Archive.fm

Beyond The Horizon

Diddy Do It: Adria English And Her Allegations Made Against Diddy (Part 3) (7/8/24)

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 9:16)

to contact me:

bobbycapucci@protonmail.com


source:

English (digitalmusicnews.com

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

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 At the UPS store, we want to make this summer the summer shipping, summer-ship-alooza, so you can start crossing items off your must-ship list. Like the vintage film camera your college kid needs for class, or the vase you told your mom you would send her ages ago. And with our pack and ship guaranteed, your items arrive safe or we reimburse you. So stop by your local store today for everything you need to be unstoppable. Visit the UPS store.com/guaranteed for full details. Available at participating locations, most locations are independently owned. Product services pricing and hours of operation may vary. See center for details. The UPS store. Be unstoppable. What's up everyone and welcome back to the program. In this episode we're getting right back to the complaint made by Adria English against Diddy. Plaintiff, Adria English. 77. Plaintiff is an individual who is a citizen of the United States and a resident of California. 78. Plaintiff at all times relevant to the action, resided and was domiciled in the state of New York. 79. Prior to moving to New York in or around early 2004, Plaintiff participated as an actor in the adult film industry under the name Om unique. 80. Plaintiff participated in approximately eight adult films. Prior to moving to New York, which were done while Plaintiff was a teenager. Plaintiff was coerced by a veteran porn star Jake Steed into doing these films with a promise. They would never be viewed or circulated in the United States. 81. Plaintiff moved from New York to California to evade the disappointment of her family when they discovered she was acting in adult movies. As Plaintiff was led to believe the adult movies would only be seen and purchased abroad, therefore difficult to be viewed by those who knew her personally. 82. Plaintiff moved to New York destitute and homeless with her then boyfriend, starving up and coming model Anthony Gallo. 83. While Plaintiff's then-boyfriend auditioned for modeling gigs and attended go-sees in New York, Plaintiff began go-go dancing and performing at Larry Flynn's Hustler Club on 51st Street in New York under the stage name of Sasha. 84. Honor about mid-2004, Mr. Gallo attended an audition for Sean John modeling campaign in New York where Plaintiff accompanied him. 85. During that audition, another model in Mr. Gallo were asked to perform filatio on defendant combs in order to book the modeling campaigns. 86. Mr. Gallo refused but was later approached by employee defendant Thomas offering new terms. The terms being that Mr. Gallo could still book the Sean John campaign if he commanded the plaintiff to work defendant combs and BBB's upcoming white party. The party was held in the Hamptons and he was the work as a go-go dancer as plaintiff was a well-known and talented and highly sought after dancer at Larry Flynn's Hustler Club. 87. In an effort to assist Mr. Gallo's desire to become a model, Plaintiff agreed to what she believed to be legitimate employment with defendant combs and BBB as entertainment at the white parties in the Hamptons New York and Miami Florida from 2004 to 2009. Plaintiff did not agree to a lifetime or aftermath of being used as a sexual pawn for the pleasure and financial benefit of others. 88. As agreed to between Mr. Gallo defendant Thomas and defendant combs, SJC and BBB, Plaintiff began her employment at the ultra-exclusive and lavish Labor Day parties thrown by defendant combs and BBB called the white party and Mr. Gallo began his employment as a Sean John model. 89. Plaintiff's first employment at the white party was summer 2004. 90. Plaintiff believed this to be a legitimate employment opportunity. 91. Plaintiff was picked up by defendant Thomas in a car driven by one of the defendant those owned either by defendant combs, BBB, SJC, CGE or organizational dough and transported to defendant combs the state in the Hamptons New York which served as the venue for the Labor Day white party. 92. When Plaintiff arrived at defendant combs, Hampton estates with defendant Thomas and other sex trafficked individuals, defendant Thomas brought them into a room where they changed into clothes provided to them. 93. Plaintiff's outfit in the above picture was provided to her as a uniform as she was led to believe she was an employment capacity and Plaintiff was required to wear the clothing provided as part of the employment. 94. Plaintiff also provided a separate room from the party away from where the party goers congregated that was used by Plaintiff and other employees as a break room to take respite during the party as Plaintiff was there in an employment capacity. 95. Plaintiff was encouraged directly by defendant Thomas to provide lap dances and be sexually flirtatious with guests at the white party. 96. Plaintiff was also instructed and directed by defendant combs as to which guests Plaintiff should focus attention and interaction with to ensure his guests were having a great time. 97. Plaintiff was strictly instructed by defendant combs and Thomas on which bottles of alcohol and champagne, female employees were to exclusively drink from and also required Plaintiff to take narcotics offered by a white party guest. 98. Despite being forced to drink copious amounts of alcohol and consume illicit narcotics, the encounters Plaintiff was forced to endure were so excruciating that Plaintiff remembers them as they still haunt her this day. 99. Plaintiff was forced to consume liquor and illicit narcotics as part of her employment at the white party. 100. Upon information and belief, defendant combs laced the liquor with ecstasy which is why Plaintiff was provided strict rules on which bottles to consume from. 101. Plaintiff performed to the expectations of defendant combs was personally thanked for her obedience by defendant combs and was subsequently invited for future employment at the white parties. 