Complaint - Ventura V Combs
Complaint - Ventura V Combs
Plaintiff Casandra Ventura (“Ms. Ventura”) hereby alleges, as and for her Complaint
against Defendant Sean Combs (“Mr. Combs”), Bad Boy Entertainment, Bad Boy Records, Epic
Records, Combs Enterprises, LLC, and Doe Corporations 1-10 (together, “Defendant
PRELIMINARY STATEMENT
1. Defendant Sean Combs is a rapper and record executive popularly known by his
stage names Puff Daddy, P. Diddy, or Diddy. Mr. Combs came to fame in the early 1990s with
his record label Bad Boy Records. He rose to prominence in the music and entertainment
2. In 2022, Mr. Combs received the Lifetime Achievement Award at the BET
Awards. During his acceptance speech, Mr. Combs stated, “I have to give a special shoutout,
thank you, love, to the people that was really there for me.” He named a number of people,
before adding, “[a]nd also Cassie, for holding me down in the dark times, love.”
1
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 2 of 35
Mr. Combs and endured over a decade of his violent behavior and disturbed demands. For Ms.
Ventura, the “dark times” were those she spent trapped by Mr. Combs in a cycle of abuse,
violence, and sex trafficking. Among other violent and unlawful acts, Mr. Combs:
• Raped Ms. Ventura in her own home after she tried to leave him;
• Forced Ms. Ventura to engage in sex acts with male sex workers
while masturbating and filming the encounters;
• Demanded that Ms. Ventura to carry his firearm in her purse just to
make her uncomfortable and demonstrate how dangerous he is; and
4. Ms. Ventura met Mr. Combs in 2005, when she was nineteen years old and he was
thirty-seven years old. He signed her to his label, Bad Boy Records, and within a few years,
lured Ms. Ventura into an ostentatious, fast-paced, and drug-fueled lifestyle, and into a romantic
relationship with him—her boss, one of the most powerful men in the entertainment industry,
and a vicious, cruel, and controlling man nearly two decades her senior.
5. Mr. Combs asserted complete control over Ms. Ventura’s personal and
professional life, thereby ensuring her inability to escape his hold. He provided unprecedented
2
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 3 of 35
avenues for success for the aspiring artist, but in return, demanded obedience, loyalty, and
silence.
6. Throughout their relationship Mr. Combs was prone to uncontrollable rage, and
frequently beat Ms. Ventura savagely. These beatings were witnessed by Mr. Combs’ staff and
employees of Bad Boy Entertainment and Mr. Combs’s related businesses, but no one dared to
attempt to hide Ms. Ventura and the evidence of his violent rage. He often showered her with
gifts following incidents of physical violence, a typical pattern of behavior by serial abusers.
8. In addition to the physical assaults, Mr. Combs frequently reminded Ms. Ventura
of his ability to cause serious harm, whether by requiring her to carry his gun in her purse or by
blowing up the car of a musician that was romantically interested in Ms. Ventura.
9. Adding insult to injury, Mr. Combs used illegal substances and threats of violence
to force Ms. Ventura into repeated unwanted sexual encounters with male sex workers.
10. Over the years that Mr. Combs abused Ms. Ventura physically and sexually, she
again and again tried to escape his tight hold over her life. Every time she hid, Mr. Combs’s vast
network of corporations and affiliated entities found her, and those who worked for Mr. Combs’s
companies implored her to return to him. Many went as far as to explicitly state that her failure
to return to Mr. Combs would hinder her success in the entertainment industry.
11. When she believed that she had finally separated from her long-time abuser, she
joined Mr. Combs for a dinner, after which he forced her into her home and raped her while she
3
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 4 of 35
12. Ms. Ventura has now fully escaped Mr. Combs, but the harm that the assaults and
sexual abuse he caused her to experience for nearly a decade will forever haunt her. She has
required intensive medical and psychological care to recover from the trauma she lived through.
13. She cannot, however, continue to live in silence about what she endured. Mr.
Combs remains immensely powerful, and immensely dangerous. Ms. Ventura therefore seeks
justice for the decade of her life that Mr. Combs took away from her with threats of violence,
excessive use of drugs, physical and psychological abuse, and sexual slavery.
14. Accordingly, Ms. Ventura brings this action seeking injunctive, declaratory and
monetary relief against Defendants in violation of federal sex trafficking laws, 18 U.S.C. § 1591,
et seq., the New York State Human Rights Law, N.Y. Exec. Law §§ 290, et seq. (“NYSHRL”),
the New York City Human Rights Law, N.Y.C. Admin. Code §§ 8-101, et seq. (“NYCHRL”), the
Gender Motivated Violence Act, N.Y.C. Admin. Code §§ 8-901, et seq. (“GMVA”), the New
York Services for Victims of Human Trafficking, N.Y. Servs. Law § 483-BB, the California
Sexual Abuse and Cover Up Accountability Act, Cal. Civ. Proc. § 340.16, and the California
15. This Court has jurisdiction pursuant to 28 U.S.C. §§ 1331 and 1343, as this action
asserts violations of 18 U.S.C. § 1591, et seq., and therefore raises federal questions regarding
the deprivation of Plaintiff’s rights. The Court has supplemental jurisdiction over Plaintiff’s
related claims arising under state and city law pursuant to 28 U.S.C. § 1367(a).
substantial part of the events or omissions giving rise to this action, including the unlawful
4
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 5 of 35
employment practices and intentional and negligent tortious conduct alleged herein, occurred in
this district.
PARTIES
Connecticut, and was employed by Defendants Bad Boy Records LLC and Bad Boy
Entertainment and related entities (among them, Doe Corporations 1-10) from 2006 to 2019. At
all relevant times herein, Ms. Ventura met the definition of an “employee” of Defendants under
18. Defendant Sean Combs, upon information and belief, resides within the State of
California. At all relevant times herein, Mr. Combs met the definition of an “employer” of
19. Defendant Bad Boy Entertainment is a music, media, and entertainment company
founded by Defendant Sean Combs, which includes the record label Defendant Bad Boy Records
LLC. At all relevant times, Defendant was an “employer” of Plaintiff within the meaning of all
applicable statutes.
