DataSet-9
EFTA00585420
25 pg
…through his undersigned
counsel, herein moves for an Order in Limine precluding Defendant/Counter-Plaintiff Bradley
Edwards ("Edwards") and his Counsel from making any mention or use of the below-listed
items/matters/witness testimony at trial'. In support thereof…
DataSet-9
EFTA00802160
25 pg
…through his undersigned
counsel, herein moves for an Order in Limine precluding Defendant/Counter-Plaintiff Bradley
Edwards ("Edwards") and his Counsel from making any mention or use of the below-listed
items/matters/witness testimony at trial'. In support thereof…
DataSet-9
EFTA00582821
24 pg
…2017 is consistent with his Complaint against Edwards, his sworn testimony at
deposition regarding the facts known to him at the time he filed his Complaint and each
amendment thereto, which is also supported by all documentary evidence also provided…
DataSet-9
EFTA00073158
10 pg
…13, 2007
Republished in De Novo
Vol. 11, No. 6 September 2008
TESTIFYING - Expert Witness Testimony
APPOINTMENTS -
Hearing testimony for the District Court, Jefferson County, Colorado
…
DataSet-9
EFTA00097359
17 pg
…some of the same witness testimony that it will use to prove the Mann Act
Counts. Resp. 141-42. That argument is unavailing. First, the government admits that only "in
one instance" does a charged deposition question relate to a…
DataSet-9
EFTA00097312
17 pg
…some of the same witness testimony that it will use to prove the Mann Act
Counts. Resp. 141-42. That argument is unavailing. First, the government admits that only "in
one instance" does a charged deposition question relate to a…
DataSet-9
EFTA00091739
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-9
EFTA00089364
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-9
EFTA00066307
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-9
EFTA00100628
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-9
EFTA00595612
21 pg
…then there is no rebuttal witness, and none to cross examine.
II. MS. WAS NOT PROPERLY "REFRESHED" AND THE READING OF
THE HEARSAY POLICE REPORT IS INADMISSABLE
The use of the deposition testimony o and the reading or summary of…
DataSet-9
EFTA01103374
57 pg
…opinion, was truthful in her deposition?
7 (Pages 357 to 360)
U.S. Legal Support
EFTA01103380
…
DataSet-9
EFTA00589467
8 pg
…id. at 14-15, that
deposition testimony of the witness was available in lieu of personal appearance before the July
to assert the Fifth Amendment privilege. The Court, stressing that the determination must be
made on a case-by-case…
DataSet-9
EFTA00585747
8 pg
…2015)(no abuse of
EFTA00585748
discretion in finding witness unavailable where attorney had represented to court that client
would assert Fifth Amendment privilege).
Third, plaintiff argues that Mr. Epstein "contaminated" his <…
DataSet-9
EFTA00593823
4 pg
…BY FEDERAL EXPRESS
MARKED "CONFIDENTIAL"
174 0001
Re: Litig atio n Matter
$235,186.91
Balance forward
$100.000.00 CR
Payments received since last bill
…
DataSet-9
EFTA00097394
12 pg
…counsel for the witness with a 3 hour
deposition to accomplish the same end.
5
EFTA00097400
Case 1:15-cv-07433-RWS Document 189 Filed …
DataSet-9
EFTA00805442
16 pg
…actual or nominal
damages, Dr. Jansen must be stricken as a witness and his testimony precluded.
CONCLUSION
Edwards has no actual damages. That is why he wants to try a per se defamation action.
However, the litigation privilege is absolute…
DataSet-9
EFTA00589510
10 pg
…Cir. 2015)(no abuse of
discretion in finding witness unavailable where attorney had represented to court that client
would assert Fifth Amendment privilege).
Third, plaintiff argues that Mr. Epstein "contaminated" his deposition testimony through
his initial assertion of the privilege…
DataSet-9
EFTA00808620
9 pg
…In this context, both direct and circumstantial evidence of
what Epstein knew will be compelling proof of what Epstein believed.
Examples of relevant allegations include:
Allegation Relevant Witness Testimony Admissible at
…
DataSet-9
EFTA01076611
37 pg
…25 MR. PIKE: Form. Mischaracterizes the 25 investors, local investors out of millions of
Page 27 Page 29
1 witness' testimony as well. …