All Episodes

May 19, 2025 10 mins
Plaintiff John Doe, represented by Eisenberg & Baum, LLP, has filed a civil lawsuit against defendant Sean Combs in the United States District Court for the Southern District of New York. The complaint alleges claims against Combs based on actions detailed through the plaintiff’s personal knowledge, along with other facts and information. The lawsuit initiates formal litigation, aiming to hold Combs accountable for alleged wrongdoing, though the precise details of the claims are yet to be outlined publicly.

The case, brought anonymously under the name "John Doe," suggests sensitivity surrounding the allegations or potential concerns for the plaintiff’s safety or privacy. As the legal process advances, further specifics regarding the nature of the allegations and the damages sought are expected to emerge, clarifying the basis for this legal action against Combs.


to contact me:

bobbycapucci@protonmail.com


source:


gov.uscourts.nysd.637615.1.0_1.pdf
Mark as Played
Transcript

Episode Transcript

Available transcripts are automatically generated. Complete accuracy is not guaranteed.
Speaker 1 (00:00):
What's up, everyone, and welcome to another episode of The
Diddy Diaries. In this episode, we're going to take a
look at another lawsuit that was filed against Ditty by
another male sex worker, John Doe. Case number one twenty
five DASH CV DASH zero one six five two dash

(00:20):
Lap John Doe plaintiff verse Sean Colmes, the defendant. Plaintiff
John Doe, buying through his attorneys Eisenberg and Baum llp
Hereby states that this complaint against defending Shawn Colms and
alleged as follows based upon personal knowledge and information and
belief preliminary statement. Under the guise of mal companionship, Sewn

(00:45):
Colms allured John Doe to be sexually assaulted and then
threaten them to stay quiet. You better not say a
word to anybody about this, did you hear me? I'm
not fucking playing with you. If I can get pockehit,
what the fuck do you think can have? Up in
a U. Fearing for his life, John Doe affirmed that
he would not say anything about the assault parties. Plaintiff

(01:08):
John Doe is an individual defendant. Shahn Colmes is an individual.
Jurisdiction and venue this court has subject jurisdiction for the
federal law claim under US Code twenty eight section thirteen
thirty one and thirteen forty three, because this action arises
under the laws of the United States. This court also

(01:30):
has supplemental jurisdiction for a state and or common law
claims under US Code twenty eight, section thirteen sixty seven,
because these claims are substantially related to the federal law claim.
Venue is proper in this district under US Code twenty
eight section thirteen ninety one B, because, among other things,

(01:51):
the accent of missions giving rise to this complaint occurred
in this district the statement of facts In twenty twelve,
John Doe was a contractor for a male companion service
based out of Florida. After initially meeting Colmbs through this service,
Doe would travel from Florida, where he resides, to New
York City at Colm's request. When Doe arrived at the

(02:13):
Intercontinental Hotel in New York City, he was brought into
a suite where Combs soon ordered Doe to perform sexual
acts upon a female companion of Colms. During this time,
Colmbs had Doe drink from a water bottle and then
Colmbs rub baby oil all over Doe's body, one or
both of which made Doe feel as if he had

(02:33):
been drugged and not incomplete control of his body. And
just a quick note, I don't think there were drugs
inside of the baby oil bottles. I think that whoever
was drugged, if they were drugged, it happened in the drink.
And the reason I say that is because if they
found drugs in the baby oil, that would have been
part of the court case as far as the criminal

(02:54):
trial goes. But we haven't seen that, right, so that
leads me to believe that anybody was being drugged, they
were getting drugged inside of those drinks. After these acts concluded,
Doe went to the bathroom. While in the bathroom, Combs
entered and said, I really want you to stay. Let's
turn up. Let's turn up. Doe reiterated that he was

(03:17):
not feeling well and needed to leave. Colmbs replied saying no,
We're gonna have some fun and grabbed those penis while
he began to simultaneously touch himself. Combs then let go
with those penis and began inserting his finger into those
aenis without those consent, He continued the assault, pinning Dough

(03:37):
to the wall and forcing his penis into those rectum.
Dough continually told Colmbs to stop screaming no because he
was in pain. Colmbs continued the assault for four to
five minutes and forcibly anally raped Doe. When Colmbs removed
his penis from those rectum, he began to threaten him,
saying things like you better not say a word to

(03:57):
anybody about this. Did you hear me? Though, affirm that
he had heard them, and Colmbs continued, I'm not fucking
playing with you. If I can get a pocket, what
the fuck do you think can happen to you? Though,
fearing for his life, again, affirm that he would not
say anything about the assault. First cause of action violation
of US Code eighteen, section fifteen ninety one. Plaintiff repeats, reiterates,

(04:22):
and realleges each and every allegation set in detail above,
as if set forth fully and at length here in.
The Trafficking Victims Protection Act TVPA creates a civil remedy
by victims against perpetrators and others who benefited financially from
participation in a sex trafficking venture. See US Code eighteen,

(04:43):
section fifteen ninety five. A TVPA claim must plead that
the defendant knowingly benefits financially or by receiving anything of
value from participating in a sex trafficking venture while knowing
that means a force, threats of force, fraud, or core
will be used to cause a person to engage in
a commercial sex act US Code eighteen, Section fifteen ninety

(05:06):
one A two. In addition to traditional sex trafficking ventures
such as forced prostitution, the TVPA equally applies in simpler
and less sensational situations to defendants who have lured individuals
under false pretenses and with lucrative promises for sexual purposes
Noble Verse Weinstein, three thirty five, Dot supp three D