102. Plaintiff was paid in cash at the end of the night typically between 4 and 6 a.m. once the party had concluded. Plaintiff was paid by defendant Thomas who was given the money from defendant combs. 103. The first white party in 2004 had no sinister intent or requirements for physical sexual contact and seemed to be a legitimate employment opportunity. So when Plaintiff was offered employment in the preceding years at the Labor Day white party, she accepted the employment opportunity. 104. Plaintiff was employed as entertainment at subsequent white parties in the Hamptons. 105. Plaintiff was always transported to the Hamptons by way of car service provided by either defendant combs, BBE, SJC, CJE, or organizational does with a driver who was also an employee of either defendant combs, BBE, SJC, CJE, or organizational does, and with defendant Thomas always being present as liaison and coordinator between employees and defendant combs. 106. Plaintiff would use numbers provided to contact either or both defendant combs and Thomas to arrange transportation to the white parties. This included using the telephone and text messaging services to confirm the date, time, and location of pickup. 107. Defendant Thomas would then arrive at the location provided by Plaintiff at the agreed date and time in a chauffeur driven vehicle provided or under the control of defendant combs, which would include defendant Thomas, a member of defendant combs security team, and other employees who were hired as entertainment for the party. 108. Plaintiff was always provided wardrobe by defendant Thomas and combs and was also provided a break room while attending the white parties. 109. Defendant Thomas and combs groom Plaintiff into sex trafficking over time. 110. Around the third white party defendant Thomas and combs demanded Plaintiff begin engaging in vaginal sexual intercourse with guests as they had learned about her past and adult entertainment and used it forcefully to coerce Plaintiff into sex work for the benefit of defendant Thomas and combs and their beneficiaries. 111. During this white party, Plaintiff was provided a black dress to wear by defendant Thomas and combs when previously Plaintiff was provided white clothing like other guests and the theme of the party. 112. Upon information and belief, Plaintiff believes she was required to wear a black dress to the white party to denote her capacity there as an employee but more sinisterly as a sex trafficked sex worker. 113. One beneficiary is defendant Jacob who Plaintiff was demanded by defendant combs to engage in sexual intercourse during the white party. 114. Plaintiff fearing not only for her safety but for her then boyfriend's job security did as instructed and went with defendant Jacob where she engaged and forced sexual intercourse with defendant Jacob at the demand and behest of defendant combs. Plaintiff knew refusing defendant combs demands was not an option and to do so would be at her and Mr. Gallo's detriment. 115. Plaintiff was coerced by defendant combs into consuming copious amounts of allegedly laced alcohol prior to being coerced and forced into having sexual intercourse with defendant Jacob. 116. Plaintiff pictured with defendant Jacob after the assault as Plaintiff was still in her role of employment at the white party. 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. 117. Plaintiff received an additional $1,000 in cash on top of what she had received as payment at the prior two white parties from defendant Thomas at the end of the night. 118. At the end of the night, defendant combs personally congratulated Plaintiff for following his directives with defendant Jacob and for a job well done. 119. Plaintiff is personally witnessed defendant combs Thomas and Jacob solicit and ingest narcotics and engage in illicit sex acts. 120. Plaintiff was also employed at the white party that commenced at defendant combs Miami Star Island residence. 121. During these white party employment, Plaintiff travel was arranged by defendant Thomas. 119. Upon arrival at Fort Lauderdale Airport, a car service owned and operated by either defendant combs BBE, SJC, CJE, or Organizational Dose would retrieve Plaintiff defendant Thomas and other individuals from the airport and transport them to defendant combs residents on Star Island. 122. defendant Thomas was to defendant combs as Galaine Maxwell was to Jeffrey Epstein. 123. Without defendant Thomas, a woman using her inherent goodwill as a woman to gain the trust of other women, coordinating and acting as an avatar for defendant combs, defendant combs would be unable to execute his corrupt sex trafficking organization. 124. Plaintiff is unable to recall details from the Miami white parties due to the increased demand that Plaintiff engage in illicit narcotics and alcohol while employed for defendant combs. 125. Defendant Thomas and combs passed off Plaintiff's other defendants outside of defendant Jacob, named as defendant those to be sexually assaulted as part of their ongoing corrupt sex trafficking organization. 126. Upon information and belief Plaintiff believes defendant combs had hidden cameras in every room of his home in the Hamptons, New York and Star Island, Florida. 127. Upon information and belief, defendant those who were individual defendants Thomas and combs passed off Plaintiff to be sexually assaulted were filmed by defendant combs, security cameras sexually assaulting Plaintiff, while Plaintiff is unconscious during the white parties in both New York and Florida. 128. Upon information and belief, these individuals and plaintiff were recorded without their knowledge and consent. 129. Upon information and belief, this treasure trove of evidence in defendant combs possession may either still be in defendant's possession or in the possession of the FBI, as the FBI executed a warrant and rated defendant combs residences in April of 2024. 127. On a new law is helping me save more money on prescription drug costs. You may be able to 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.