gov.uscourts.nysd.447706.1198.17.pdf PDF
…Plaintiff’s Response to requests to her providers, paid the Dr. Olsen. Defendant’s Motion to fees associated with copying her Compel (DE #78) at 18; files, and is awaiting her On April 5, Plaintiff…
…Plaintiff’s Response to requests to her providers, paid the Dr. Olsen. Defendant’s Motion to fees associated with copying her Compel (DE #78) at 18; files, and is awaiting her On April 5, Plaintiff…
…York
Virginia L. Giuffre,
Plaintiff, Case No.: 15-cv-07433-RWS
v.
Ghislaine Maxwell,
Defendant.
________________________________/
PLAINTIFF VIRGINIA GIUFFRE’S MOTION FOR FINDING
OF CIVIL CONTEMPT AGAINST SARAH KELLEN
FOR IGNORING SUBPOENA AND FOR
…Plaintiff, Case No.: 15-cv-07433-RWS v. Ghislaine Maxwell, Defendant. ____________________________/ DECLARATION OF MEREDITH SCHULTZ IN SUPPORT OF PLAINTIFF VIRGINIA GIUFFRE’S MOTION FOR FINDING OF CIVIL CONTEMPT AGAINST NADIA MARCINKOVA FOR IGNORING SUBPOENA AND FOR ASSOCIATED SANCTIONS…
…the unsealed docket entries, as well as the Court’s reasoning associated with the same. Docket Entry 1026-3 was submitted by counsel for Giuffre and Maxwell as part of the unsealing protocol in this matter. It lists all the…
…undersigned counsel, hereby files this motion for a protective order, barring enforcement of a defense subpoena submitted to Apple, Inc. for all of the records associated with her “iCloud” email account. Counsel for Ms. Giuffre has already reviewed Ms. Giuffre…
…undersigned counsel, hereby files this motion for a protective order, barring enforcement of a defense subpoena submitted to Microsoft Corporation for all of the records associated with Ms. Giuffre’s live.com email account and Hotmail.com account. Defendant is…
…C ou rt’s A pril21,2016,ru lingM s.Giu ffre has mad e significantefforts to try to trackd own and collectany med icalrecord she can find from 1999 to the present,inclu d ingpayingall fees associated withthatcollection process…
…which a reasonable person would expect to be disseminated by means of public communication, in connection with pending or imminent criminal litigation with which they are associated, if there is a substantial likelihood that such dissemination will interfere with a…
…you all. 4 Do we have the court reporter, here? 5 (Court and court reporter confer) 6 THE COURT: Today the Court announces its ruling on 7 the unsealing of documents associated with nonparty Does 17, 8 53, 54, 55…
…Ms. Maxwell from Haddon Morgan and 13 Foreman. 14 THE COURT: Good morning. 15 Counsel, as you know, today the Court announces its 16 rulings on the unsealing of the motions associated with docket 17 entries 231, 279, 315, 320…
…2019 (DE # 1007), Ms. Maxwell submits that DE # 468 and 567 were motions never resolved by Judge Sweet and thus has omitted those motions and associated pleadings from her list. Ms. Maxwell seeks leave of the Court to submit this…
…surnames is too broad a request or overly burdensome, particularly, as you have not presented any numbers of documents associated with those names, since you have not yet run the terms. Should one of the names somehow yield thousands of…
…44 (2d Cir. 2019). The same ruling uprooted the third opinion mentioned by Maxwell (the so-called “Sealed Opinion”), by rendering unreasonable any reliance on the confidentiality designations associated with the protective order. In Brown v. Maxwell, the Second Circuit…
…and 659. Maxwell’s counsel rejected that proposal based on the volume of documents and pages associated with those motions, and suggested considering only five more motions in the next round of unsealing without specifying which five motions she contended…
…other accounts at mindspring.com); (3) any of Ms. Maxwell's email account associated with The Terramar Project (including any account ending [email protected]); and (4) any other email accounts either used in the past, or currently in use. …
…MCCAWLEY: Good morning, your Honor. 4 THE COURT: All right. May we begin, my friends. 5 Today, the Court announces its rulings on the 6 unsealing of the motions associated with docket entries 345, 7 356, 362, 370, 422, 468…
…22 Page 2 of 17 2 1 THE COURT: As we all know, this is Giuffre against 2 Maxwell. Today the Court announces its rulings on the 3 unsealing of documents associated with nonparty Does 12, 28, 4 97, 107…
…22 Page 2 of 17 2 1 THE COURT: As we all know, this is Giuffre against 2 Maxwell. Today the Court announces its rulings on the 3 unsealing of documents associated with nonparty Does 12, 28, 4 97, 107…
…current assertion that “Doe 171 has not received Doc. 211” demonstrably false. Doe 171 also asserts that “Doe 171 has never been publicly associated with the scandalous and intimate activities described in most or all of the Confidential Records.” Id…
…she was employed as the New York-based Chief American Correspondent of The Mail on Sunday, a publication owned by Associated Newspapers of London, England. During the interim she worked as a freelance reporter for publications including The Mail on…
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