20. Defendant Bad Boy Records LLC is a Delaware limited liability company with a
principal place of business located in New York, New York. At all relevant times, Defendant was
21. Defendant Epic Records is a New York based record label owned by Sony Music
5
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 6 of 35
22. Defendant Combs Enterprises, LLC is a New York limited liability company. At
all relevant times, Defendant was an “employer” of Plaintiff within the meaning of all applicable
statutes.
23. Defendant Doe Corporations 1-10 are corporations and entities affiliated and
associated with Defendants Sean Combs and the Defendant Corporations. At all relevant times,
Defendant Doe Corporations 1-10 were “employers” of Plaintiff within the meaning of all
applicable statutes.
FACTUAL ALLEGATIONS
I. Teenaged Ms. Ventura Meets Middle-Aged Mr. Combs as Her Career Begins
24. Ms. Ventura met Mr. Combs in late 2005 or early 2006, after Mr. Combs heard
Ms. Ventura’s first single playing in a club and expressed interest in signing her to his label, Bad
Boy Records.
25. At the time, Ms. Ventura was 19 years old. Mr. Combs was 37 years old.
26. Within months, in February 2006, Ms. Ventura signed a ten-album deal with Mr.
27. Ms. Ventura’s first album, Cassie, was released in August 2006, debuting at
28. To promote the album, Ms. Ventura made television appearances on MTV’s Total
Request Live and BET’s 106 & Park. Ms. Ventura suffered from significant performance anxiety
during these appearances, and press outlets were highly critical of Ms. Ventura’s performances
on these shows.
6
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 7 of 35
29. Mr. Combs, however, sought to rehabilitate his newly signed talent, telling MTV
News:
30. While clearly paternalistic in noting that it was “cute” to him how “regular” Ms.
Ventura appeared, Mr. Combs’ comments rang true to some extent—upon signing with Bad Boy
Records, Ms. Ventura was quickly thrust into the spotlight, and was unfamiliar with how to
31. Mr. Combs’ recognition and glorification of Ms. Ventura’s naivete proved to set
the groundwork for his manipulative and coercive romantic and sexual relationship with Ms.
32. Within a year of signing with Bad Boy Records, Mr. Combs became deeply
entrenched in Ms. Ventura’s life, almost immediately asserting possession and control over her,
and inserting himself into all aspects of her career and her personal life.
33. In November 2006, Mr. Combs invited Ms. Ventura to perform his song “Come to
Me” along with him at the MTV Europe Music Awards in Copenhagen, Denmark. After
rehearsal for the performance, Mr. Combs walked around in a robe with a drink in his hand,
flaunting his lavish party lifestyle to his label’s newly signed artist.
34. During hair and makeup leading up to the performance, Ms. Ventura’s hairstylist
and Mr. Combs’s makeup artist told Ms. Ventura that Mr. Combs was “interested” in Ms.
7
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 8 of 35
Ventura. Ms. Ventura shrugged off the gossip, and in fact expressed disgust given the large age
35. Emphasizing the age and power dynamic, early on in their working relationship,
Mr. Combs positioned himself as a father figure and protector of Ms. Ventura. By way of
example, after returning to New York after a trip to Las Vegas, during which she endured a brief
hospital stay, Ms. Ventura, who by then was fully healthy, went out to a club with her friends.
When Mr. Combs saw her out, he reprimanded her, telling her to go home and take care of
herself. At the time, Ms. Ventura thought that her record label was looking out for her wellbeing,
36. Mr. Combs also ensured he was intertwined with Ms. Ventura’s personal and
social life, for instance, by inviting himself to Ms. Ventura’s 21st birthday party in Las Vegas. He
also brought along famous musicians and producers, thereby flaunting his celebrity status and
37. Although Mr. Combs knew that Ms. Ventura was in a relationship at the time, and
even though he was publicly in a relationship with Kim Porter, Mr. Combs nevertheless pursued
Ms. Ventura. At an afterparty in a hotel suite following Ms. Ventura’s 21st birthday party, Mr.
Combs pulled Ms. Ventura into a bathroom and forcibly kissed her. Ms. Ventura did not consent
to this unwanted contact. She immediately ran out of the bathroom and the hotel suite and cried.
She told her best friend at the time about what had happened but was too scared to tell anyone
else.
38. At the Video Music Awards the following day, Ms. Ventura’s boyfriend at the time
joined her and Mr. Combs at a table at the awards ceremony. Mr. Combs became angry, telling
8
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 9 of 35
Ms. Ventura that the invitation to the awards ceremony was only for her, and not for her
significant other.
39. Despite her clear rejection of Mr. Combs’ advances, Mr. Combs continued to
demand Ms. Ventura spend time with him, including for a weekend at Mr. Combs’ residence in
40. On one particular night around September 2007, Mr. Combs insisted on taking
Ms. Ventura out. Ms. Ventura acquiesced, fearing that rejecting Mr. Combs’ request would have
repercussions for her album deal with Mr. Combs and his company, Bad Boy records.
41. Mr. Combs picked up Ms. Ventura from her apartment in Manhattan in a blue
luxury vehicle. Ms. Ventura was surprised that when she got into the car, Mr. Combs was
already inebriated.
42. He handed her a pill and told her to take it; when Ms. Ventura asked what the pill
was, Mr. Combs dismissed her and told her she would like it. She later learned the pill was
ecstasy—something Ms. Ventura had never before tried and did not want to try. This was the
43. Mr. Combs then proceeded to drive recklessly at very high speeds down the West
Side Highway of Manhattan. Ms. Ventura was very scared, but did not dare to object to Mr.
