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Speaker 1: What's up, everyone, and welcome to another episode of The

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Diddy Diaries. In this episode, we're picking up where we

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left off with Ashley Parham's explosive amended complaint against Ditty

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and his friends. Plaintiff observed several individuals gathered around the

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bed while defending Gonzales and Valdez stood out our guard.

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Plaintiff observed defending Jaguar and Helena entered the residence. Defending

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Jaguar told plaintiffs he wants something from you. If I

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were you, I'd figure out what it is really fast.

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The he defendant was referring to is believed to be

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defendant Ditty. Shortly after defending, Drewski appeared wearing a vest

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in shorts and he engaged in conversation with plaintiffs. Plaintiffs

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tried to appeal to defendant by talking about the music industry,

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and defendant instructed plaintiffs that they should cooperate. Plaintiff described

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what they observed during the assault of plaintiff Parum after

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his interaction with Defendan Drewski. Plaintiffs observed plaintiff Parum having

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an IUD forcefully he placed in her vagina by Defendant's

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KK and the assistance of defendant Brandy. Plaintiffs heard defending

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KK make a remark about how Plaintiff Jane Doe would

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not need an IUD because of her age while hearing

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Plaintiff Parum scream in agony. During the forced IUD insertion,

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Plaintiff Jane Doe yelled stop hurting her. Plaintiffs observed defendant

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Shaine place a pillow over Plaintiff Parum's face, suffocating her,

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and Plaintiff Jane Doe yelled for them to stop or

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that she would die. Plaintiff Jane Doe believes Plaintiff Parum

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did lose consciousness because she became limp and unresponsive. Defendan

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Diddy instructed defendant Valdez to shut her up, and defendant

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Valdez hit Plaintiff Jane Doe with the handle of his firearm.

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Plaintiff John Doe witnessed Plaintiff Parum being assaulted by the remote,

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and when he tried to say something, plaintiff was told

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to shut up or he would put the remote in him. Next,

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Plaintiff John Doe believes he heard defending Jaguar make remarks

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put that remote in her. She's going to learn today

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and tell him Plaintiff Parum that she was going to

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make it worse. Plaintiffs believe the remote assault was to

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punish Plaintiff Parum for the IUD failure. Plaintiffs heard Defending

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KK remarked to defendant Didty and Drewski that she needed

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to keep them sufficiently drugged and revealed a bag full

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of drugs in paraphernalia. Defending KK appeared to be dispersing

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doses to defendants, asking them their weights to administer the

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proper amount. At some point, Plaintiff John Doe was taken

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to the bathroom. While in the bathroom, he believed there

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may have been other tenants and began to bang on

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the walls, hoping someone would hear him, but the only

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person who heard him was defendant Valdez and Gonzales, who

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were outside keeping watch. Upon Plaintiff John Doe's return, he

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saw defendant Odell. Plaintiff John Doe took immediate notice of

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defendant Odell because when he took his clothes off, Plaintiff

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were members defendant being in great shape, especially in comparison

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to the naked bodies of defendant Didty and Drewski. Plaintiff

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John Doe overheard defendant Ditty and Odell discussing business and

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the plan to have Plaintiff Parum returned to New York

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with defendant Odell. Plaintiff John Doe could not readily observe

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where a plaintiff Jane Doe was during this time. While

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during this time where a plaintiff Jane DOEU was out of

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sight of Plaintiff John Doe, Plaintiff Jane Doe was being

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sexually assaulted by defendant Valdez in another room. Plaintiff John

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Doe witnessed the gang rape with plaintiff Parum. Plaintiff Jane

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Doe witnessed the gang rape of Plaintiff Parum. Plaintiff John

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Doe witness Defendan Drewski doubts Plaintiff Parum and baby oil

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and then jump and slide across her body. Plaintiff John

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Doe observed defendant Ditty and Drewski manically and hysterically laughing,

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which plaintiff attributed to their drug use. Defendant Ditty then

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attempted to force Plaintiff John Doe to assault Plaintiff Parum,

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and he refused. Defendant Ditty instructed defendant co conspirators to

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throw Plaintiff John Doe into the wall several times in

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order to get him to comply with his demand to

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rape plaintiff Parum, which he would not comply. Defend it,

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and Ditty instructed defending co conspirators to yank, grab and

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pull at Plaintiff John Doe's genitals violently in an effort

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to punish him for not participating in the gang rape

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of plaintiff Parum. Plaintiff John Doe remembers defendant Big Homie

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CC saying it was going to go look for pliers

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to use the further torture plaintiff. Plaintiff John Doe believes

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defendant Ditty wanted plaintiff to rape plaintiff Parum so they

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could frame him. In the event, Plaintiff Parum reported her assault.

