gov.uscourts.nysd.447706.1328.22.pdf PDF
…r entification Information (Fingerprints, palm Information 1'19.071 (2)(e) Confession 3€>!5.171 (15) Identity of 911 reports are confidential for period of 60 days after seHvice 1 'I …
…r entification Information (Fingerprints, palm Information 1'19.071 (2)(e) Confession 3€>!5.171 (15) Identity of 911 reports are confidential for period of 60 days after seHvice 1 'I …
…C entification Information (Fingerprints, palm Information C 1rn.071 (2)(e) Confession C ormants C 3E>t,.171 (15) Identity of 911 re…
…are in conflict with Plaintiff’s proposed redactions. These redactions all relate to “descriptions of nonparty conduct that would allow readers to discern the identity of a given non-party.” Last night at 8:15 p.m., counsel for Ms…
…parties’ counsel conduct a review of the sealed and redacted materials, confer and inform the Court by letter about the identity of non-parties identified in the material, and confer and inform the Court by letter of any material in…
…1331. 2. Plaintiff files this Complaint under a pseudonym in order to protect her identity because this Complaint makes allegations of a sensitive sexual nature and disclosure of Plaintiffs name publicly will cause firther harm to her. 3. At all…
…minimal redactions for personally identifiable information, the names of nonparties as well as the families of nonparties’ that could be used to identify the nonparties, and descriptions of nonparty conduct that would allow readers to discern the identity of a…
…AFFIRMED. Objector-Appellant Doe 171 appeals from the November 18, 2022 order unsealing certain litigation materials that identify her. She argues that the District Court abused its discretion in unsealing those materials principally by giving undue weight to the effect…
…According to Doe, the Original Parties must not only scour each document that the Court orders unsealed to identify all non-party names and identifying information for redaction, but must also determine what other information could potentially provide clues as…
…158-59, 166-67) because they do not involve a nonparty’s identity or testimony as to any specific conduct in accordance with the Court’s Order. We are of course not in a position to provide our views on…
…s arguments, and allow Plaintiff to file these materials as it has already ordered. Maxwell asserts that Plaintiff’s proposed redactions do not remove “descriptions of nonparty conduct to discern the identity of a given non-party.” ECF No. 1129…
…1:15-cv-07433-LAP Document 1087 Filed 07/30/20 Page 2 of 4 would allow readers to discern the identity of a given nonparty-- to be appropriate and (2) ordered the parties to proceed with unsealing the materials…
…these proceedings, Doe lacks specific knowledge about the contents of the Sealed Materials.”). Indeed, John Doe’s role going forward should be to identify himself, wait until he is notified as to the documents in which his name appears, and…
…10th Avenue Denver, Colorado 80203 Tel: (303) 831-7364 Email: [email protected] Defendant in this action. CONFIDENTIAL as to victims' identity …
…individual Doe, enumerated the relevant docket entries in which that Doe is mentioned, and stated the Court’s reasoning for whether to unseal or keep sealed that specific Doe’s identity. Where the Court stated its holding of, for example…
…Parties will be reluctant to participate in this process if their objection will itself become publicized and also believes that despite best redaction efforts and pseudonym efforts, any objections may reveal the identity of its author. For those reasons, Ms…
…abuse or were witnesses to events involving the abuse. Accordingly, to protect the identity of these non-party potential witnesses, Ms. Giuffre has fittingly marked her Rule 26 Disclosures as confidential. The designation is made in good faith to protect…
…Plaintiff’s proposal does not redact all “descriptions of nonparty conduct that would allow readers to discern the identity of a given non-party.” Complaints by non-parties in the wake of the July 30 unsealings made that crystal-clear…
…salacious information by characterizing its request to make this material public as a pursuit of “investigative journalism.” The alleged acts of sex and sexual activities and the identity of nonparty-participants in these activities require no “investigation” by a newspaper, …
…concerning the first set of Non-Party Objectors, the Court ordered that certain documents would remain under seal where (i) a Non-Party Objector’s name was only mentioned in “a case of mistaken identity”; (ii) Non-Party Does were…
…another purpose, such as proving motive, opportunity, intent, preparation, plan, knowledge, identity, absence of mistake, or lack of accident.”). Indeed, even more specifically than the general provisions of Rule 404(b), Rule 415 makes these other acts admissible, due to…