44. Mr. Combs took Ms. Ventura to an upscale lounge in downtown Manhattan,
where he proceeded to get into an altercation with the security staff who would not permit Mr.
Combs to enter, presumably because he was belligerent. Ms. Ventura decided to go home, but
9
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 10 of 35
for the remainder of the night Mr. Combs messaged Ms. Ventura incessantly, complaining that he
45. In early fall 2007, Mr. Combs flexed his power and influence when he paid a
promoter to create a fake flyer for a party hosted by Ms. Ventura—this fake posting allowed Ms.
Ventura to have an excuse to go to Miami, Florida and get her away from her boyfriend by using
the guise of a legitimate event she had to attend. Ms. Ventura was stunned at how easily Mr.
46. Ms. Ventura was uncomfortable with the fake flyer. But because the request to go
to Miami was made by the owner of her record label, and because she was scared to go against
his wishes and face repercussions to her nascent career, Ms. Ventura agreed to join Mr. Combs in
Florida.
47. During this trip to Miami, Mr. Combs provided Ms. Ventura with copious
amounts of drugs—she became more intoxicated than she ever had before, and her intoxication
lasted throughout the weekend trip. As she wanted Mr. Combs to continue to support her career,
she felt she could not refuse Mr. Combs’ urging her to take more drugs. After providing her with
drugs, Mr. Combs had sexual intercourse with Ms. Ventura during this trip.
48. Within two years of meeting Mr. Combs, Ms. Ventura found herself lured into the
immediate circle of her boss, the owner of her record label, and one of the most powerful men in
III. Mr. Combs Exerts Control Over Ms. Ventura’s Career and Personal Life
49. From the very start of their relationship, Mr. Combs exerted his power and
influence over Ms. Ventura. This dynamic was fueled by their nearly twenty-year age difference
10
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 11 of 35
as well as their relative positions in the entertainment industry—with Mr. Combs considered a
music “mogul” and Ms. Ventura at the very start of her career as an entertainer.
50. Mr. Combs’s aggressive and demanding approach to those he worked with made
it impossible for anyone to challenge him, and Ms. Ventura soon learned that Mr. Combs insisted
51. Although Ms. Ventura had saved up some earnings from her young modelling
52. Mr. Combs paid for things with “wads of cash,” and would repeatedly tell Ms.
53. Mr. Combs expensed lavish vacations for him and Ms. Ventura, purchased a car
for her, paid for her apartment, and provided her with extensive amounts of designer clothing.
54. Around 2008 or 2009, Mr. Combs began to rent an apartment in Manhattan for
Ms. Ventura. The apartment was within walking distance of Mr. Combs’s New York residence.
He first showed Ms. Ventura the apartment by bringing her there along with her parents. Ms.
Ventura’s parents were skeptical of the mogul’s displays of wealth, but proud of their daughter’s
newfound success.
55. Around 2010, Mr. Combs similarly paid for an apartment for Ms. Ventura in Los
Angeles, which was located about five minutes away from Mr. Combs’s residence. He paid for
many of her apartments in California, and also purchased a Jaguar for her around 2013 or 2014.
56. All aspects of Ms. Ventura’s life were controlled by either Mr. Combs or his
management companies. Every event Ms. Ventura attended, from the travel to the makeup and
clothing, was paid for directly by Mr. Combs and his affiliated companies.
11
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 12 of 35
57. Compounding this all-encompassing intrusion into her life, Mr. Combs secured
his control over the young and impressionable Ms. Ventura by introducing her to a drug-fueled
lifestyle that kept her complacent and compliant. Mr. Combs first introduced Ms. Ventura to
opiates around 2008, and would often have pills and other drugs out in the open “like candy.”
Upon information and belief, Mr. Combs has been addicted to prescription painkillers and took
ecstasy frequently.
58. At first, Ms. Ventura was given the prescriptions that Mr. Combs received from a
doctor in Miami, Florida. Eventually, when Mr. Combs exhausted his supply of pills, he
demanded that Ms. Ventura procure prescriptions from this Miami doctor in her own name.
59. Mr. Combs also became deeply involved in Ms. Ventura’s personal life, with his
personal staff attending to Ms. Ventura’s day-to-day travel and other needs, including medical
care. On multiple occasions, Mr. Combs had Ms. Ventura’s personal medical records sent
directly to his email address. For instance, when Ms. Ventura began experiencing memory
loss—potentially due to excessive drug use and/or head injuries caused by Mr. Combs’s beatings,
as described below—her MRI results were provided directly to Mr. Combs. Mr. Combs also
repeatedly arranged for his staff to drive Ms. Ventura to certain doctors’ appointments.
60. In this way, Mr. Combs exerted ownership over Ms. Ventura. As another example
of the ways in which he manipulated Ms. Ventura and ensured obedience, early on in their
relationship, he asked Ms. Ventura what she called her grandfather. When Mr. Ventura said that
she referred to her grandfather as “Pop Pop,” Mr. Combs perversely insisted that Ms. Ventura
12
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 13 of 35
IV. Mr. Combs and Ms. Ventura’s Relationship Becomes Violent and Abusive
62. Ms. Ventura was also exposed to the intense violence that pervaded Mr. Combs’s
rise to fame. For example, on one occasion when Mr. Combs and Ms. Ventura were using drugs
together in his home, one of his security staff barged in and announced that Suge Knight—a
longtime rival of Mr. Combs—was spotted at Mel’s Drive-In Diner in Los Angeles. Mr. Combs
began to get dressed, retrieved multiple guns from a safe and ran out of his home to where he
believed Mr. Knight was dining. Ms. Ventura became terrified and began to cry.
