DataSet-9
EFTA00204870
6 pg
…NO. 08-80736-CIV-MARRA
JANE DOE #1 and JANE DOE #2,
Petitioners,
Vs.
UNITED STATES,
Respondent.
RESPONDENT'S OPPOSITION TO PETITIONERS' MOTION REQUESTING
AN ORDER DIRECTING THE GOVERNMENT TO FILE REDACTED
PLEADINGS IN THE PUBLIC COURT FILE
Respondent, by…
DataSet-9
EFTA01070806
4 pg
…Southern District of New York
Plaintiff, Case No.: 15-cv-07433-RWS
v.
Ghislaine Maxwell,
Defendant.
REDACTED DECLARATION OF SIGRID S. McCAWLEY IN SUPPORT OF
PLAINTIFF'S MOTION FOR LEAVE TO SERVE THREE DEPOSITION SUBPOENAS
BY MEANS OTHER THAN PERSONAL…
DataSet-9
EFTA00102355
2 pg
From: ' (USANYS)"
)PI
To: ' "
Cc: (USANYS) [Contractor]„
Subject: FW: [EXTERNAL] Maxwell OP Documents - SDNY
Dat…
DataSet-9
EFTA00617951
12 pg
…York
Plaintiff, Case No.: 15-cv-07433-RWS
v.
Ghislaine Maxwell,
Defendant.
PLAINTIFF'S REDACTED MOTION FOR LEAVE TO SERVE THREE DEPOSITION
SUBPOENAS BY MEANS OTHER THAN PERSONAL SERVICE
Plaintiff by and through her undersigned counsel, hereb…
DataSet-9
EFTA00148896
44 pg
…ISIS.
COUNTER-INTELLIGENCE
• House Report: US Intel Unprepared To Counter Threats From China.
• Judge Rules DOJ Must Release Redacted Portions Of Mueller Report Before Election.
• Intel Officials Urged Ratcliffe Not To Disclose Unverified Russian Claims About Clinton.
• Andrew Weissmann Says…
DataSet-9
EFTA00135712
42 pg
…ISIS.
COUNTER-INTELLIGENCE
• House Report: US Intel Unprepared To Counter Threats From China.
• Judge Rules DO) Must Release Redacted Portions Of Mueller Report Before Election.
• Intel Officials Urged Ratcliffe Not To Disclose Unverified Russian Claims About Clinton.
• Andrew Weissmann Says…
DataSet-9
EFTA00136746
52 pg
…Supporting ISIS.
Counter-Intelligence
• House Report: US Intel Unprepared To Counter Threats From China.
• Judge Rules DOJ Must Release Redacted Portions Of Mueller Report Before Election.
• Intel Officials Urged Ratcliffe Not To Disclose Unverified Russian Claims About Clinton.
• Andrew Weissmann…
DataSet-9
EFTA01079203
60 pg
…EDWARDS and
PAUL G. CASSELL,
Plaintiffs/Counterclaim Defendants,
vs.
ALAN M. DERSHOWITZ,
Defendant/Counterclaim Plaintiff.
DEFENDANT/COUNTERCLAIM PLAINTIFF ALAN M. DERSHOWITZ'S REDACTED
MOTION TO MODIFY CONFIDENTIALITY ORDER
Defendant/Counterclaim Plaintiff, Alan M. Dershowitz ("Dershowitz"), by…
DataSet-9
EFTA00207838
25 pg
…09-80802, 09-81092
PLAINTIFF JANE DOE'S EMERGENCY MOTION TO HAVE EPSTEIN HELD IN
CONTEMPT FOR FAILING TO PRODUCE STATE DISCOVERY AND
CORRESPONDENCE AND FOR PRODUCING ONLY REDACTED
CORRESPONDENCE WITH THE U.S. ATTORNEY'S OFFICE AND MOTION FOR…
DataSet-9
EFTA00100567
4 pg
…Materials (CDs) received in response to BSF FOIA Request
State v. Epstein (State Files 1)
➢ Audio and Redacted Control Calls
➢ Walk Through Video
GJ SUBPOENA RESPONSE 004582 004582
State v. Epstein (State Files 2)
➢ Part 1 Audio…
DataSet-9
EFTA01144411
2 pg
…16, 2014, the first batch of redacted reports were received
with the expectation that every 60 (or maximum 90 days) there would be further
productions i.e. we had a right to expect that no later than March 16, 2015…
DataSet-9
EFTA01077322
3 pg
…the redemption rights or FTC's interpretation were applied.
However, the Fund has produced the documents with all the investor names redacted (other than
FTC) and in non-native format. We have asked the Fund to produce the documents without…
DataSet-9
EFTA01018797
3 pg
…August.. I don't think the University will
release that. I am working on a redacted version in case I am allowed to release it.
Btw.. last thing Justin said is that since I am talking directly to Kim, there…
DataSet-9
EFTA01019055
2 pg
…University faculty and administrators are
generally public information and we do not customarily redact these types of documents, with the exception of having already redacted Dr. Krauss's non-
public email address on the 2018 letter.
PRR Response Part 2…
DataSet-9
EFTA00729278
7 pg
…See Exhibit "A", Answer to Interrogatories, No.
5, in redacted form. In particular, the response to interrogatory number 5 states that Jane Doe
numbers 2 and 3 accompanied each other to Defendant's estate. Plaintiff admits this much in her…
DataSet-9
EFTA00212225
2 pg
…you ands know, the emails in our possession were, improperly, redacted by Epstein's attronehys to indude only
the government's half of the conversation. Will you provide us with the other half of these converations?
4. Our previous e…
DataSet-9
EFTA01077415
2 pg
…to 1/17/10; and
6/6 Incident Report dated 3/23/10; Post Orders for 358 El Brillo Way (redacted to remove
personal phone information); and Wackenhut Standard Operating Procedure Manual,
effective August 2009.
EFTA01077415
…
DataSet-9
EFTA00221711
7 pg
…See Exhibit "A", Answer to Interrogatories, No.
5, in redacted form. An unredacted copy of the responses will be provided to the court upon the
court's request and/or in camera. In particular, the response to interrogatory number 5…
DataSet-9
EFTA01019050
2 pg
…of University faculty and administrators are
generally public information and we do not customarily redact these types of documents, with the exception of having already redacted Dr. Krauss's non-
public email address on the 2018 letter.
PRR Response Part…
DataSet-9
EFTA00078783
4 pg
…Materials (CDs) received in response to BSF FOIA Request
State v. Epstein (State Files 1)
➢ Audio and Redacted Control Calls
➢ Walk Through Video
GJ SUBPOENA RESPONSE 004582 004582
State v. Epstein (State Files 2)
➢ Part 1 Audio…