at her complaint in full.  

(commercial at 7:42)

to contact me:

bobbycapucci@protonmail.com


source:

English (digitalmusicnews.com

Duration:
13m
Broadcast on:
14 Jul 2024
Audio Format:
mp3

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Ninth cause of action. Sex trafficking against defendant combs, 323, plaintiff incorporates, by reference, all preceding paragraphs, and re-alleges them as if set forth fully herein. Three twenty-four. Defendant combs created an unreasonable risk of causing emotional distress to a plaintiff and defendant combs knew or should have known that such conduct was likely to result in emotional distress that might and/or likely would cause illness or bodily harm. Three twenty-five. plaintiff's emotional distress was foreseeable to defendant combs, three twenty-six. As a direct and proximate result of the negligent conduct of defendant combs, plaintiff suffered and will continue to suffer severe emotional distress. Three twenty-seven. Defendant combs conduct was wanton, malicious, willful, and/or cruel, entitling the plaintiff to punitive damages. Tenth cause of action. Sex trafficking against defendant Jacob. Three twenty-eight. plaintiff incorporates, by reference, all preceding paragraphs, re-alleges them as if set forth fully herein. Three twenty-nine. Defendant Jacob created an unreasonable risk of causing emotional distress to plaintiff and defendant Jacob knew or should have known that such conduct was likely to result in emotional distress that might and/or likely would cause illness or bodily harm. Three thirty. plaintiff's emotional distress was foreseeable to defendant Jacob, three thirty-one. As a direct and proximate result of the negligent conduct of defendant Jacob, plaintiff suffered and will continue to suffer severe emotional distress. Three thirty-two. Defendant Jacob's conduct was wanton, malicious, willful, and/or cruel, entitling the plaintiff to punitive damages. The eleventh cause of action. Sex trafficking against defendant Thomas. Three thirty-three. plaintiff incorporates, by reference, all preceding paragraphs and re-alleges them as if set forth fully herein. Three thirty-four. Defendant Thomas created an unreasonable risk of causing emotional distress to plaintiff and defendant Thomas knew or should have known that such conduct was likely to result in emotional distress that might and/or likely would cause illness or bodily harm. Three thirty-five. plaintiff's emotional distress was foreseeable to defendant Thomas. Three thirty-six. As a direct and proximate result of the negligent conduct of defendant Thomas, plaintiff suffered and will continue to suffer severe emotional distress. Three thirty-seven. Defendant Thomas's conduct was wanton, malicious, willful, and/or cruel, entitling the plaintiff to punitive damages. Twelfth cause of action. Sex trafficking against defendant BBE. Three thirty-eight. Fifth incorporates, by reference, all preceding paragraphs and re-alleges them as if set forth fully herein. Three thirty-nine. Defendant BBE created an unreasonable risk of causing emotional distress to plaintiff and defendant BBE knew or should have known that such conduct was likely to result in emotional distress that might and/or likely would cause illness or bodily harm. Three forty. Defendant BBE's emotional distress was foreseeable to defendant BBE. Three forty-three. Defendant SJC created an unreasonable risk of causing emotional distress to plaintiff and defendant SJC knew or should have known that such conduct was likely to result in emotional distress that might and/or likely would cause illness or bodily harm. Three forty-five. Three forty-six. As a direct and proximate result of the negligent conduct of defendant SJC, plaintiff suffered and will continue to suffer severe emotional distress. Three forty-seven. Defendant's SJC conduct was wanton, malicious, willful, and/or cruel, entitling the plaintiff to punitive damages. Fourteenth cause of action. Sex trafficking against defendant CGE. Three forty-eight. Defendant by reference all preceding paragraphs and re-allegism as if set forth fully herein. Three forty-nine. Defendant CGE created an unreasonable risk of causing emotional distress to plaintiff and defendant CGE knew or should have known that such conduct was likely to result in emotional distress that might and/or likely would cause illness or bodily harm. Three fifty. Plaintive's emotional distress was foreseeable to defendant CGE, three fifty-one, as a direct and proximate result of the negligent conduct of defendant CGE, plaintiff suffered and will continue to suffer severe emotional distress. Three fifty-two. Defendant CGE's conduct was wanton, malicious, willful, and/or cruel, entitling the plaintiff to punitive damages. Fifteenth cause of action. Sex trafficking against defendant Vibe. Three three. Plaintive incorporates by reference all preceding paragraphs and re-allegism as if set forth fully herein. Three fifty-four. Defendant Vibe created an unreasonable risk of causing emotional distress to plaintiff and defendant Vibe knew or should have known that such conduct was likely to result in emotional distress that might and/or likely would cause illness or bodily harm. Three fifty-five. Plaintive's emotional distress was foreseeable to defendant