63. On at least two occasions, Mr. Combs demanded that Ms. Ventura hold Mr.
Combs’s gun in her purse. Ms. Ventura had no familiarity with guns and was petrified that the
firearm would accidentally go off in her purse. There was no clear reason why Mr. Combs
required her to hold his guns, except to reinforce to his young girlfriend that he was violent,
64. Over the next decade, multiple times each year, Mr. Combs would violently beat
Ms. Ventura, leaving bruises on her body. After every instance in which he beat Ms. Ventura,
Mr. Combs used his money and power to orchestrate extensive efforts to hide the evidence of his
abuse, including by hiding Ms. Ventura in hotels for days at a time to let her bruises heal.
65. In one such instance, after a party with Jay-Z, Mr. Combs beat Ms. Ventura
repeatedly in an Escalade, including by kicking and hitting her. He forced her out of the vehicle
on Fifth Avenue in New York City. She was eventually able to hail a cab and get to her
apartment in Manhattan, where she cried in fear, realizing there was no one she could tell about
13
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 14 of 35
what had happened at the hands of this incredibly powerful man. She spent the subsequent three
66. In January 2009, after Mr. Combs learned that Ms. Ventura spoke to another
music manager at a party in Los Angeles, he became enraged. She had hoped speaking to this
manager would allow her to further grow her career, and that Mr. Combs would be happy for her,
but instead he became extremely angry and pulled her out of the club where the party was taking
place.
67. In the car leaving the club, Mr. Combs beat Ms. Ventura, pushing her into a corner
of the vehicle and stomping on her face. Mr. Combs’s security staff, Roger Bonds, tried to stop
the beating, but was unable to deescalate the situation. When the car arrived at Mr. Combs’
residence, Ms. Ventura attempted to run away, but Mr. Combs followed her and proceeded to
again kick her in the face. Ms. Ventura was bleeding profusely, and was ushered into Mr.
Combs’ home, where she began to throw up from the violent assault.
68. Upon recognizing the damage he had done and the physical evidence of his abuse,
Mr. Combs panicked, and forced his staff to bring Ms. Ventura to a hotel suite at The London
Hotel in Los Angeles, where she was required to stay for a week.
69. During this stay, as her injuries from the beating healed, Ms. Ventura began to
fully realize that Mr. Combs’s tremendously loyal network not only knew about and witnessed
his assault, but also that these witnesses were not willing to do anything meaningful to stop Mr.
Combs’s behavior. She recognized that she was powerless, and that reporting Mr. Combs to the
authorities would not alter Mr. Combs’s status or influence but would merely give Mr. Combs
14
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 15 of 35
70. While in the hotel, she asked to go home to her parents, but Mr. Combs wouldn’t
let her leave. She lied to her mother when asked about an online gossip forum that reported the
assault.
71. Mr. Combs proceeded to instruct his assistant to purchase excessive amounts of
gifts for Ms. Ventura, which were delivered to the hotel room where she remained trapped.
72. Ms. Ventura was terrified, isolated, and unable to see a pathway out of Mr.
73. She found herself becoming numb to the abuse she was experiencing, and became
entirely beholden to Mr. Combs’s demands. She began to blindly follow his instructions out of
74. By Mr. Combs’s own admission, his relationship with Ms. Ventura was like
“Bobby and Whitney,” a clear acknowledgement of the unequal power dynamic and excessive
domestic violence that permeated their relationship. From the outside looking in, Ms. Ventura
had heard others refer to her relationship with Mr. Combs as akin to “Ike and Tina.”
75. Her volatile and abusive partner—who also owned her label and therefore held
her future success in his hands—had fully exerted control over every aspect of her life.
76. Within a few months of beginning a romantic relationship with forty-year-old Mr.
Combs, the twenty-two-year-old Ms. Ventura felt beholden to his whims and demands.
77. While in New York City, Mr. Combs told the Ms. Ventura that he wanted to
engage in a fantasy of his called “voyeurism.” Mr. Combs said that it would “turn him on” if he
15
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 16 of 35
78. The first time, Mr. Combs hired a man and brought the man to his home in Los
Angeles. The man, Mr. Combs, and Ms. Ventura wore masquerade masks, and ingested drugs.
Mr. Combs directed Ms. Ventura to perform sexual acts with this man while Mr. Combs watched
them. He masturbated while he directed Ms. Ventura and the man to do specific sexual acts.
80. Mr. Combs began to call the arrangement a “Freak Off,” or “FO.” He would
repeatedly tell Ms. Ventura at random moments that he wanted an FO, and Ms. Ventura was
eventually expected to facilitate the location and the hiring of male sex workers.
81. At certain points during Ms. Ventura and Mr. Combs’s relationship, he would
insist on an FO weekly. Mr. Combs would repeatedly tell Ms. Ventura that this practice was “our
82. FOs would often take place in hotel suites, include at the Trump International
Hotel in Columbus Circle, L’ermitage Beverly Hills, The London Hotel in Los Angeles, the
InterContinental Century City, the InterContinental Atlanta, the InterContinental New York City,
The One Hotel in New York and in Miami, the Mandarin Oriental Hotel in New York and in
Miami, the Fontainebleau in Miami, the Beverly Hills Hotel, and Shutters on the Beach in Los
Angeles.
83. On one occasion around 2013, Mr. Combs had an FO set up at the
InterContinental Hotel in New York City, after which he was charged with tens of thousands of
dollars in damages by the hotel. Upon information and belief, Mr. Combs’s Chief of Staff Toni
16
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 17 of 35
84. Ms. Ventura was eventually instructed to use websites and escort services to find
male sex workers to participate the FOs. Mr. Combs told Ms. Ventura to search for “large black
85. Sometimes, Mr. Combs would pay to fly male sex workers to his location,
including to multiple cities in the United States as well as abroad. He required Ms. Ventura and
86. Mr. Combs’s assistants would help to set up the FOs, including by setting up the
87. Mr. Combs always supplied Ms. Ventura (and the sex worker) with copious
amounts of drugs before and during the FOs. Ms. Ventura was given ecstasy, cocaine, GHB,
ketamine, marijuana, and alcohol in excessive amounts during FOs, which allowed her to
disassociate during these horrific encounters. It became common place to get IV fluids in the
days after an FO to recover from the excessive substances pushed upon her.
