gov.uscourts.nysd.447706.156.8.pdf PDF
…8 Filed 05/20/16 Page 1 of 5 EXHIBIT H Case 1:15-cv-07433-LAP Document 156-8 Filed 05/20/16 Page 2 of 5 VRS Communications Log Email Sent …
…8 Filed 05/20/16 Page 1 of 5 EXHIBIT H Case 1:15-cv-07433-LAP Document 156-8 Filed 05/20/16 Page 2 of 5 VRS Communications Log Email Sent …
…in-line, in black, below to your email sent yesterday. My in-line communication should also be responsive to the email that you just sent. If I have left anything out, please let me know. Thanks, Meredith Meredith L. Schultz…
…TYPE # OF PARTIES MATTER 1. 2011.03.15 E-Mails 1000- Ghislaine Maxwell Brett Jaffe, Esq. Attorney / Client Communication Attorney-Client …
…7433-LAP Dear Judge Preska, Plaintiff writes in response to Defendant’s letter dated September 30, 2020, seeking clarification from the Court regarding Doe 1 and Doe 2’s communication to the Court. ECF No. 1123. As a preliminary matter…
…The representations in the Response are perplexing, particularly in light of the below email communication in which I specifically 1) informed you of the search terms that we would run derived from your list, and 2) specifically requested a telephone…
…TYPE # OF PARTIES MATTER 1. 2011.03.15 E-Mails 1000- Ghislaine Maxwell Brett Jaffe, Esq. Attorney / Client Communication Attorney-Client …
…SUBJECT MATTER PRIVILEGE TYPE OF PARTIES 2011.03.15 E-Mails Ghislaine Maxwell Brett Jaffe, Esq. Attorney / Client Communication re: Attorney-Client …
…several important documents, because Defendant has not offered any substantial countervailing consideration, the Court should allow Ms. Giuffre to question Defendant in a deposition about these late produced communications. I. INTRODUCTION As the Court is well aware, Ms. Giuffre has…
…TYPE IP MATTER 1. 2011.03.15 E-Mails Ghislaine Brett Jaffe, Esq. OF PARTIES Attorney / Communica…
…Virginia L. Giuffre, Plaintiff, Case No.: 15-cv-07433-RWS v. Ghislaine Maxwell, Defendant. ____________________________/ DECLARATION OF MEREDITH SCHULTZ IN SUPPORT OF PLAINTIFF’S MOTION TO COMPEL ALL WORK PRODUCT AND ATTORNEY CLIENT COMMUNICATIONS…
…TYPE # OF PARTIES MATTER 1. 2011.03.15 E-Mails 1000- Ghislaine Maxwell Brett Jaffe, Esq. Attorney / Client Communication Attorney-Client …
…SUBJECT MATTER PRIVILEGE TYPE OF PARTIES 2011.03.15 E-Mails Ghislaine Maxwell Brett Jaffe, Esq. Attorney / Client Communication re: Attorney-Client …
…in-line, in black, below to your email sent yesterday. My in-line communication should also be responsive to the email that you just sent. If I have left anything out, please let me know. Thanks, Meredith Meredith L. Schultz…
…seek clarification from the Court regarding the Updated Protocol (Doc. # 1108) as it applies to Doe 1 and Doe 2’s recent communication and the related deadlines for objecting and responding. After conferral with Plaintiff’s counsel, the parties were…
…TYPE # OF PARTIES MATTER 1. 2011.03.15 E-Mails 1000- Ghislaine Maxwell Brett Jaffe, Esq. Attorney / Client Communication Attorney-Client …
…in-line, in black, below to your email sent yesterday. My in-line communication should also be responsive to the email that you just sent. If I have left anything out, please let me know. Thanks, Meredith Meredith L. Schultz…
…L. Giuffre, Plaintiff, Case No.: 15-cv-07433-RWS v. Ghislaine Maxwell, Defendant. ____________________________/ DECLARATION OF MEREDITH SCHULTZ IN SUPPORT OF PLAINTIFF’S REPLY MOTION TO COMPEL ALL WORK PRODUCT AND ATTORNEY CLIENT COMMUNICATIONS WITH PHI…
…L. Giuffre, Plaintiff, Case No.: 15-cv-07433-RWS v. Ghislaine Maxwell, Defendant. ____________________________/ DECLARATION OF MEREDITH SCHULTZ IN SUPPORT OF PLAINTIFF’S REPLY MOTION TO COMPEL ALL WORK PRODUCT AND ATTORNEY CLIENT COMMUNICATIONS WITH PHI…
…SUBJECT MATTER PRIVILEGE TYPE OF PARTIES 2011.03.15 E-Mails Ghislaine Maxwell Brett Jaffe, Esq. Attorney / Client Communication re: Attorney-Client …
…Despite these obstacles, non-party Ransome complied by producing over 235 pages of highly relevant documents which include photographic evidence and e-mail communications during the mid-2000s that directly contradict Defendant’s deposition testimony. For example, Defendant swore under…
Comments