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In an effort to get DNA from Plaintiff John Doe

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to place on plaintiff Parum, Defending Ditty had one of

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the defendant co conspirators orally copulate Plaintiff John Doe to

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get semen from him, but it failed. Plaintiff John Doe,

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observed defending KK returned to the room to check on

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Plaintiff Parum and providing her IV telling her to breathe deeply.

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Plaintiff John Doe watched Plaintiff Parum lose consciousness. At some point.

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Plaintiff Jane Doe returns after defending Ditty, Shane Drewski, Odell

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KK and others leave the home and retire to either

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the backyard or the upstairs patio. Plaintiffs were left alone

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and unattended with an unconscious plaintiff Parum. Plaintiffs were crying

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after observing the assault upon plaintiff Parum and began to

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realize that this was their chance to devise a plan

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for escape. Plaintiffs began looking for weapons and exit points

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to make their escape. Plaintiffs cannot find any phones or

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any weapons like knives in the kitchen, as it appeared

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all cutlery and silverware had been removed from the home.

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Plaintiffs were trying to act quickly while the defendants left

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them unattended and were outside smoking, drinking, and loudly laughing

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as if having a party. Plaintiffs observed others outside believed

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to be defendant Ditty sons, Christian and Quincy. Plaintiffs observed

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them rough housing and practicing lay up basketball moves. Plaintiffs

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heard defendan ditty tell his sons to watch the gate

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and make sure no one left. Plaintiff observed defending Gonzales

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outside the front door, where the front door was barricaded

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by yellow crime scene like tape. The door lock was

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unusual because it was facing backwards, needing the key to exit.

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Fearing no way to escape, Plaintiff Jane Doe mentioned the

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plaintiff John Doe that she overheard them say put it

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on top of the refrigerator, and instructed Plaintiff John Doe

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to check to see if there was anything on top

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of the refrigerator. Plaintiff John Doe found a knife on

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top of the refrigerator in the kitchen. Plaintiffs then heard

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ramblings from the other plaintiff Parum was in and went

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in to check to honor and to stop her from

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making too much noise that could thwart their escape plan.

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Plaintiffs told plaintiff Parum they weren't going to hurt her

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and that they were here to help. Plaintiff Parum, just

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now coming into consciousness and being horrifically gang raped, was upset, terrified,

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and unsure if plaintiffs were trying to help or were

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also co conspirators. Plaintiffs eventually were able to get plaintiff

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Parum to calm down and listen to their escape plan.

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Plaintiffs told plaintiff Parum that they could not find an

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exit to escape and needed or help to escape, otherwise

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they would all be killed. Plaintiff Parum, after experiencing her

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or deal with defendants, believe plaintiff's and agreed to help

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in an escape. Plaintiff told Plaintiff Parhum that they had

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found the knife and that her assailants were in the backyard,

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which was believed to be the best exit for escape.

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Plaintiff Parum then exited the home with the knife concealed

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in the backyard. Shortly thereafter, defending KK returned and took

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plaintiff Jane Doe to the balcony, leaving Plaintiff John Doe

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alone in the residence. Plaintiffs believe defendants KK did not

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check the residence because she believed Plaintiff Parum was still unconscious.

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While on the balcony, Defending KK demanded Plaintiff Jane Doe

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signed documents. When plaintiff refused, defendant yield to at least

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two Doe bodyguards. Plaintiff would not sign and asked them

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to assist. Plaintiff believes the documents were related to creditors

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claims plaintiffs had against the Michael Jackson estate. During the interaction,

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parties here a gunshot, which causes everyone to run towards

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the backyard where the shot came from. Plaintiff John Doe,

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who was left alone and unattended, was able to reach

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the stairs where he saw a plaintiff Parum with the

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knife looking as if she was about to stab defendant Ditty,

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and he yelled out do it stab them, but he

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saw Plaintiff Parum hesitate. Plaintiff John Doe observed defended Ditty

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pushed Plaintiff Parum down at the bottom of the stairs,

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and Plaintiff John Doe believes he assisted her up. Plaintiffs

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were briefly then reunited, and Plaintiff John Doe told Plaintiff