88. Ms. Ventura was required to dress up in lingerie for an FO, and Mr. Combs
insisted she wear white nail polish to contrast her nails with the skin of the Black men he hired to
89. During the FO, Mr. Combs would instruct Ms. Ventura to pour excessive amounts
90. Mr. Combs would then instruct Ms. Ventura and the sex workers to speak to each
other, and then would specifically tell Ms. Ventura where to touch the sex workers. Mr. Combs
would say things like, “grab that big Black dick” and ask her “how does it feel?” as he directed
17
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 18 of 35
91. During the FOs, in addition to directing Ms. Ventura and masturbating, Mr.
Combs would use his phone, laptop, and tablet to film Ms. Ventura having sex with the hired sex
worker. He treated the forced encounter as a personal art project, adjusting the candles he used
92. While Ms. Ventura quickly deleted any photographs or video of sex acts if they
were taken on her phone, Mr. Combs repeatedly made clear that he retained many videos of Ms.
93. Even when she deleted the videos, Mr. Combs would tell Ms. Ventura that he was
able to recover deleted videos from her devices. On one occasion, he sat next to her on a flight
and made her watch a video she thought she had deleted, reinforcing her inability to escape and
94. Mr. Combs would pay the male sex workers a few thousand dollars in cash for
their services.
95. During some FOs, Mr. Combs would become extremely intoxicated and would hit
96. Ms. Ventura was repulsed by Mr. Combs’s demands, but between the physical
beating and recognizing his incredible power and incredible temper, Ms. Ventura became
petrified of her partner and boss, and felt that she could not say no.
97. He even would present her with lavish gifts prior to or in the middle of the FOs,
seemingly acknowledging the ways in which these forced sexual encounters constituted “work”
for Ms. Ventura and that he needed to compensate her for this work. At one point, he had given
her so many designer bracelets for FOs (and immediately following his brutal beatings) that she
18
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 19 of 35
98. Frequently, her anxiety before an FO would become so great that she would
become physically ill, sometimes to the point of vomiting. While kneeling over the toilet, Mr.
Combs would shame her into performing for him, eventually forcing her to get up and proceed
99. She knew firsthand that telling Mr. Combs that she did not want to engage in FOs
100. In addition, any suggestion that Ms. Ventura would refuse the FO or otherwise
report Mr. Combs’s abuse was met with ultimatums by Mr. Combs, who would say that Ms.
Ventura could not go to the police because she had “a lot to lose.”
101. Around August 2015, for example, in the middle of surprise birthday dinner for
Ms. Ventura’s 29th birthday, Mr. Combs insisted that Ms. Ventura leave the party and go to a
hotel for an FO. When she expressed that she did not want to go, Mr. Combs had Ms. Ventura
cornered by his security staff in order to force her to leave with him.
102. After this FO, Mr. Combs and Ms. Ventura went back to the hotel room that Ms.
Ventura was staying in, where some of Ms. Ventura’s friends were already hanging out. Mr.
Combs was severely intoxicated, and at one point during the night, picked up one of Ms.
Ventura’s friends like a child and dangled the friend over the balcony of the 17th floor hotel suite.
Ms. Ventura and her friends were scared by Mr. Combs’s erratic behavior, but Ms. Ventura was
heavily sedated because of the drugs she took to participate in the FO, and therefore was unable
103. The FOs became work for Ms. Ventura, and despite her protestations, Mr. Combs
insisted on these intricately staged and forced sexual encounters between Ms. Ventura and
19
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 20 of 35
104. Any time she tried to create distance between her and Mr. Combs, he used his
105. On multiple occasions, Mr. Combs sent his employees to lure Ms. Ventura back.
106. In 2011, during a rough patch in Mr. Combs and Ms. Ventura’s relationship, Ms.
107. When Mr. Combs returned from a trip, he demanded another FO of Ms. Ventura.
She acquiesced.
108. During this FO, Mr. Combs found Ms. Ventura’s phone and found emails between
her and Kid Cudi. Mr. Combs became enraged and proceeded to place a manual corkscrew
109. Ms. Ventura ran away to stay at Kid Cudi’s home to escape Mr. Combs’s wrath.
Soon thereafter, one of Mr. Combs’s staff members told Ms. Ventura that he needed “to just talk
110. Feeling like she could not escape Mr. Combs and his network of enforcers, Ms.
Ventura returned to Mr. Combs. He hit her several times, and then kicked her in the back as she
111. She went to her parents’ home in Connecticut where her mother took pictures of
112. In February 2012, during Paris Fashion Week, Mr. Combs told Ms. Ventura that
he was going to blow up Kid Cudi’s car, and that he wanted to ensure that Kid Cudi was home
with his friends when it happened. Around that time, Kid Cudi’s car exploded in his driveway.
20
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 21 of 35
113. Ms. Ventura was terrified, as she began to fully comprehend what Mr. Combs was
114. In 2015, Ms. Ventura spoke to a popular music manager at an after party in a hotel
suite in Las Vegas. Mr. Combs saw her speaking to this manager, and sternly told her to step into
the bedroom adjoining the suite. In the bedroom, Mr. Combs beat Ms. Ventura severely. She ran
from corner to corner of the room, trying to avoid Mr. Combs’s beating and kicking. When she
tried to lock herself in the bathroom, he pushed through, and punched and kicked her while she
curled up under the toilet. Her screams were drowned out by the loud music playing in the
115. When Mr. Combs’s head of security and assistant saw Ms. Ventura after the
assault, they began to cry. Ms. Ventura had two black eyes, a burst and bruised lip, and a huge
116. Upon seeing the results of his vicious attack, Mr. Combs immediately took steps
117. He forced Ms. Ventura to stay at his home in Holmby Hills along with one of his
sons. While there, Mr. Combs FaceTimed Ms. Ventura, and stated, “you gotta go up and put
118. She did put makeup on, per Mr. Combs’s demands. Ms. Ventura felt that she had
no choice but to obey her abuser—even though security guards, assistants, and friends saw the
situation she was in, no one dared to help her or speak up on her behalf. She therefore had no
119. Later in 2015, while shooting a movie in Cape Town, South Africa, Ms. Ventura
began a flirtatious relationship with an actor. She spent New Years Eve with this actor, but Mr.
