gov.uscourts.nysd.447706.751.10.pdf PDF
… Case 1:15-cv-07433-LAP Document 751-10 Filed 03/17/17 Page 2 of 4 Prince Andrew denies sex abuse claims - CNN.com edition.cnn.com /2015/01/22/europe/prince-andrew-sex-abuse-allegations/ Story highlights…
… Case 1:15-cv-07433-LAP Document 751-10 Filed 03/17/17 Page 2 of 4 Prince Andrew denies sex abuse claims - CNN.com edition.cnn.com /2015/01/22/europe/prince-andrew-sex-abuse-allegations/ Story highlights…
…2 of 25 TABLE OF CONTENTS PRELIMINARY STATEMENT .................................................................................................1 ARGUMENT ..............................................................................................................................2 …
…Service. The three persons to be subpoenaed – Jeffrey Epstein, Sarah Kellen and Nadia Marcinkova – were each involved in the sexual abuse and sexual trafficking at issue in this case. It appears that all three of them have evaded attempts to…
…ORDER Upon a showing of good cause in support of the entry of a protective order to protect the discovery and dissemination of confidential information, including sensitive personal information relating to a victim of sexual abuse, copyright or trade secrets…
…Service. The three persons to be subpoenaed – Jeffrey Epstein, Sarah Kellen and Nadia Marcinkova – were each involved in the sexual abuse and sexual trafficking at issue in this case. It appears that all three of them have evaded attempts to…
…Service. The three persons to be subpoenaed – Jeffrey Epstein, Sarah Kellen and Nadia Marcinkova – were each involved in the sexual abuse and sexual trafficking at issue in this case. It appears that all three of them have evaded attempts to…
…e.g., Plaintiff’s Statement of Undisputed Facts in Response to Defendant’s Motion for Summary Judgment at 4-27 (recounting details of Epstein’s and Defendant’s sex trafficking and sex abuse conspiracy); see also Plaintiff Giuffre’s Reply…
…as Ms. Maxwell did, defending a defamation lawsuit in name only. Plaintiff and her lawyers convert their defamation claim to one of sexual abuse against the defamation defendant. So to prove plaintiff is a liar, Mr. Dershowitz is interested in…
…of a Protective Order in this case, but does oppose a Protective Order in the form proposed by Defendant because it is overly broad and can lead to abuse and over designation of material as “confidential.” Ms. Giuffre’s proposal1…
…Docket Entries. ............. 8 A. “Personal” Information in Maxwell’s Deposition Transcript Does Not Warrant Continued Sealing. .............................................................................................................. 9 B. The Potential for “Media Abuse” Does Not Warrant C…
…hidden from public view, in her public lawsuit designed to promote her well-orchestrated media campaign. The police reports reflect as to the late 1990s and early 2000s, Plaintiff’s substantial substance abuse, her lack of credibility, her failures of…
…merits. 3. I begin by, again, swearing under oath that I did not sexually abuse Virginia Roberts Giuffre, and that any allegation or suggestion to the contrary is categorically false. I never had sexual contact with Ms. Giuffre of any…
…be my. A. No. As in going up to the person and going, Jeffrey wants to see you in his bedroom which meant it’s your turn to be abused. That kind of thing. ” See Pottinger Dec. at Exhibit 2…
…sentences and common words, also causing the same question to be posed to her multiple times. For example, defendant pretended not to understand the question, “Do you believe that Epstein abused minors?,” causing it to be repeated multiple times. Q. . …
…says. 17 The plaintiff would like to request that names of 18 victims, of individuals who consider themselves to be a victim 19 of sexual abuse, a pseudonym be able to be used for them and 20 any identifying information…
…Direct Defendant to Answer Deposition Questions Filed Under Seal (“Motion”), as follows: INTRODUCTION This lawsuit presents one relatively simple question: is Plaintiff’s claim that she was sexually abused, sexually trafficked and held as a “sex slave” by Jeffrey Epstein…
…mandate, the Second Circuit specifically made these materials available on its own docket, subject to what it held were appropriate redactions for personally identifying information, names of alleged minor victims of sexual abuse, and deposition responses disclosing intimate matters. Id…
…735, 740-41 (7th Cir. 2008)(finding no abuse of discretion in district court’s refusal to permit plaintiff to “maximize and dramatize the moment” by calling witness to assert Fifth Amendment privilege in front of jury); see also Brinks…
…Non-Parties whose time to object has expired should be removed. 1 Key: CI-1 - Reasonable reliance the Protective Order by a party or non-party. CI-2 - Prevention of th…
…As the Court is aware, this defamation case involves Ms. Giuffre’s assertions that she and other females were recruited by Defendant to be sexually abused by Jeffrey Epstein under the guise of being “massage therapists.” See Complaint, DE1, at …
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