(05:29):
five oh four five sixteen and Dot five SDNY twenty eighteen.
Combs frequently traveled to different states and had plaintiff travel
inner state under the guise of a valid business transaction.
Unbeknownst to plaintiff, Comes actually intended to sexually assault plaintiff Instead.
Colmbs knew that he would use the contractor's service for

(05:51):
which plaintiff worked in order to create a pretext for
him to meet with plaintiff for business related purposes and
use fraud fils, physical force, or coercion to force sexual
encounters without Plaintiff's consent. Combs traveled in interstate and foreign commerce,
knowingly recruiting and enticing plaintiff, offering him something of value

(06:12):
through his companion's service, knowing that he would use these
offers as a means to coerce Plaintiff to have private
business meetings with Combs and then use fraud, intimidation, force,
and or coercion into four sexual encounters without Plaintiff's consent. Thus,
Comes knowingly affected interstate commerce by recruiting, enticing, transporting, and

(06:35):
soliciting plaintiff, knowing that he intended to do and did
perform a commercial sex act on plaintiff without Plaintiff's consent.
As a result, plaintiff experienced injury in the form of
severe emotional pain and suffering emotional distress and humiliation for
the reasons alleged above. Plaintiff seeks compensatory and punitive damages,

(06:57):
had an amount to be determined by trial, and an
award of attorney fees, costs, and disbursements. The second cause
of action violation of New York's vgmvpl under New York
City's victim of gender motivated protection law. Survivors of sexual
abuse have a two year window to file claims overgender

(07:19):
motivated assaults that occurred at any time in the past.
The window opens on March first, twenty twenty three, and
closes on March first, twenty twenty five. The VGMVPL provides
a civil cause of action to any person claiming to
be injured by a party who commits, directs, enables, participates in,

(07:39):
or conspires in. The Commission of a crime of violence
is expressly defined to mean an actor series of acts
that would constitute a misdemeanor or a felony against the
person as defined in state or a federal law, or
that would constitute a misdemeanor or a felony against property
as defined in state or federal law, if the conduct

(07:59):
presents a serious risk of physical injury to another, whether
or not those acts have actually resulted in criminal charges, prosecution,
or conviction. As set forth above, Combs sexually assaulted plaintiff,
and this would not have occurred if plaintiff had been female.
In any event, sexual assault is presumed to be committed

(08:20):
with animus for purposes of the VGMVPL. For the reasons
alleged above. Plaintiff seeks compensatory and punitive damages in an
amount to be determined at trial and an award of
attorney fees, costs, and disbursements. The third cause of action
common law sexual assault, battery, and or rape. Plaintiff realleges

(08:42):
and incorporates the preceding paragraphs as if fully set forth
here in Combs intentionally attempted, without authority or consent to
harm and or offensively contact plaintiff, and this attempt to
reasonably place plaintiff in fear an apprehension of such harm
and or offensive contact with conduct proximately caused them injury
and damage. A hateful, offensive, unprivileged, and unpermitted contact with

(09:07):
plaintiff actually occurred as a result of this conduct. As
a result, Plaintiff experienced and will continue to experience, emotional anguish,
pain and suffering, and loss of dignity damages. Defendant's conduct
was malicious, wanton, and wilful for the reasons alleged above.
Plaintiff seeks compensatory and punitive damages in an amount to

(09:28):
be determined at trial and an award of attorney fees, costs,
and disbursements. Fourth cause of action intentional and infliction of
emotional distress. Plaintiff realleges and incorporates the preceding paragraph as
if fully set forth here in Calm's conduct and assault
and battery of plaintiff described above was intentional, shocking, unreasonable,

(09:51):
and highly offensive, which caused severe and debilitating emotional distress
to plaintiff. Defendant's conduct was malicious, wanton, and wilful. Accordingly,
Plaintiff seeks compensantory and punitive damages in an amount to
be determined that trial, and an award of attorney fees, costs,
and disbursements. Prayer for relief. Plaintiff respectfully praised at this

(10:15):
Court grant the following relief against defendant, enter judgment against defendant,
and an award of damages, including but not limited to,
compensantory damages for emotional distress, nominal, punitive and or exemplary damages,
attorney fees, preimposed judgment interest in an amount to be
determined that trial by a jury, and any further relief

(10:37):
that this Court deems just and proper. This document was
dated February twenty six, twenty twenty five, and it was
signed by Adriana Acaldi All of the information that goes
with this episode can be found in the description box.
Advertise With Us

Popular Podcasts

Stuff You Should Know
Dateline NBC

Dateline NBC

Current and classic episodes, featuring compelling true-crime mysteries, powerful documentaries and in-depth investigations. Special Summer Offer: Exclusively on Apple Podcasts, try our Dateline Premium subscription completely free for one month! With Dateline Premium, you get every episode ad-free plus exclusive bonus content.

On Purpose with Jay Shetty

On Purpose with Jay Shetty

I’m Jay Shetty host of On Purpose the worlds #1 Mental Health podcast and I’m so grateful you found us. I started this podcast 5 years ago to invite you into conversations and workshops that are designed to help make you happier, healthier and more healed. I believe that when you (yes you) feel seen, heard and understood you’re able to deal with relationship struggles, work challenges and life’s ups and downs with more ease and grace. I interview experts, celebrities, thought leaders and athletes so that we can grow our mindset, build better habits and uncover a side of them we’ve never seen before. New episodes every Monday and Friday. Your support means the world to me and I don’t take it for granted — click the follow button and leave a review to help us spread the love with On Purpose. I can’t wait for you to listen to your first or 500th episode!

Music, radio and podcasts, all free. Listen online or download the iHeart App.

Connect

© 2025 iHeartMedia, Inc.