21
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 22 of 35
Combs soon found out. Mr. Combs called the actor and threatened him; the actor proceeded to
call Ms. Ventura and tell her, “you really need to call [Mr. Combs].”
City, Los Angeles, Mr. Combs became extremely intoxicated and punched Ms. Ventura in the
121. After he fell asleep, Ms. Ventura tried to leave the hotel room, but as she exited,
Mr. Combs awoke and began screaming at Ms. Ventura. He followed her into the hallway of the
hotel while yelling at her. He grabbed at her, and then took glass vases in the hallway and threw
them at her, causing glass to crash around them as she ran to the elevator to escape.
122. She managed to get into the elevator, and when she got to the lobby, quickly took
a cab to her apartment. Upon realizing that her running away would cause Mr. Combs to be even
angrier with her, and completely stuck in his vicious cycle of abuse, Ms. Ventura returned to the
hotel with the intention of apologizing for running away from her abuser. When she returned,
hotel security staff urged her to get back into a cab and go to her apartment, suggesting that they
had seen the security footage showing Mr. Combs beating Ms. Ventura and throwing glass at her
123. Upon information and belief, Mr. Combs paid the InterContinental Century City
124. After this, Ms. Ventura left her home in Comstock and went to hide away at a
friend’s home in Florida. James Cruz, President of Bad Boy Management, tracked Ms. Ventura
down and told her that her single would not be released if she did not answer Mr. Combs’s phone
calls.
22
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 23 of 35
125. A woman who worked at Sony Music reached out to her with a similar ultimatum
126. Incredibly, Mr. Combs even convinced one of his attorneys to call Ms. Ventura at
this time. This lawyer told Ms. Ventura that “it’s in your best interest to call [Mr. Combs] back.”
127. Each time Ms. Ventura tried to run away, Mr. Combs and his powerful network
128. Mr. Combs’s tight hold over her life had irreparably damaged her friendships.
Around 2018, when Ms. Ventura was with her friend Kerry Morgan in her house, Mr. Combs
used his key to Ms. Ventura’s house and came in unannounced. He and Ms. Morgan had an
altercation, during which Mr. Combs threw a hanger at Ms. Morgan. Upon information and
belief, the incident resulted in a settlement between Mr. Combs and Ms. Morgan, and Ms.
Ventura ended up paying Ms. Morgan additional funds in an attempt to resolve the dispute
between her close friend and her abusive and controlling boyfriend. The relationship between
Ms. Ventura and Ms. Morgan has been strained since this time.
129. Seeing the extreme measures Mr. Combs took to keep a tight hold on Ms. Ventura
and isolate her from her support network, and having experienced the repercussions of rejecting
his demands, Ms. Ventura felt that saying “no” to Mr. Combs would cost her something—her
130. By 2017 and 2018, Ms. Ventura became desperate to leave Mr. Combs and his
abuse of her. She recognized that if she stayed with him, she would never be able to have a
successful career or ever be physically and mentally safe. She therefore became determined to
23
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 24 of 35
completely break away from Mr. Combs and his cycle of abuse and made concerted efforts to
avoid him.
131. In September 2018, she joined Mr. Combs for a dinner at an Italian restaurant in
Malibu, California for what she believed would be a discussion about concluding their
132. After dinner, Mr. Combs and Ms. Ventura returned to Ms. Ventura’s home, which
133. Mr. Combs forced himself into her apartment and tried to kiss Ms. Ventura. She
134. Mr. Combs then forcibly pulled off Ms. Ventura’s clothing and unbuckled his belt.
He proceeded to rape Ms. Ventura while she repeatedly said “no” and tried to push him away.
135. Soon thereafter, Ms. Ventura took steps to completely separate herself from her
long-time abuser, including by leaving the home that he paid for and returning the car he
136. Despite moving away, Ms. Ventura’s address was posted online in early 2019,
137. Ms. Ventura, who was under immense duress during the months after Mr. Combs
raped her, took all steps possible to entirely remove herself from her abuser’s ambit, including by
entering into contracts to end her record deal with Bad Boy Entertainment.
VIII. Mr. Combs’s Sexual and Physical Abuse of Ms. Ventura Has Caused Her Lifelong
Harm
138. As a result of the immense trauma Ms. Ventura endured for over a decade with
Mr. Combs, she has suffered and continues to suffer from immense emotional distress.
24
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 25 of 35
139. Following her escape from the cycle of abuse and sex trafficking she endured, she
140. The birth of her two children, however, allowed her a new lease on life and gave
her purpose. She credits her children with saving her from the trauma that had consumed over a
141. Except for the months when she was pregnant with her children, Ms. Ventura
struggled with her addictions to drugs and alcohol—addictions that were established and fueled
by Mr. Combs. She turned to substances to drown out the memories of her abuse; without being
intoxicated, she suffered from horrific nightmares of the forced sexual acts that Mr. Combs
demanded she participate in during the regularly scheduled FOs and of the physical beatings that
she endured throughout her relationship. She had difficulty eating or sleeping, and her
relationships with her family suffered. During this time, she frequently had thoughts of ending
her life.
142. To rebuild her life and her career, Ms. Ventura needed to completely reinvent
herself. She checked herself into inpatient treatment at a rehabilitation center, where she first
confronted the extent of the trauma she lives with. She has required intensive therapy and other
medical care to recover from Mr. Combs’s abuse, and she will forever live with the physical and
psychological repercussions of the over a decade of violence, fear, and exploitation she endured.
