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Beyond The Horizon

Diddy Do It: Adria English And Her Allegations Made Against Diddy (Part 7) (7/11/24)

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 8:48)

to contact me:

bobbycapucci@protonmail.com


source:

English (digitalmusicnews.com

Duration:
16m
Broadcast on:
11 Jul 2024
Audio Format:
mp3

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The picture included in this pleading of Defendant Jacob and Plaintiff was taken after Plaintiff was forced to engage in illegal sex acts with Defendant Jacob at the behest and demand of Defendant Combs. Defendant Combs forced Plaintiff to have sex with Defendant Jacob against her will. According to Plaintiff, Defendant Combs required sex work and engaging in sex acts as part of the employment at the white parties. Plaintiff was only paid for her services at the party, but not for the sex work she was forced to engage in. 226. By way of example, between 2004 and 2009, Plaintiff was forced by Defendant Combs and Thomas to transport herself to Mr. Combs Home located in Miami, Florida. Plaintiff, upon information and belief, believes there may be videos showing her being sexually assaulted while unconscious during the white parties at Defendant Combs, Florida residents. 227. From at least 2004 through 2009, in the states of New York and Florida and possibly elsewhere, Defendant Combs and others known and unknown, in affecting interstate commerce knowingly combined, conspired, confederated, and agreed to recruit, entice, harbor, transport, provide, obtain, and maintain by any means a person and to benefit financially and by receiving anything of value from participation in an enterprise, which is engaged in such "knowing" and in reckless disregard of the fact that means of force, threats of force, fraud, and coercion, and a combination of such means would be used to cause the person, Plaintiff, to engage in commercial sex acts, to wit, Defendants Combs, Jacobs, and others, known and unknown cause Plaintiff, to engage in commercial sex acts in the United States, cities of Miami, and New York by means of force, threats of force, fraud, and coercion, and the combination of such means. 228. In furtherance of the conspiracy and to affect the illegal object thereof, the following overt acts among others were committed in the states of New York and Florida. A. In or about 2004, Defendant Combs, through his employees, Defendant Thomas, recruited Plaintiff to work for him as an entertainer at his white parties. Defendant Combs promised to book Plaintiff's then boyfriend in the Sean John clothing campaign he auditioned for as a model, make Plaintiff a music artist, and introduce Plaintiff to an ultra-exclusive group of high-profile individuals to further her career in the entertainment industry. B. In or about 2005, Plaintiff's second white party, Defendant Combs began more aggressively grooming Plaintiff into engaging in sex work. Defendant Combs directed Plaintiff with whom to engage in sex work and would give approval and congratulations after Plaintiff complied with Defendant Combs' demands. C. As part of his grooming of Plaintiff, Defendant Combs threatened that if Plaintiff did not continue her employment at the white parties, that Defendant Combs would blackball Plaintiff from the entertainment industry and Plaintiff's then boyfriend Mr. Gallo from the modeling industry, which Defendant Combs eventually did anyway. D. At the direction of Defendant Combs and Thomas, Plaintiff was forced to engage in sex work at Defendant Combs' homes in Hampton, New York and Miami, Florida. Plaintiff had no authority to be on Defendant Combs' residential premises without Defendant Combs' consent. All of Defendant Combs' properties are protected by 24-hour security and all visitors must be verified before entry. E. Plaintiff communicated with Defendant Combs and Thomas by telephone. Defendant Combs communicated by a California number ending in 1496. However, a search of that number leads to New York-based artist Paloma Bailey as the registered owner. Why or how a number registered to Ms. Bailey is being used by Defendant Combs is another conspiracy for another time. The number Plaintiff communicated with Defendant Thomas is seemingly still registered to Defendant Thomas. 229. From 2004 to 2009, the states of New York and Florida, Defendant Combs, Thomas and others, known and unknown in and affecting Interstate Commerce, knowingly did recruit in TICE Harbor transport provide, obtain and maintain by any means a person, Plaintiff, and did benefit financially and by receiving anything of value from participation in an enterprise which is engaged in any such act knowing in a reckless disregard of the fact that means of force, threats of force, fraud and coercion and a combination of such means would be used to cause the person to engage in commercial sex acts to wit. Defendants Combs, Thomas and Jacob caused Plaintiff to engage in commercial sex acts utilizing force, threats of force, fraud and coercion and a combination of such means. Additionally, Defendant Combs received personal gratification by directing and ensuring Plaintiff engage in commercial sex acts with the individual Defendant Combs directed her to engage. 230. From 2004 to 2009 up to and including currently in the state of New York and Florida, Defendants Combs, Thomas and others, known and unknown, in and affecting Interstate Commerce did use and caused to be used facilities in Interstate and Foreign Commerce to wit, Internet and Cellular Telephone Services with the intent to promote, manage, establish, carry on and facilitate the promotion, management establishment and carrying on of an unlawful activity to wit a business enterprise involving prostitution offenses in violation of applicable state law and thereafter performed and attempted to perform and act to promote, manage, establish and carry on and to facilitate the promotion, management establishment and carrying on of such unlawful activity. Defendants committed multiple acts of procuring, transporting and distributing controlled substances in violation of Title 18, U.S. Code, Section 1961, 1 and 1961, 5, furtherance of the enterprise. 231. Defendants knowingly affected Interstate or Commerce did knowingly and intentionally conspire to violate Title 18, U.S. Code Section 1962C, that is to conduct and participate directly and indirectly in the conduct of the affairs of that enterprise through a pattern of racketeering activity, as defined in Title 18, U.S. Code, Section 1961, 1 and 1961, 5. In addition to violating federal laws, these acts violated the following state statutes. Florida Penal Code 893.135 and New York Penal Codes 220.77, 220.18, 220.50 and 220.06 232. The Combs Rico Enterprise. As detailed throughout this pleading, defendants are an enterprise as the term is defined pursuant to U.S. Code 18, Section 1961, 4. That is a group of individuals associated, in fact, that engaged in and the activities of which affected Interstate Commerce. The enterprise constituted an ongoing organization whose members functioned as a continuing unit to achieve the enterprise's objectives. 