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Jane Doe now was their opportunity to escape. Following Plaintiff Parum,

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plaintiffs ran out the back gate onto the street and

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in the opposite direction of Plaintiff Parum. Plaintiffs arrived at

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the house next door to the residence and banged on

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the door and yelled for help. The wife came out

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and said that she and her husband couldn't help. Plaintiffs

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found the exchange bazaar and could not understand why they

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wouldn't help or call nine one one. Plaintiffs were able

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to then try to hide until they saw an officer

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report to the location, where they attempted to speak to

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the officer. Before plaintiffs were able to speak to the

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local officer, defendant Pellte appeared and obstructed plaintiff from speaking

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to the responding officer, telling the responding officer a federal

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investigation was ongoing and not to interfere. Defendant Pelotae told

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the officer to turn off his body camera. Defendant Pelotae

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told the officer that he was working on a drug

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case for drug trafficking and had the house under surveillance

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and would report later to the local priestinct. Defendant Pelotae

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referred to a plaintiff and plaintiff parum as suspects and

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said they were homeless. When plaintiff tried to refute these

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statements by defendant Pelotae, they were threatened and told to

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shut up and remain quiet. Defending Gonzales then transports and

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removed plaintiffs from the interaction, and defendant Pelotae and the

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responding officer defending Gonzales placed plaintiffs in another vehicle, which

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was hard to see due to darkness. Plaintiff Jane Doe

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pleaded with defending Gonzales to let them go and that

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she would not tell. In last ditch effort, plaintiff told

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defendant she overheard defendant Jaguar and Alina say that they

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were not going to pay them and that there was

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not enough money for Unbeknownst the plaintiff, defended Jaguar and

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Alino were in a nearby vehicle. Defending Gonzales exited the vehicle,

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went to the vehicle with defending Jaguar and Alina and

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confronted them about what plaintiff Janindo said. Defended Gonzales returned

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to the vehicle where plaintiffs were being held, seemingly confirming

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what plaintiff Jane Doe said because plaintiff heard him use

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the Spanish term mayapde, which is often used as a

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slur towards black people. Defending Gonzales then walked plaintiffs to

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a nearby street where the suv was parked and gave

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plaintiffs the keys to the vehicle and released them. Plaintiffs

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then arrived at redacted, the main road that leads to

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the I twenty four Freeway, and asked another commuter the

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nearest police station. As plaintiffs did not have any phones

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and their vehicle did not have GPS, there were given

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instructions they were close and how to proceed to the

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police station. Plaintiffs arrived at the police station at twenty

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two or in the way. Plaintiff John Doe walks in

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the police station with the ens of filing a police report,

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but remembered overhearing conversation from the defendants during their transport

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when defendants believed he could not hear them that if

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plaintiff ever reported the incident, they would be deemed crazy

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and nonbelievable. Plaintiff John Doe was also concerned about the

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exchange with the responding officer on the scene and how

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we refused to listen to his pleas then Plaintiff John

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Doe then only briefly spoke to someone at the front

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desk about filing a report and took a business card.

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All right, we're going to wrap up here and in

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the next episode we're going to pick up with the

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first cause of action. If you'd like to contact me,

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you can do that at Bobby Kapuchi at protonmeil dot com.

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That's bo b b Y cap u Cci at protonmeil

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dot com, or if you prefer, you can find me

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on x at Bobby Underscore cap u Cci. All of

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the links that we discussed can be found in the

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description box. What's up, everyone, and welcome to another episode

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of The Diddy Diaries. In this episode, we're going to

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pick up where we left off with the amended lawsuit

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filed by Ashley Parham against Ditty, Drew Ski, Odell Beckham,

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Jaguar Wright, and others. The first cause of action violation

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of US Code eighteen, Section nineteen sixty two C. Nineteen

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sixty four C Racketeer, Influenced and Corrupt Organizations Act Plaintiffs

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in corporate by reference and re allege. Each of the

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preceding paragraphs and all paragraphs below is though fully set

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forth and brought in this cause of action. Defendants, as

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well as others known and unknown, are persons within the

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meaning of US Code Section nineteen sixty one three who

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conducted the affairs of the Ditty Sexual Abuse and cover

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Up enterprise through a pattern of racketeering activity and violation

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of US Code eighteen, section nineteen sixty two C. The

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Ditty Sexual Abuse and Cover Up Enterprise is an association