143. Although Ms. Ventura was unable to speak up against the years of abuse she
endured at the hands of Mr. Combs, she has since been able to rebuild her life and confront her
trauma. Thanks to the passage of New York’s Adult Survivors’ Act and California’s Sexual
Abuse Accountability and Cover-Up Act, she is now ready and able to also confront her abuser,
and to hold him and those who enabled his abuse accountable for their actions.
25
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 26 of 35
144. Plaintiff repeats and realleges each and every allegation in all of the preceding
§ 1591(a) and (b) and is therefore entitled to bring a civil action under 18 U.S.C. § 1595.
146. The Defendants’ acts and omissions, taken separately and/or together, as outlined
perpetrated sex trafficking of Ms. Ventura by requiring her to engage in forced sexual acts in
multiple jurisdictions, and all Defendants benefitted from Mr. Combs’s venture by holding Ms.
Ventura, an artist signed with Defendant Bad Boy Records and otherwise employed by other
Defendant Doe Corporations, captive to Mr. Combs’s demands and desires. At all relevant times,
Defendants participated in and facilitated the harboring and transportation of Plaintiff for
147. The Defendant Corporations have financially and otherwise benefited as a result
of these acts and omissions by keeping Mr. Combs, the volatile and explosive owner of the
Defendant Corporations, satisfied. They benefited from facilitating his behavior to the extent it
kept the mercurial music mogul happy and kept Ms. Ventura obedient to Mr. Combs and the
Corporations’ interests.
148. Defendant Combs and Defendants Bad Boy Records, Bad Boy Entertainment, and
Doe Corps. 1-10 formed a venture as defined by 18 U.S.C. § 1591 given that they constituted a
“group of two or more individuals associated in fact, whether or not a legal entity.”
26
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 27 of 35
hereinabove, Plaintiff has suffered physical injury, severe emotional distress and anxiety,
consequential damages.
U.S.C. § 1595(a).
151. Plaintiff repeats and realleges each and every allegation in all of the preceding
152. Plaintiff is a victim of sex trafficking within the meaning of N.Y. Penal Law §
230.34 and is therefore entitled to bring a civil action under N.Y. Soc. Serv. § 483-bb.
153. The Defendants’ acts and omissions, taken separately and/or together, as outlined
above, constitute a violation of N.Y. Soc. Serv. § 483-bb. Specifically, Defendant Sean Combs
perpetrated sex trafficking of Ms. Ventura by requiring her to engage in forced sexual acts in the
State of New York, and all Defendants benefitted from Mr. Combs’s venture by holding Ms.
Ventura, an artist signed with Defendant Bad Boy Records and otherwise employed by other
Defendant Doe Corporations, captive to Mr. Combs’s demands and desires. At all relevant times,
Defendants participated in and facilitated the harboring and transportation of Plaintiff for
154. The Defendant Corporations have financially and otherwise benefited as a result
of these acts and omissions by keeping Mr. Combs, the volatile and explosive owner of the
Defendant Corporations, satisfied. They benefited from facilitating his behavior to the extent it
27
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 28 of 35
kept the mercurial music mogul happy and kept Ms. Ventura obedient to Mr. Combs and the
Corporations’ interests.
hereinabove, Plaintiff has suffered physical injury, severe emotional distress and anxiety,
consequential damages.
156. Plaintiff also seeks reasonable attorneys’ fees as provided under N.Y. Soc. Serv. §
483-bb.
157. Plaintiff repeats and realleges each and every allegation in all of the preceding
158. Plaintiff is a victim of sex trafficking within the meaning of Cal. Penal Code §
236.1 and is therefore entitled to bring a civil action under Cal. Civil Code § 52.5.
159. The Defendants’ acts and omissions, taken separately and/or together, as outlined
above, constitute a violation of Cal. Civ. Code 52.5. Specifically, Defendant Sean Combs
perpetrated sex trafficking of Ms. Ventura by requiring her to engage in forced sexual acts in the
State of California, and all Defendants benefitted from Mr. Combs’s venture by holding Ms.
Ventura, an artist signed with Defendant Bad Boy Records and otherwise employed by other
Defendant Doe Corporations, captive to Mr. Combs’s demands and desires. At all relevant times,
Defendants participated in and facilitated the harboring and transportation of Plaintiff for
28
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 29 of 35
160. The Defendant Corporations have financially and otherwise benefited as a result
of these acts and omissions by keeping Mr. Combs, the volatile and explosive owner of the
Defendant Corporations, satisfied. They benefited from facilitating his behavior to the extent it
kept the mercurial music mogul happy and kept Ms. Ventura obedient to Mr. Combs and the
Corporations’ interests.
hereinabove, Plaintiff has suffered physical injury, severe emotional distress and anxiety,
consequential damages.
162. Plaintiff also seeks reasonable attorneys’ fees as provided under Cal. Civil Code
§ 52.5.
163. Plaintiff repeats and realleges each and every allegation in all of the preceding
under N.Y. Penal Law §§ 130.50, 130.52, 130.55, and 130.65, as well as analogous California
165. As a result of Mr. Combs’s alleged conduct, Plaintiff has suffered physical injury,
severe emotional distress, humiliation, embarrassment, anxiety, economic harm, and other
consequential damages.
29
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 30 of 35
166. The conduct of Mr. Combs described above was willful, wanton, and malicious.
At all relevant times, Mr. Combs acted with conscious disregard of Plaintiff’s rights and feelings,
acted with the knowledge of or with reckless disregard for the fact that his conduct was certain to
cause injury and/or humiliation to Plaintiff, and intended to cause fear, physical injury, and/or
pain and suffering to Plaintiff. By virtue of the foregoing, Plaintiff is entitled to recover punitive
167. This action is timely because it falls within CPLR § 214-j and is brought during
the one-year time period set forth in that section. The claims brought herein allege intentional
and negligent acts and/or omissions for physical, psychological, and other injury suffered as a
result of conduct that would constitute sexual offenses as defined in Article 130 of the New York
Penal Law, and such acts and/or omissions were committed against Ms. Ventura when she was
over eighteen years of age. The action also falls within California’s Adult Sexual Abuse Law and
is brought during the three-year time period set forth in that action.
