DataSet-10
EFTA01659412
10 pg
…strong.
Multiple victims have provided detailed, credible, and corroborated information against the
defendant. The victims are backed up contemporaneous documents, records, witness testimony,
and other evidence. For example, flight records, diary entries, business records, and other evidence
corroborate the victims…
DataSet-10
EFTA01358948
1 pg
…11909, **
To evidence intentional deceit, the plaintiffs present: expert witness testimony describing
the characteristics of the pages as inherently deceptive; a 2010 congressional report
condemning Trilegiant's post-confirmation offer and refund mitigation practices as
deceptive and exploitative in 2010…
DataSet-10
EFTA01735431
19 pg
…ever hold his penis in your hand?
A: No.
(see Depo Transcript 71:15-72:9)
Moreover, sworn deposition testimony from the person who first
broughtetto Epstein's home, indicates tha before
■ ever me Epstein. In her de osition …
DataSet-10
EFTA01724063
100 pg
…THE WITNESS: Sorry.
6 A My fault.
7 MR. IIII: Then I'll object and you'll
8 respond.
9 Q Which are you saying is the truthful
10 testimony, her statement to the FBI or the
11 videotaped deposition…
DataSet-10
EFTA01340452
3 pg
…were to rely on Ms.
essentially making her its witness. Before asking the court to credit mainformation,
statement in its submissions to the court, thereby
Government should consider available evidence bearing on to her credibility, including deposition
…
DataSet-10
EFTA01695773
100 pg
…THE WITNESS: Sorry.
6 A My fault.
7 MR. Then I'll object and you'll
8 respond.
9 Q Which are you saying is the truthful
10 testimony, her statement to the FBI or the
11 videotaped deposition that…
DataSet-10
EFTA01734603
6 pg
…current address, home
telephone number and cellular telephone number, and identify her counsel. Also,
please state the substance of each witness's testimony.
Answer:
Plaintiff objects to this interrogatory as vague, overly broad, unduly…
DataSet-10
EFTA01681858
7 pg
…making her its witness. Before asking the court to credit information, the
Government should consider available evidence bearing on to her credibility, including deposition
testimony that, it has been told, raises serious uestions concerning the credibility of her relevant
testimony…
DataSet-10
EFTA01723963
100 pg
…22 complaint, are false?
23 MR. Form. Misinterprets the
24 witness's testimony.
25 Q Or saying it is true?
EFTA01723989
39
1 MR. …
DataSet-10
EFTA01695673
100 pg
…are false?
23 MR. MI Form. Misinterprets the
24 witness's testimony.
25 Q Or saying it is true?
EFTA01695688
391
1 MR. Same objection.
…
DataSet-10
EFTA01263240
6 pg
…that moved to quash the relevant subpoena argued
that the government could not meet its burden of showing need for deposition testimony until it
had at least called the witness before the grand jury).
The subject matter of the Litigation…
DataSet-10
EFTA01263227
13 pg
…party, witness, or person providing
discovery in this case, IT IS ORDERED:
1. This Protective Order shall apply to all documents, materials, and information,
including without limitation, documents produced, answers to interrogatories,
responses to requests for admission, deposition testimony, and…
DataSet-10
EFTA01734957
6 pg
…AFTERNOON SESSION
DEPOSITION OF SCOTT ROTHSTEIN
DATE TAKEN: Monday, December 12, 2011
TIME: 1:00 p.m. - 5:00 p.m.
PLACE: 99 N.E. Fourth Street, Miami, FL
Taken on Behalf of Razorback
Examination of the witness taken before:
…
DataSet-10
EFTA01682001
5 pg
…Eileen's testimony to newspaper reports. They found that
Eileen had mentioned evidence that was not reported in the news coverage and was corroborated
by the autopsy report. So George was charged.
I reviewed my attorney's deposition of Loftus…
DataSet-10
EFTA01681955
2 pg
…of the Estate and supervised by Ken
Feinstein or an equivalent receiver.
• Individual victims willing to subject themselves to deposition and trial testimony would receive a much
greater potential financial benefit if they succeeded in direct litigation against the Estate…
DataSet-10
EFTA01652881
71 pg
…Chairman and a Managing Partner of Boies
Schiller Flexner LLP ("BSF"). I make this declaration on my own personal knowledge, and if
called as a witness to testify, I could and would testify competently to the following facts.
2. I…
DataSet-10
EFTA01653163
15 pg
…the Zelensky team's depositions without the ability to even have agency counsel
perception that they were being pressured to accuse Biden of present."
corruption in order to help President Trump's reelection WPost: Yovanovitch Testimony Injects Gender Into
campaign." …
DataSet-10
EFTA01660077
14 pg
…same
process andproceeding as may be employedfor the purposes oftaking testimony in
proceedings pending in this state.
§ 92.251 Florida statutes.
Thus, whenever a Florida litigant desires to depose a witness residing in another state,
that litigant must first secure…
DataSet-10
EFTA01340354
98 pg
…4 and Part 221 of the Uniform Rules for the Conduct of
5 Depositions, including the right to object to any
6 question, except as to form, or to move to strike
7 any testimony at this examination is reserved…
DataSet-10
EFTA01306406
98 pg
…4 and Part 221 of the Uniform Rules for the Conduct of
5 Depositions, including the right to object to any
6 question, except as to form, or to move to strike
7 any testimony at this examination is reserved…
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