gov.uscourts.nysd.447706.1219.27.pdf PDF
…the house, I 6 never saw something like that. 7 Q. Do you know if Virginia was 8 required to be on call at all times to come 9 to the house if Jeffrey wanted her there? 10 MR. PAGLIUCA…
…the house, I 6 never saw something like that. 7 Q. Do you know if Virginia was 8 required to be on call at all times to come 9 to the house if Jeffrey wanted her there? 10 MR. PAGLIUCA…
…matters as hostil i ty 20 from a witness. This is called 21 self-preservation and mental hea l th . 22 So both her attitude and her memory is 23 based on that. We have someone who is badly 24 …
…in that statement? 7 MR. PAGLIUCA: I'm going to object 8 and instruct you to the extent this 9 calls for any privileged communications 10 between yourself and Mr. Barden or 11 another lawyer representing you, we're 12…
…when they went out and badgered the 21 victims, they went through all social media, 22 found photographs of these victims either 23 holding an alcoholic beverage and calling 24 them -- you see they're not saints. You know, 25 …
…even saying 22 Virginia is a liar has hazards. 23 You knew at the time you called 24 Virginia a liar in early January of 2015 that 25 that was something that would result in a Page 405 1…
…that time frame, regardless of the date of creation of the responsive Document. 2. This Request calls for the production of all responsive Documents in Your possession, custody or control without regard to the physical location of such documents. 3. …
…even saying 22 Virginia is a liar has hazards. 23 You knew at the time you called 24 Virginia a liar in early January of 2015 that 25 that was something that would result in a MAGNA9 LEGAL SERVICES Case…
…Maxwell objects to this Request on the grounds that it is overly broad and unduly burdensome and calls for the production of documents that are irrelevant to this action and not reasonably calculated to lead to the discovery of admissible…
…Maxwell objects to this Request on the grounds that it is overly broad and unduly burdensome and calls for the production of documents that are irrelevant to this action and not reasonably calculated to lead to the discovery of admissible…
…the present, on the grounds that it is overly broad and unduly burdensome and calls for the production of documents that are irrelevant to this action and not reasonably calculated to lead to the discovery of admissible evidence. The Complaint…