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in fact within the meaning of US Code eighteen, section

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nineteen sixty one four, consisting of one defendants, including each

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of their employees and agents, and two the Ditty Sexual

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Abuse and Cover Up Enterprise participants, including but not limited to,

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the defendants enumerated herein as set fourth above. The Ditty

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Sexual Abuse and Cover Up Enterprise was designed and used

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as a tool to enable Defendant Ditty and the Ditty

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Sexual Abuse and Cover Up Enterprise participants to participate in

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a pattern of racketeering activity. Section nineteen sixty four C

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provides that any person injured in his business or a

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property by reason of a violation of Section nineteen sixty

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two of this Chapter may sue therefore in any appropriate

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United States District court, and shall recover threefold the damages

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he sustains and the cost of suit, including a reasonable

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attorney's fee. US Code eighteen, Section nineteen sixty four. The

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Ditty Sexual Abuse and Cover Up Enterprise falls within the

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meaning of US Code eighteen, section nineteen sixty one four

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and consists of a group of persons associated together for

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the common purpose of one endorsing and facilitating Ditty's sexual harassment, assault,

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and abuse of others, including plaintiff, threatening and misleading defendant

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Ditty's victims to prevent the reporting, disclosure, or prosecution of

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the sexual acts, and three intervening in Plaintiff's efforts to

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report by concealing and refusing to report Defendant Ditty's sexual

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offenses to the appropriate authorities, including law enforcement. Defendants have

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conducted and participated in the affairs of the Ditty sexual

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abuse in cover up enterprise through a pattern of racketeering

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activity within the meaning of US Code eighteen, section nineteen

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sixty one one and nineteen sixty one five, which includes

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multiple instances of obtaining a victim for the purpose of

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committing or attempting to commit aggravated sexual abuse and violation

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of US Code eighteen section fifteen ninety as described above,

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facilitating and financially benefiting from forced labor and sex trafficking

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in violation of US Code eighteen section fifteen eighty nine

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A fifteen ninety five A, and instances of transporting individuals

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specifically plaintiff in this case for the purpose of furthering

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the common purposes of the Ditty Sexual Abuse and Cover

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Up Enterprise, including sexual abuse, sexually illicit photography, videography, and

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other immoral purposes in violation of US Code eighteen, Section

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twenty four to twenty one, also known as the Man Act.

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The Ditty Sexual Abuse and Cover Up Enterprise engaged in

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and affected interstate commerce, where defendants utilized phone lines to

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make arrangements for Defendant Ditty to further his illicit sexual activities.

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Each participant in the Ditty Sexual Abuse and Cover Up

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Enterprise had a systemic linkage to each other participant through

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personal relationships and employment relationships, and functioned as a continuing

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unit for the purpose of furthering the scheme and their

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common purposes. Defendants, upon information and belief, also use the

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Internet and other electronic facilities to carry out the scheme

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and conceal the ongoing sexual fraudulent activities taking place within

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the Ditty Sexual Abuse and Cover Up Enterprise. The wire

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transmissions described herein were made in furtherance of defendant scheme

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and common purpose. Defendant scheme and the above describe racketeering

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activities amounted to a common course of conduct intended to

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cause plaintiff and others to hide and conceal Defendant Ditty's abuse.

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Each such racketeering activity was related, had similar purposes, involved

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the same or similar participants and methods of commission, and

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had similar results affecting similar victims, including plaintiffs. Defendants fraudulent

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activities are part of their ongoing business and constitute a

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continuing threat to plaintiffs. The pattern of racketeering activity alleged

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here in and the Ditty Sexual Abuse Cover Up Enterprise

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are separate and distinct from each other. Defendants engaged in

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a pattern of racketeering activity alleged herein for the purpose

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of conducting the affairs of the Ditty Sexual Abuse and

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Cover Up Enterprise. Defendant Ditty and the Ditty Sexual Abuse

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00:17:15,240 --> 00:17:19,119
and Cover Up Enterprise created and perpetuated a toxic culture

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that allowed Defending Ditty's abuse to flourish. Defendant Didty had

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extensive power and influence on others due to his prominent

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status as a mogul, his fame and notoriety. Defending Ditty

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had command defendan Didty had means, access and influence to

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provide individuals with a career in the entertainment industry and

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other industries. Through his dominant stature in the entertainment industry

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and connections afforded him due to his fame and notoriety,

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Defendant Ditty had authority. Defending Ditty at all times was

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the mogul and billionaire who cultivated relationships with some of

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the most influential individuals through his highly sought after parties

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and notoriety in the music industry. Defendant Didt he had control.

