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Beyond The Horizon

Diddy Do It: Adria English And Her Allegations Made Against Diddy (Part 8) (7/12/24)


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 8:31)

to contact me:

bobbycapucci@protonmail.com


source:

English (digitalmusicnews.com

Duration:
20m
Broadcast on:
12 Jul 2024
Audio Format:
mp3

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US Department of Health and Human Services what's up everyone and welcome back to the program in this episode we're picking up where we left off with the Adria English allegations against Diddy defendants committed multiple acts of wire fraud in violation of US code 18 section 1343 and furtherance of the enterprise to 43 defendants voluntarily and intentionally devised and participated in a scheme with the intent to defraud the plaintiff to forty four defendants agreed to each of the acts of wire fraud described herein additionally defendants agreed to rely on interstate wires to disseminate funds to others in the enterprise defendants illegally acquired and utilize wire transfers to further their collective goal of furthering their Rico enterprise defendants knew that these purchases were illegally made two forty five defendants agreed that defendants should facilitate these fraudulent purchases over interstate wires and furtherance of the fraud plaintiff has received payment for employment and sex work co-mingled in New York in Florida from defendant calms and thomas two forty six in furtherance of and for the purposes of executing the above described fraudulent and illegal course of conduct and scheme or artifice to the fraud defendants either individually or in combination with themselves used or caused to be used interstate wire communications to transmit or disseminate false fraudulent and misleading communications and information in violation of the wire fraud statute US code 18 section 1343 247 defendants could not have further their fraudulent scheme without the ability to use telecommunications to share information with clients and retailers worldwide defendants needed to communicate with clients and retailers around the country utilizing interstate telecommunication wires to conduct the fraudulent activity which was necessary and inevitable to use to forty eight plaintiff has been damaged in her business or property because defendants violated us code eighteen section 1962 a cnd and therefore plaintiff is entitled to recover the damages and other remedies enumerated therein to forty nine defendants acts or omissions were actuated by actual malice and a willful and wanton disregard for the consequences suffered by plaintiff were directed towards her because of her gender and with knowledge of a high degree of probability of harm to plaintiff and reckless indifference to the consequences of their acts or omissions to fifty compensatory damages alone will be insufficient to deter such conduct in the future there needs to be a criminal referral to the united states justice department as well as to the state's attorney general's office where for plaintiff requests at the court issue in order in grand judgment to the plaintiff is follows grant plaintiff statutory common law and punitive damages and applicable pre and post judgment interest in full recompense for damages enter judgment according to the declaratory relief sought grant plaintiff such other and further relief including without limitation injunctive and equitable relief as the court deems just in all the circumstances and grant plaintiff and incentive or service award reflective of the work done in prosecuting this action the time spent the effort and hard costs invested and results obtained in light of the court's judgment informed by awards in other similar cases of comparable difficulty and complexity the second cause of action sexual assault and sexual harassment against defendant coms 251 plaintiff incorporates by reference all preceding paragraphs and re-allegism as if set forth fully here in 252 as described here in defendant coms frightened and place plaintiff an apprehension of harm when he forced and coerced plaintiff to engage in sex work for him sharing his white parties from 2004 through 2009 at defendant coms homes in Miami Florida and Hampton New York 253 defendant coms use threats coercion of force plaintiff into engaging in sex work in sex acts with his party goers at his white parties 254 defendant coms directed plaintiff to engage in sex acts with defendant Jacob against plaintiffs will at defendant coms white party in Hampton New York 255 upon information and belief defendant coms may have directed others to engage in sex acts with plaintiff while plaintiff was unconscious at his white party in Miami Florida 256 as a result of defendant coms conduct plaintiff has suffered and continues to suffer harm including physical injury severe emotional distress humiliation anxiety and other consequential damages for which she is entitled to an award of monetary damages and other relief 257 defendant coms conduct described herein was willful wanton and malicious at all relevant times defendant coms acted with conscious disregard for plaintiffs rights and feelings acted with the knowledge of or with reckless disregard for the fact that his conduct was sure to cause injury and or humiliation to plaintiff and intended to cause fear physical injury and or pain and suffering to the plaintiff plaintiff believes defendant coms acted with conscious disregard for plaintiffs rights and feelings acted with the knowledge of or with reckless disregard for the fact that his conduct was sure to cause injury and or humiliation the plaintiff due to plaintiff's gender by virtue of the foregoing plaintiff is entitled to recover punitive damages the third cause of action sexual assault and sexual harassment against defendant Jacob 258 plaintiff incorporates by reference all preceding paragraphs and re-allegism as if set forth fully here in to 59 as described herein defendant Jacob coms and Thomas frightened and plays plaintiff an apprehension of harm of physical