168. Plaintiff repeats and realleges each and every allegation in all of the preceding
169. Defendant Mr. Combs subjected Plaintiff to sexual abuse, sexual battery, rape, and
forcible act of sexual penetration, as defined in Cal. Penal Code §§ 234.4, 261, and 289. In
doing so, he intended to and did cause harmful and sexually offensive contact with their person
170. Defendant Corporations were entities engaged in a “cover up” as defined in Cal.
Civil Code § 340.16(4)(A), because Defendant Corporations took concerted efforts to hide
30
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 31 of 35
evidence relating to the above-described sexual assaults that incentivized individuals to remain
silent or prevented information relating to the sexual assaults from becoming public.”
hereinabove, Plaintiff has suffered physical injury, severe emotional distress and anxiety,
consequential damages.
172. Plaintiff repeats and realleges each and every allegation in all of the preceding
173. The above-described conduct of Defendant Mr. Combs, including, but not limited
to, Mr. Combs’s repeated physical and sexual assaults of Plaintiff in New York City, constitutes a
“crime of violence” and a “crime of violence motivated by gender” against Plaintiff as defined
174. The above-described conduct of Defendant Mr. Combs, including, but not limited
to, Mr. Combs’s repeated physical and sexual assaults of Plaintiff in New York City, constitutes a
“crime of violence” against Plaintiff and is a “crime of violence motivated by gender” as defined
in § 10-1103 (“The term ‘crime of violence’ means an act or series of acts that would constitute a
misdemeanor or felony against the person as defined in state or federal law or that would
constitute a misdemeanor or felony against property as defined in state or federal law if the
conduct presents a serious risk of physical injury to another, whether or not those acts have
actually resulted in criminal charges, prosecution, or conviction,” and “The term ‘crime of
31
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 32 of 35
violence motivated by gender’ means a crime of violence committed because of gender or on the
basis of gender, and due, at least in part, to an animus based on the victim’s gender.”).
violence motivated by gender, and are therefore also liable under the VGMVPL.
176. As a direct and proximate result of the aforementioned crime of violence and
gender-motivated violence, Plaintiff has sustained and will continue to sustain, monetary
damages, physical injury, pain and suffering, and serious psychological and emotional distress,
entitling her to an award of compensatory and punitive damages, injunctive and declaratory
relief, attorneys fees and costs, and other remedies as this Court may deem appropriate damages,
179. Plaintiff repeats and realleges each and every allegation in all of the preceding
180. Defendants discriminated against Plaintiff on the basis of her gender in violation
of the NYSHRL by subjecting Plaintiff to disparate treatment based upon her gender, including,
but not limited to, subjecting her to sexual assault and/or harassment, rape and a hostile work
environment.
32
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 33 of 35
in violation of the NYSHRL, Plaintiff has suffered, and continues to suffer, monetary and/or
economic harm for which she is entitled to an award of monetary damages and other relief.
in violation of the NYSHRL, Plaintiff has suffered, and continues to suffer, severe mental
anguish and emotional distress for which she is entitled to an award of monetary damages and
other relief.
183. Defendants’ unlawful and discriminatory actions were intentional, done with
malice and/or showed a deliberate, willful, wanton and reckless indifference to Plaintiff’s rights
under the NYSHRL for which Plaintiff is entitled to an award of punitive damages.
184. This action is timely because it falls within CPLR § 214-j and is brought during
the one-year time period set forth in that section. The claims brought herein allege intentional
and negligent acts and/or omissions for physical, psychological, and other injury suffered as a
result of conduct that would constitute sexual offenses as defined in Article 130 of the New York
Penal Law, and such acts and/or omissions were committed against Ms. Ventura when she was
185. Plaintiff repeats and realleges each and every allegation in all of the preceding
186. Defendants have discriminated against Plaintiff on the basis of her gender in
violation of the NYCHRL by subjecting Plaintiff to disparate treatment based upon her gender,
33
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 34 of 35
including, but not limited to, subjecting her to sexual assault and/or harassment, rape and a
in violation of the NYCHRL, Plaintiff has suffered, and continues to suffer, monetary and/or
economic harm for which she is entitled to an award of monetary damages and other relief.
in violation of the NYCHRL, Plaintiff has suffered, and continues to suffer, severe mental
anguish and emotional distress for which she is entitled to an award of monetary damages and
other relief.
189. Defendants’ unlawful and discriminatory actions were intentional, done with
malice and/or showed a deliberate, willful, wanton and reckless indifference to Plaintiff’s rights
under the NYCHRL for which Plaintiff is entitled to an award of punitive damages.
190. This action is timely because it falls within CPLR § 214-j and is brought during
the one-year time period set forth in that section. The claims brought herein allege intentional
and negligent acts and/or omissions for physical, psychological, and other injury suffered as a
result of conduct that would constitute sexual offenses as defined in Article 130 of the New York
Penal Law, and such acts and/or omissions were committed against Ms. Ventura when she was
WHEREFORE, Plaintiff prays judgment be entered in her favor against Defendants, and
34
Case 1:23-cv-10098 Document 1 Filed 11/16/23 Page 35 of 35
consequential damages, lost wages, earning, and all other sums of money, together with
2. For a money judgment for mental pain and anguish and severe emotional
6. For such other and further relief as the Court may deem just and proper.
WIGDOR LLP
By: _________________________
Douglas H. Wigdor
Meredith A. Firetog
Michael J. Willemin
85 Fifth Avenue
New York, New York 10003
Telephone: (212) 257-6800
Facsimile: (212) 257-6845
[email protected]
[email protected]
[email protected]
35