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Defendant Ditty controlled who did what, when and how within

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a circle of friends and employees, including defendants named herein.

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If defendants failed to comply with covering up defendant ditty

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sexual abuse and assaults, they would be terminated, blackballed, or

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find themselves in legal trouble. Defendant Didty had power. Plaintiff

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Parum attempted to report that it was in fact defendant

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Didty who had sexually assaulted her, but instead was met

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with disregard by the Contra Costa Sheriff's Department. Plaintiff Dose

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attempted to report their kidnapping assault, and Plaintiff Parum's assault

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was thwarted when defendant Pellte intervened with the responding officer

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Defendant Ditty and the Ditty Sexual Abuse and Cover Up

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Enterprise were designed to manipulate control, sexually assault and prevent

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individuals from coming forward. Defendants knowingly benefited from the Ditty

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Sexual Abuse and Cover Up Enterprise as they retained employment

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benefits and other monetary benefits. Specific defended Shane mysteriously had

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a brand new car upon information and belief provided to

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him by Defending Ditty in thanks and appreciation for facilitating

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the sexual assault on plaintiff Defendant's Pellete Valdez, Jaguar and

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Helena received and handled cash on behalf of the enterprise.

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00:19:19,160 --> 00:19:23,000
Defendant Odell and Drewski received benefits related to their celebrity,

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specifically Defendan Drewski, who had a television show on the

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Revolt TV network. Defendants wilfully ignored the dangers of defending

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Ditty's conduct and pattern of harassment, sexual assault, abuse, and

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misconduct solely for their own personal economic benefit. Plaintiffs' reports

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to police were ignored. Others who complained about Defending Ditty's

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egregious behavior were ignored until Cassie Ventura sued defendant Ditty.

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Since miss Ventura's bravery, countless individuals have come forward and

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file complaints for regarding sexual abuse at the hands of

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defendant Ditty. The chorus of victims and evidence of tained

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by the US Attorney's Office for the Southern District of

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New York ultimately led the defendant Ditty being indicted for

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00:20:07,000 --> 00:20:11,839
recal violations and sex trafficking, among other charges. The Ditty

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Sexual Abuse and Cover Up Enterprise and its members protected

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00:20:14,920 --> 00:20:19,319
Defendant Ditty, therefore allowing defendant Ditty to continue with sordid

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00:20:19,559 --> 00:20:24,759
and egregious sexual abuse practices, intimidated witnesses and victims from

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00:20:24,799 --> 00:20:29,880
reporting Defendan Ditty's crimes, and interfered with investigations concerning his abuse.

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Most notably, a video showing defendant Ditty abusing Miss Ventura

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was covered up and sold to him. In the instant case,

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Defendan Ditty was aided and abetted by his network of employees,

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including defendants, who helped him escape and evade capture by

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police after plaintiffs harrowing escape. Defendants were members of the

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Ditty Sexual Abuse and Cover Up Enterprise and facilitated, benefited from,

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00:20:54,039 --> 00:20:56,880
had knowledge of, or should have known of, Defendant Ditty's

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sexual proclivities and predatory sexual behavior. Defendants assisted in defending

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Ditty's predatory sexual behavior and proclivities by setting a plaintiff

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00:21:06,960 --> 00:21:10,400
to be sexually assaulted and raped by defendant Ditty, as

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well as assisting in covering up the crime. Thereafter, Defendants

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provided Defendant Ditty the means to effectuate his crimes, including

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00:21:17,839 --> 00:21:20,839
carrying the drugs used to disable plaintiffs, as well as

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the means to escape. Plaintiffs have been injured in their

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person by reason of these reco violations. By reason of

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and as a result of Defendant's conduct in furtherance of

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the Ditty abuse enterprise and resulting RECO violations, plaintiff have

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00:21:35,920 --> 00:21:40,079
been injured in their persons as detailed above. Plaintiffs have

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00:21:40,119 --> 00:21:44,039
suffered direct and severe damage to their professional and personal

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well being as a result of the assault and harassment

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perpetuated by and allowed by defendants. Defendant Ditty's assault and

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defendant reco violations have caused plaintiff to suffer from severe

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emotional distress, including developing and eating disorder and extreme weight loss,

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causing several hospitalizations, as well as extensive need for therapy.