and sexual assault while employed as entertainment at defendant coms white parties to 60 plaintiff was forced to engage in sex acts with defendant Jacob against her will while the white party was occurring to 61 as a result of defendant Jacob's assault plaintiff has suffered and continues to suffer harm including physical injury severe emotional distress humiliation anxiety and other consequential damages for which he is entitled to an award of monetary damages and other relief to 62 the conduct of defendant Jacob willful wanton and malicious at all relevant times defendant Jacob acted with the conscious disregard for plaintiff's rights and feelings acted with the knowledge of or with reckless disregard for the fact that is conduct was certain to cause injury and or humiliation to plaintiff and intended to cause fear physical injury and or pain and suffering to plaintiff by virtue of the foregoing plaintiff is entitled to recover punitive damages the fourth cause of action sexual assault against defendant those 263 plaintiff incorporates by reference all preceding paragraphs and re-allegism as if set forth fully herein to 64 as described herein defendant those frightened and placed plaintiff in apprehension of harm when they physically and sexually assaulted her at the white party in Miami to 65 defendant those forcibly touched and attempted to touch plaintiffs in demand areas and or touch plaintiff with their own intimate body parts upon information and belief defendant those touch plaintiffs in demand areas while plaintiff was unconscious from force narcotics use by defendant coms defendant coms and or Thomas failed to intervene to 66 as a result of defendant those conduct plaintiff has suffered and continues to suffer harm including physical injury severe emotional distress humiliation anxiety and other consequential damages for which she is entitled to an award of monetary damages and other relief to 67 the conduct of defendant those described herein was willful wanton and malicious at all relevant times defendant those acted with conscious disregard for the plaintiff's rights and feelings acted with the knowledge of or with reckless disregard for the fact that their conduct was certain to cause injury and or humiliation the plaintiff and intended to cause fear physical injury and or pain and suffering to plaintiff by virtue of the foregoing plaintiff is entitled to recover punitive damages high-five casino is a social casino with real prizes and big Vegas hits at high-five casino dot com the hottest games right from Vegas and all winnings go straight to your bank account hundreds of exclusive games free daily rewards and come back to get free coins every four hours only at high-five casino dot com high-five casino is a social casino no purchase necessary for a prohibited play responsibly terms and addition supply see website for details at high the number five casino dot com high-five casino an official message for Medicare a new law is helping me save more money on prescription drug costs maybe you can save too with Medicare's extra help program my premium is zero and my out-of-pocket costs are low who should apply single people making less than $23,000 a year or married couples who make less than $31,000 a year even if you don't think you qualify it pays to find out go to SSA dot gov slash extra help paid for by the US Department of Health and Human Services the fifth cause of action the NYC victims of gender motivated violence protection act against all defendants to 68 plaintiff incorporates by reference all preceding paragraphs and re-allegism as if set fourth fully herein to 69 the NYC gender motivated violence act revives any claims against a party who commits directs enables participates in or conspires in the commission of a crime of violence motivated by gender has a cause of action against such party in any court of competent jurisdiction NYC admin code section 10 1104 270 the herein described conduct of defendant coms Thomas and Jacob including forcing plaintiff to engage in sex work constitutes a crime of violence against plaintiff and is a crime of violence motivated by gender as defined in NYC admin code section 10 1103 the term crime of violence means an actor series of acts that would constitute a misdemeanor or felony against the person as defined in state or federal law or a would constitute a misdemeanor or a felony against property as defined in state or federal law if the conduct presents a serious risk of physical injury to another whether or not those acts have actually resulted in criminal charges prosecution or conviction and the term crime of violence motivated by gender means a crime of violence committed because of gender or on the basis of gender and do at least in part to the animus based on the victim's gender 271 pursuant to section 10 1105a this cause of action is timely because it commenced within two years and six months after september 1st 2022 272 defendants crimes of violence were motivated by plaintiff's gender as defined in the New York City administrative code section 8 903 as defendant Jacob committed forcible sex acts upon plaintiff that would constitute felonies under state law and as the conduct presents a serious risk of physical injury whether or not those acts have resulted in criminal charges prosecution or conviction 273 the appellate division is held that sexual assault is an act of gender and motivated violence under the law as coerced sexual activity is dehumanizing and fear-inducing malice or ill will based on gender is apparent from the alleged commission of the act itself animus in here is where consent is absent briefs versus haggis 180 AD 3D 8394 274 the described conduct herein of defendant combs thomas and jay gob constitute sexual offenses as defined in article 130 of new york penal law 275 plaintiff is a woman who is older than 18 who alleges misdemeanor and or if felony penal violations including but not limited to sexual misconduct NY penal law section 130 dot 20 criminal sexual act in the first degree NY penal law section 130 dot 50 a criminal sexual act in the