gov.uscourts.nysd.447706.103.2.pdf PDF
…Page 1 of 3 EXHIBIT 2 Case 1:15-cv-07433-LAP Document 103-2 Filed 04/19/16 Page 2 of 3 U.S. Department of Justice United States Attorney Southern District …
…Page 1 of 3 EXHIBIT 2 Case 1:15-cv-07433-LAP Document 103-2 Filed 04/19/16 Page 2 of 3 U.S. Department of Justice United States Attorney Southern District …
…I, , declare as follows: 1. I am an attorney at law duly licensed in the District of Columbia. 2. I am familiar generally with the subject matter of this action, No. 15-cv-07433-RWS (S.D.N.Y.). 3…
…FIRST SET OF DISCOVERY REQUESTS TO PLAINTIFF Plaintiff hereby serves her second amended supplemental responses and objections to Defendant’s First Set of Discovery Requests. GENERAL OBJECTIONS Defendant’s First Set of Discovery Requests violates Local Civil Rule 33.3…
…FIRST SET OF DISCOVERY REQUESTS TO PLAINTIFF Plaintiff hereby serves her second amended supplemental responses and objections to Defendant’s First Set of Discovery Requests. GENERAL OBJECTIONS Defendant’s First Set of Discovery Requests violates Local Civil Rule 33.3…
…S FIRST SET OF DISCOVERY REQUESTS TO PLAINTIFF Plaintiff hereby serves her amended supplemental responses and objections to Defendant’s First Set of Discovery Requests. GENERAL OBJECTIONS Defendant’s First Set of Discovery Requests violates Local Civil Rule 33.3…
…S FIRST SET OF DISCOVERY REQUESTS TO PLAINTIFF Plaintiff hereby serves her amended supplemental responses and objections to Defendant’s First Set of Discovery Requests. GENERAL OBJECTIONS Defendant’s First Set of Discovery Requests violates Local Civil Rule 33.3…
…FIRST SET OF DISCOVERY REQUESTS TO PLAINTIFF Plaintiff hereby serves her second amended supplemental responses and objections to Defendant’s First Set of Discovery Requests. GENERAL OBJECTIONS Defendant’s First Set of Discovery Requests violates Local Civil Rule 33.3…
…FIRST SET OF DISCOVERY REQUESTS TO PLAINTIFF Plaintiff hereby serves her second amended supplemental responses and objections to Defendant’s First Set of Discovery Requests. GENERAL OBJECTIONS Defendant’s First Set of Discovery Requests violates Local Civil Rule 33.3…
… “Agent” shall mean any agent, employee, officer, director, attorney, independent contractor or any other person acting, or purporting to act, at the discretion of or on behalf of another. 2. “Correspondence” or “communication” shall mean all written or verbal communications…
…50 &60. Churcher also initiated contact with the US Attorney’s office and FBI on behalf of 3 Case 1:15-cv-07433-LAP Document 1325-1 Filed 01/04/24 Page 6 of 21 Plaintiff, setting up their…
…represent 2 Plaintiff) to represent her as a non-party witness in this matter on a pro-bono basis.3 Based on the documents produced, however, she is not represented by Boies Schiller or its attorneys. See Menninger Decl. Ex…
…requesting that it be withdrawn (without prejudice), pending completion of conferral on the search terms as required by this Court’s specific and general orders on conferral. It appears there was a miscommunication between Plaintiff’s own counsel on this…
…of 19 Plaintiff) to represent her as a non-party witness in this matter on a pro-bono basis.3 Based on the documents produced, however, she is not represented by Boies Schiller or its attorneys. See Menninger Decl. Ex…
…CONFIDENTIAL AEO 2 matter? 3 MR. GUIRGUIS: Objection. 4 I'm going to direct you not to 5 answer if it's unrelated to this 6 case. 7 Q. Was there an attorney 8 present? 9 A. Yes. 10 Q. …
… Highly Confidential Page 3 1 HIGHLY CONFIDENTIAL AEO 2 APPEARANCES: 3 4 BOIES, SCHILLER & FLEXNER, LLP 5 Attorneys for plaintiff 6 401 East Las Olas Boulevard, Suite 1200 7 Fort Lauderdale, FL 33301-2211 8 BY: SIGRID …
…469 Highly Confidential Page 3 1 HIGHLY CONFIDENTIAL AEO 2 APPEARANCES: 3 4 BOIES, SCHILLER & FLEXNER, LLP 5 Attorneys for plaintiff 6 401 East Las Olas Boulevard, Suite 1200 7 …
…scope of her search, both in terms of subject matter and temporal range. In addressing a request for forensic examination, courts are generally cognizant of the undue burden and intrusiveness inherent in such a request. See e.g. Moore v…
…Telephone: (212) 489-8230 Facsimile: (212) 489-8340 [email protected] [email protected] Attorneys for Non-Party Sharon Churcher Case 1:15-cv-07433-LAP Document 218 Filed 06/15/16 Page…
…2). The Court noted it will “at the least, inform the parties generally of the nature of any comments received.” Id. Intervenors respectfully request that the nature and quantity of comments received be reflected on the public docket, at well…
…requesting that it be withdrawn (without prejudice), pending completion of conferral on the search terms as required by this Court’s specific and general orders on conferral. It appears there was a miscommunication between Plaintiff’s own counsel on this…
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