gov.uscourts.nysd.447706.1343.1.pdf PDF
…3 female? 4 A. As best as I can recollect, a woman 5 the age probably of about 40 or 50 was in 6 sometime in 1992. 7 Q. How long did you work for Mr. 8 Epstein? 9 A. …
…3 female? 4 A. As best as I can recollect, a woman 5 the age probably of about 40 or 50 was in 6 sometime in 1992. 7 Q. How long did you work for Mr. 8 Epstein? 9 A. …
…3 female? 4 A. As best as I can recollect, a woman 5 the age probably of about 40 or 50 was in 6 sometime in 1992. 7 Q. How long did you work for Mr. 8 Epstein? 9 A. …
…will continue to ask my questions and you can continue to make your objection~. Q. Did you ever participate from the time period of 1992 to 2009, did you ever participate in a massage with Jeffrey Epstein and another female…
…will continue to ask my questions and you can continue to make your objections. Q. Did you ever participate from the time period of 1992 to 2009, did you ever participate in a massage with Jeffrey Epstein and another female…
…will continue to ask my questions and you can continue to make your objections. Q. Did you ever participate from the time period of 1992 to 2009, did you ever participate in a massage with Jeffrey Epstein and another female…
…will continue to ask my questions and you can continue to make your objections. Q. Did you ever participate from the time period of 1992 to 2009, did you ever participate in a massage with Jeffrey Epstein and another female…
…N. Broward Hosp. Dist. v. Button, 592 So.2d 367 (Fla. 4th DCA 1992).......................................................................................................31 Niesig v. Team I, 76 N.Y.2d 363, 558 N.E.2d 1030 (1990)................................................................................................23…
…coast last summer, she vanished again, later popping up in a photo at an In-N-Out in Los Angeles +18 Maxwell was romantically involved with Jeffrey Epstein from around 1992, but then became his 'right-hand woman', managing his…
…My job entailed running the homes 5 the age probably of about 40 or 50 was in 5 that he had but much more importantly, most 6 sometime in 1992. 6 of the houses had construction and so whilst 7…
…2015. 5. Identify all payments made or things of value transferred to you by Jeffrey Epstein, directly or indirectly or through any entity or person affiliated with or controlled by Epstein, from 1992 through the present, and if loans, detailing…
…3 female? 4 A. As best as I can recollect, a woman 5 the age probably of about 40 or 50 was in 6 sometime in 1992. 7 Q. How long did you work for Mr. 8 Epstein? 9 A. …
…3 female? 4 A. As best as I can recollect, a woman 5 the age probably of about 40 or 50 was in 6 sometime in 1992. 7 Q. How long did you work for Mr. 8 Epstein? 9 A. …
…3 female? 4 A. As best as I can recollect, a woman 5 the age probably of about 40 or 50 was in 6 sometime in 1992. 7 Q. How long did you work for Mr. 8 Epstein? 9 A. …
…My job entailed running the homes 5 the age probably of about 40 or 50 was in 5 that he had but much more importantly, most 6 sometime in 1992. 6 of the houses had construction and so whilst 7…
…would show that she knew full well the fate that was in store for Ms. Giuffre when she accepted Defendant’s invitation to come and provide “massages” to Epstein. Defendant admitted that she worked for Epstein from 1992 to 2009…
…would show that she knew full well the fate that was in store for Ms. Giuffre when she accepted Defendant's invitation to come and provide "massages" to Epstein. Defendant admitted that she worked for Epstein from 1992 to 2009…
…App. 2014) .............................................................................................. 26 N. Broward Hosp. Dist. v. Button, 592 So.2d 367 (Fla. 4th DCA 1992) ....................................................................................................... 31 Niesig v. Team I, 76 N.Y.2d 363, 558 N.E.2d 1030…
…LoGrande, 983 F.2d 1047 (2d Cir. 1992). 6 Case 1:15-cv-07433-LAP Document 1328-4 Filed 01/05/24 Page 10 of 40 Plaintiff’s deficient answer. “Notwithstanding” her objections, Plaintiff “answered” by referring the defense…
…BSJ), 2003 WL 21146657 (S.D.N.Y. May 19, 2003) ...................................8 Moran v. Flaherty, No. 92 Civ. 3200, 1992 WL 276913 (S.D.N.Y. Sept. 25, 1992).................................................6 Morien v. Munich Reins. Am., Inc., 270 F.R.D…
…2008) .......................................................................................15 Lawson v. Stow, 2014 COA 26, 327 P.3d 340 .....................................................................................................21 Liberman v. Gelstein, 80 N.Y.2d 429, 605 N.E.2d 344 (1992) .............................…