223. Upon information and belief, the Combs Rico Enterprise is comprised of individuals residing in and around Los Angeles, California, Miami, Florida, New York and among other places. Members and associates of the Combs Rico Enterprise have engaged in drug trafficking and sex trafficking. 234. Upon information and belief, members and associates of the Combs Rico Enterprise procured, transported and distributed ecstasy cocaine and other illicit narcotics in and around the states of New York and Florida. During the relevant time frame, through their general business partnership, defendants provided resources to defendant Combs in furtherance of the enterprise during its highly exclusive and sought after summer white parties. 235. The purpose of the Combs Enterprise, as detailed herein and according to plaintiff, the purpose of the Combs Enterprise is to, A, use its position, power and influence to control entertainers, and force these entertainers to purchase, transport, and distribute illegal narcotics and engage in sex work. B. Promote and enhance the prestige reputation and positions of the enterprise with respect to rival music labels, artists and executives. An official message from 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.gov/extrahelp. Paid for by the U.S. Department of Health and Human Services. This summer, saddle up with the only sports book where you can bet on horse racing, FanDuel. Right now, new customers can get a no sweat first bet up to $500. Just download the app or go to fanduel.com/horses to score your no sweat bet up to $500. 21+ and present in Colorado. Offer valid on first real money wager of $5 or more. Verified FD Racing account required. Bonus issued in non-withdrawable racing site credit that expires seven days after issuance. Max refund, $500. Restrictions apply. See terms at racings.fanjuel.com. Gambling problem, call 1-800-Gambler. See. Preserve and protect the power, territory, and criminal ventures of the enterprise through the use of intimidation, threats of violence, and coercion. D. Keep victims in fear of the enterprise and its members and associates. E. Enrich the members and associates of the enterprise through criminal activity, including narcotics trafficking, sex trafficking, and fraud. F. Conceal the activities of the enterprise from law enforcement by threatening individuals livelihoods if they ever spoke about their experiences to others, especially law enforcement. 236. Methods and Means of the Enterprise. Upon information and belief, among the means and methods by which the defendants and their associates conducted and participated in the conduct of the affairs of the enterprise were the following. A. Members of the Enterprise and their associates, procured, transported, and distributed illegal narcotics to defendant combs at his homes in New York and Florida. Plaintiff personally witnessed members of the enterprise doing this during domestic travel. B. Members of the enterprise and their associates use force, coercion, threats, or a combination they're in to force Plaintiff to engage in sex work and have sex with white party-goers at the direction of defendant combs and/or Thomas. And when I say white party, I don't mean a party of white people. We're talking about, you know, the white party where he's dressed all in white. That's what he means. 237. The pattern of racketeering activity through which defendants together with others agreed to conduct and participate directly and indirectly in the conduct of the affairs of the enterprise consisted of multiple offenses involving dealing and controlled substances in violation of Title 21, U.S. Code, Section 841, 843, and 846. Parts of the conspiracy involve defendant agreeing that a conspirator would commit at least two acts or racketeering activity in the conduct of the affairs of the enterprise. Defendants committed multiple acts of mail fraud and violation of U.S. Code 18, Section 1341, in furtherance of the enterprise. 238. Defendants voluntarily and intentionally devised and participated in a scheme with the intent to defraud the plaintiff. 239. Defendants use the mail to execute the fraudulent scheme herein. 240. Specifically, the defendants agree to each of the acts of mail fraud described throughout this complaint. In addition, they agreed to rely on the mail to distribute their marketing materials, buy magazine, secure wires, and cash payments from purchasers of the illegal sex services and narcotics they required others to sell, distribute, and perform. 241. In furtherance of, and for the purpose of executing the above-described fraudulent and illegal course of conduct in scheme to defraud defendants, either individually or in combination with themselves, used and caused to be used the U.S. mail by both placing and causing to be placed, marketing materials, advertisements, agreements, and other matters in the positories, and by removing or causing to be removed letters, and other malleable matters from the positories and violation of the mail fraud statute, U.S. Code 18, Section 1341. 242. Defendants could not have furthered their fraudulent scheme without the use of the mail. For example, without the mail, defendants' vibe in PMC would be unable to distribute its marketing magazine as during that time online viewing was still in its infancy. Defendants also required the mail to distribute misleading advertisements to various states, including New York. For these reasons, the use of mail to conduct fraudulent activity was necessary and inevitable. All right, we're going to wrap up this episode right here, and in the next episode dealing with the topic, we're going to pick up with defendants committed multiple acts of wire fraud and violation of U.S. Code 18, Section 1343, and furtherance of the enterprise. All of the information that goes with this episode can be found in the description box. An official message from 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.gov/extrahelp. Paid for by the U.S. Department of Health and Human Services. This summer, saddle up with the only sports book where you can bet on horse racing. FanDuel. Right now, new customers can get a no-sweat first bet up to $500. Just download the app or go to fanduel.com/horses to score your no-sweat bet up to $500. 21+ and present in Colorado. Offer valid on first real money wager of $5 or more. Verified FD Racing account required. Bonus issued in non-withdrawable racing site credit that expires seven days after issuance. Max refund $500. Restrictions apply. See terms at racing.fanduel.com. Gambling problem, call 1-800-GAMBLER.