third degree NY penal law section 130 dot 40 forcible touching NY penal law section 130 dot 52 sexual abuse in the first degree NY penal law section 130 dot 65 and sexual abuse in the second degree NY penal law section 130 dot 60 276 defendant combs coerced and forced plaintiff to engage in sexual conduct and or sexual intercourse with defendant jay gob despite a refusal and unwillingness to do so 277 defendant combs demanded plaintiff drink laced alcohol while while in her employment capacity as entertainment at the white party thus defendant combs new or should have known that plaintiff was incapable of consenting to sexual contact and or sexual conduct 278 defendant combs and jay gobs actions presented serious risk of physical injury to plaintiffs person regardless of whether or not those acts resulted in criminal charges prosecution or conviction 279 furthermore defendants bb e sjc cge vibe and pmc enabled defendant combs commission of the crimes of violence motivated by gender and thus are liable under the NYC victims of gender motivated protection act 280 defendant thomas jay gob bb e sjc cge vibe and pmc enabled or participated in the sexual trafficking of plaintiff because defendant failed to among other things protect plaintiff from a known danger have sufficient policies and procedures in place to prevent sexual assault properly implement policies and procedures to prevent sexual assault take reasonable measures to ensure that policies to prevent sexual assault were working train their employees on identifying sexual assault and inappropriate workplace behaviors protect their employees from sexual assault and adhere to the applicable standard of care 281 defendant bb e sjc cge vibe and pmc enabled or participated in the sexual trafficking of plaintiff because defendants failed to timely and properly educate train supervise and or monitor their agents or employees regarding policies and procedures that should be followed when sexual trafficking is suspected or observed 282 prior to defendant combs forcing plaintiff in the sex work defendants bb e sjc cge vibe and pmc knew or should have known that defendant combs was not fit to be in a position of authority defendants by and through their agents servants and or employees became aware or should have become aware of defendant combs propensity to commit sexual assault and of the risk of the plaintiff safety at the very least defendants knew or should have known that they did not have sufficient information about whether or not their leaders managers and people were safe to be in positions of power 283 defendant bb e sjc cge vibe and pmc new or should have known that combs posed a risk of sexual violence assault harassment and trafficking 284 defendants bb e sjc cge vibe and pmc failed to properly supervise defendant combs and protect plaintiff from an own danger and thereby enabled com sexual trafficking of plaintiff 285 defendants bb e sjc cge vibe and pmc negligently deemed that defendant combs was fit to be in a position of authority and or that any previous suitability problems defendant combs had were fixed and cured and or that combs would not commit acts of sexual assault battery harassment or trafficking and or that combs would not injure others 286 moreover defendants bb e sjc and cge enable the sexual trafficking of plaintiff by actively maintaining and employing defendant combs in a position of power and authority through which combs had control over people including plaintiff 287 as a direct and proximate result of the aforementioned crime of violence and gender motivated violence plaintiff has sustained and will continue to sustain monetary damages physical injury pain and suffering and serious psychological and emotional distress entitling her to an award of compensatory and punitive damages injunctive and declaratory relief attorney fees and costs and other remedies as this court may deem appropriate damages as set forth in section 10 dash 1104 where for plaintiff respectfully requests a judgment against the defendants that declares defendant combs engaged in unlawful practices prohibited by new york city victims of gender motivated violence protection act in that combs drugged and sex trafficked plaintiff declares that defendants bb e sjc cge thomas jacob vibe pmc those and organizational those engaged and unlawful practices prohibited by new york city victims of gender motivated violence protection act in that they enable defendant combs commission of the crimes of violence motivated by gender awards plaintiff compensatory damages for mental and emotional injury distress pain and suffering an injury to a reputation consequential damages lost wages earning and all other sums of money together with interest on these amounts in an amount to be proven awards plaintiff damages against defendants joint and several awards plaintiff punitive and exemplary damages according to proof awards plaintiff attorney fees costs and expenses incurred in the pursuance of this action awards pre-judgment and post-judgment interest and awards plaintiff such other further relief as the court may deem equitable all right we're going to wrap up right here and in the next episode we're going to pick up with the six cause of action premises liability for the sexual assault committed by a defendant jacob all of the information that goes with this episode can be found in the description box high five casino high five casino is a social casino with real prizes and big bagus hits at high five casino dot com the hottest games right from bagus and all winnings go straight to your bank account hundreds of exclusive games free daily rewards and come back to get free coins every four hours only at high five casino dot com high five casino is a social casino no purchase necessary void brook prohibited play responsibly terms in addition supply c website for details at high the number five casino dot com high five casino an official message for medicare a new law is helping me save more money on prescription drug costs maybe you can save too with 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