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As a result of defendant's actions, Plaintiffs have continued to

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experience fear and anxiety, and also sought professional help on

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numerous occasions since the agregious assault, including several hospitalizations, visits

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to her personal physician and therapists. Specifically, Plaintiff Dose have

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00:22:24,000 --> 00:22:27,440
had to move continuously and even petition for name changes

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00:22:27,640 --> 00:22:30,799
to protect their identities from being discovered by the Ditty

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Abuse Enterprise. Defending Ditty's rape, kidnapping, an assault, and defendant's

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00:22:35,279 --> 00:22:40,599
reco violations have caused plaintiffs to be fearful, distressed, anxious, degraded,

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and depressed. Plaintiffs have gained a global distrust for individuals.

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If not for the defendant, Ditty's direct action, an atmosphere

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cultivated biome, and the defendants who are members of the

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00:22:53,160 --> 00:22:56,559
Ditty sexual abuse and cover up Enterprise, plaintiffs would not

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00:22:56,599 --> 00:23:00,440
have developed several issues that have severely impacted their lives

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and livelihood. Plaintiff's issues and overall health have been exasperated

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00:23:05,640 --> 00:23:08,839
by the ongoing trauma of not being believed the damage

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00:23:08,839 --> 00:23:14,480
to Plaintiff's person is incalculable. Plaintiff Parum has experienced years

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00:23:14,480 --> 00:23:17,440
of anxiety and depression since the violent rape and assault

377
00:23:17,559 --> 00:23:21,319
that occurred in twenty eighteen. Her anxiety and depression was

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00:23:21,359 --> 00:23:24,480
compounded by the lack of care and complete disregard over

379
00:23:24,519 --> 00:23:28,079
her reports to law enforcement. Even when plaintiff was brave

380
00:23:28,200 --> 00:23:31,319
enough to name defendant Ditty to the police when called

381
00:23:31,319 --> 00:23:34,759
immediately after the incident, she was dismissed and treated as

382
00:23:34,759 --> 00:23:37,440
if she was lying. Due to the fame and overall

383
00:23:37,440 --> 00:23:41,000
public support of Defendant Ditty at the time, which speaks

384
00:23:41,039 --> 00:23:44,359
to the widespread influence Defendant Ditty had over the general

385
00:23:44,400 --> 00:23:48,480
public at large. Plaintiff Parum has struggled with her inability

386
00:23:48,519 --> 00:23:52,079
to reconcile her horrible experience with defending Ditty and other

387
00:23:52,160 --> 00:23:55,440
members of the Ditty Abuse Enterprise and their outward failure

388
00:23:55,480 --> 00:23:59,720
to protect women, as members included women plaintiff those lived

389
00:23:59,759 --> 00:24:02,759
in com constant fear and have went through great lengths

390
00:24:02,759 --> 00:24:05,480
to protect their lives and identities from discovery of the

391
00:24:05,519 --> 00:24:09,680
Ditty abuse Enterprise. Plaintiffs come forward now because they believe

392
00:24:09,720 --> 00:24:13,880
it's safe to do so to defending Ditty's incarceration charges

393
00:24:13,920 --> 00:24:18,240
an upcoming trial as well in support of plaintiff. At

394
00:24:18,279 --> 00:24:21,079
all relevant times, all defendants were aware of the essential

395
00:24:21,160 --> 00:24:24,079
nature and scope of the Ditty sexual abuse cover up

396
00:24:24,079 --> 00:24:27,759
and enterprise. And intended to participate in it. All right,

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00:24:27,759 --> 00:24:29,559
we're going to wrap up right here and in the

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00:24:29,599 --> 00:24:31,920
next episode we're going to pick up where we left off,

399
00:24:32,160 --> 00:24:34,799
and that's the second cause of action. If you'd like

400
00:24:34,839 --> 00:24:36,960
to contact me, you can do that at Bobby Kapuci

401
00:24:37,039 --> 00:24:41,920
at protonmeil dot com. That's Bobby cap u Cci at

402
00:24:41,960 --> 00:24:44,640
protonmeil dot com, or if you prefer, you can find

403
00:24:44,640 --> 00:24:50,559
me on x at Bobby Underscore cap Ucci. All of

404
00:24:50,559 --> 00:24:52,920
the links that we discussed can be found in the

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00:24:52,960 --> 00:24:53,839
description box.