Vibe. Three fifty-six. As a direct and proximate result of the negligent conduct of defendant Vibe, plaintiff suffered and will continue to suffer severe emotional distress. Three fifty-seven. Defendant Vibe's conduct was wanton, malicious, willful, and/or cruel, entitling the plaintiff to punitive damages. Sixteenth cause of action. Three fifty-eight. Plaintive incorporates by reference all preceding paragraphs and re-allegism as if set forth fully herein. Five fifty-nine. Defendant PMC created an unreasonable risk of causing emotional distress to plaintiff and defendant PMC knew or should have known that such conduct was likely to result in emotional distress that might and/or likely would cause illness or bodily harm. Three sixty. Plaintive's emotional distress was foreseeable by defendant PMC. Three sixty-one. As a direct and proximate result of the negligent conduct of defendant PMC, plaintiff suffered and will continue to suffer severe emotional distress. Three sixty-two. Defendant PMC's conduct was wanton, malicious, willful, and/or cruel, entitling the plaintiff to punitive damages. Seventeenth cause of action. Sex trafficking against defendant does. Three sixty-three. Plaintive incorporates by reference all preceding paragraphs and re-allegism as if set forth fully herein. Three sixty-four. Defendant does created an unreasonable risk of causing emotional distress to plaintiff and defendant does knew or should have known that such conduct was likely to result in emotional distress that might and/or likely would cause illness or bodily harm. Three sixty-five. Plaintive's emotional distress was foreseeable to defendant does. Three sixty-six. As a direct and proximate result of the negligent conduct of defendant does, plaintiff suffered and will continue to suffer severe emotional distress. Three sixty-seven. Defendant does conduct was wanton, malicious, willful, and/or cruel, entitling the plaintiff to punitive damages. We all have somewhere we're trying to get to. As the largest energy producer in Colorado, Chevron is helping meet rising demand and we're working to do it responsibly. Our next-gen, tankless facilities reduce the greenhouse gas emissions of our operations by more than ninety percent compared to our older designs. 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Defendant organizational doves created an unreasonable risk of causing emotional distress to plaintiff and defendant organizational doves knew or should have known that such conduct was likely to result in emotional distress that might and/or likely would cause illness or bodily harm. 370. Plaintive's emotional distress was foreseeable to defendant organizational doves. 371. As a direct and proximate result of the negligent conduct of defendant organizational doves, plaintiff suffered and will continue to suffer severe emotional distress. 372. An organizational doves conduct was wanton, malicious, willful, and/or cruel, entitling the plaintiff to punitive damages. 19. Cause of action. Sex trafficking. Defendant combs. 373. Plaintive incorporates by reference all preceding paragraphs and real legism as they've set forth fully herein. 374. Defendant combs engaged in conduct toward plaintiff that is extreme and outrageous to exceed the bounds of decency in a civilized society. 19. Namely, by Inter-Alya, subjecting him to sexual assault and misconduct. 375. The sexual assault trafficking and misconduct by defendant combs were extreme and outrageous conduct that chocks the conscience. 376. These actions were taken with the intent to cause or disregard for substantial probability of causing severe emotional distress. 377. As a direct and proximate result of defendant combs extreme and outrageous conduct, plaintiff has suffered severe emotional distress. 378. Defendant combs conduct was wanton, malicious, willful, and/or cruel, entitling the plaintiff to punitive damages. 20. Cause of action. Sex trafficking. Defendant Jacob. 379. Plaintive incorporates by reference all preceding paragraphs and real legism as they've set forth fully herein. 380. Defendant Jacob engaged conduct toward plaintiff that is extreme and outrageous to exceed the bounds of decency in a civilized society, namely by Inter-Alya subjecting her to sexual assault and misconduct. 381. The sexual assault trafficking and misconduct by defendant Jacob were extreme and outrageous conduct that chocks the conscience. 382. These actions were taken with the intent to cause or disregard for substantial probability of causing severe emotional distress. 383. As a direct and proximate result of defendant Jacob's extreme and outrageous conduct, plaintiff has suffered severe emotional distress. 384. Defendant Jacob's conduct was wanton, malicious, willful, and/or cruel, entitling the plaintiff to punitive damages. All right, we're going to wrap up right here, and in the next episode, we're going to pick up with the 21st cause of action. All information that goes with this episode can be found in the description box. Hey there, it is Ryan Seacrest with you. You want to make this summer unforgettable? Join me at Chumbak Casino. Since this summer's hottest online destination, they are rolling out the red carpet with an amazing welcome offer just for you. 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