[郭文贵] 私人助理马蕊控告郭文贵强奸案诉状曝光(图)
b )对于第二条指控, 根据法院判决结果,应赔偿至少2,000万美元,并支付法定利息、罚金、律师费、相关费用及其他法庭认为合理合法的处罚。
c )对于第三条指控,根据法院判决结果,应赔偿至少2,000万美元,并支付法定利息、罚金、律师费、相关费用及其他法庭认为合理合法的处罚。
d )对于第四条指控,根据法院判决结果,应赔偿至少 2,000万美元,并支付法定利息、罚金、律师费、相关费用及其他法庭认为合理合法的处罚。
e )对以上指控,对原告作出惩罚性赔偿。
纽约
2017 年 9 月 7 日
附:《马蕊状告郭文贵强奸一案诉状》英文版:
SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK
RUIMA, Index. No.
-against-
Plaintiff,
VERIFIED COMPLAINT
GUO WENGUI a/k/a MILES KWOK and GOLDEN SPRING (NEW YORK) LTD.,
Defendants.
Plaintiff Rui Ma (“Plaintiff”), by her undersigned attorneys, as and for her verified complaint against defendant Guo Wengui a/k/a Miles Kwok (“Defendant Kwok”), and Golden
Spring (New York) Ltd. (a/k/a Shiny Times Holding Limited, Spirit Charter Investment Limited and Beijing Pangu Investment Inc.) ("Golden Spring") respectfully alleges as follows:
PRELIMINARY STATEMENT
1. Over a period of several years, Defendant Kwok carefully cultivated an image of himself as a cultured political dissident who stands up to -- and exposes the rampant corruption within -- the tyrannical government of the People's Republic of China (the "PRC").
2. This public persona, however, is a smokescreen, largely facilitated by Defendant Kwok's considerable personal wealth and prominent connections in the West.
3. In fact, this crafted fiction serves not only to satisfy tl1e ego of Defendant Kwok and those who affiliate with him; it further provides Defendant Kwok with a means to
mask the campaign of intimidation and terror he unleashes regularly upon those few of his employees, like Plaintiff, who dare not submit themselves entirely to his domination.
4. By this Complaint, Plaintiff seeks recompense from Defendant Kwok for his repeated acts of mental cruelty and sexual violence, so that Defendant Kwok -- who has fled the jurisdictions in which he could be held criminally responsible - might be held accountable in a civil forum for his wrongs.
THE:PARTIES
5. Plaintiff is a 28-year old woman who is a Chinese national and who was, at all relevant times relevant here, employed as a personal assistant to Defendant Kwok. Plaintiff swears to the accuracy of the claims set forth herein by the verification attached to this pleading.
6. Defendant Kwok is a 50-year old man, who is also a Chinese national.
7. At all relevant times, Defendant Kwok was, and remains, a New York resident living in the Sherry-Netherland Hotel in an apartment that has been valued at approximately $68 million, located at 781 Fifth Avenue, New York, New York.
8. Defendant Golden Spring is a Delaware Corporation affiliated with Defendant Kwok, authorized to do business in the State of New York.
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c )对于第三条指控,根据法院判决结果,应赔偿至少2,000万美元,并支付法定利息、罚金、律师费、相关费用及其他法庭认为合理合法的处罚。
d )对于第四条指控,根据法院判决结果,应赔偿至少 2,000万美元,并支付法定利息、罚金、律师费、相关费用及其他法庭认为合理合法的处罚。
e )对以上指控,对原告作出惩罚性赔偿。
纽约
2017 年 9 月 7 日
附:《马蕊状告郭文贵强奸一案诉状》英文版:
SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK
RUIMA, Index. No.
-against-
Plaintiff,
VERIFIED COMPLAINT
GUO WENGUI a/k/a MILES KWOK and GOLDEN SPRING (NEW YORK) LTD.,
Defendants.
Plaintiff Rui Ma (“Plaintiff”), by her undersigned attorneys, as and for her verified complaint against defendant Guo Wengui a/k/a Miles Kwok (“Defendant Kwok”), and Golden
Spring (New York) Ltd. (a/k/a Shiny Times Holding Limited, Spirit Charter Investment Limited and Beijing Pangu Investment Inc.) ("Golden Spring") respectfully alleges as follows:
PRELIMINARY STATEMENT
1. Over a period of several years, Defendant Kwok carefully cultivated an image of himself as a cultured political dissident who stands up to -- and exposes the rampant corruption within -- the tyrannical government of the People's Republic of China (the "PRC").
2. This public persona, however, is a smokescreen, largely facilitated by Defendant Kwok's considerable personal wealth and prominent connections in the West.
3. In fact, this crafted fiction serves not only to satisfy tl1e ego of Defendant Kwok and those who affiliate with him; it further provides Defendant Kwok with a means to
mask the campaign of intimidation and terror he unleashes regularly upon those few of his employees, like Plaintiff, who dare not submit themselves entirely to his domination.
4. By this Complaint, Plaintiff seeks recompense from Defendant Kwok for his repeated acts of mental cruelty and sexual violence, so that Defendant Kwok -- who has fled the jurisdictions in which he could be held criminally responsible - might be held accountable in a civil forum for his wrongs.
THE:PARTIES
5. Plaintiff is a 28-year old woman who is a Chinese national and who was, at all relevant times relevant here, employed as a personal assistant to Defendant Kwok. Plaintiff swears to the accuracy of the claims set forth herein by the verification attached to this pleading.
6. Defendant Kwok is a 50-year old man, who is also a Chinese national.
7. At all relevant times, Defendant Kwok was, and remains, a New York resident living in the Sherry-Netherland Hotel in an apartment that has been valued at approximately $68 million, located at 781 Fifth Avenue, New York, New York.
8. Defendant Golden Spring is a Delaware Corporation affiliated with Defendant Kwok, authorized to do business in the State of New York.
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