gov.uscourts.nysd.447706.515.0.pdf PDF
…the CVRA litigation, i.e., The journal thus was relevant to the CVRA litigation as a purported memorialization of, or contradiction to, the factional assertions contained in .1 (Of 1 …
…the CVRA litigation, i.e., The journal thus was relevant to the CVRA litigation as a purported memorialization of, or contradiction to, the factional assertions contained in .1 (Of 1 …
…her own testimony. For these reasons, Plaintiff’s depositions must be reopened to examine her on newly discovered evidence and her contradictory statements. ARGUMENT “A person who has previously been deposed in a matter may be deposed again, but only…
…records in footnote 4 of her brief on page 11, yet on page 16, Defendant wrongfully states Plaintiff has not produced Dr. Lightfoot’s records. Despite the self-contradictory briefing, Ms. Lightfoot has produced records. See chart above, Giuffre005431-005438…
…records in footnote 4 of her brief on page 11, yet on page 16, Defendant wrongfully states Plaintiff has not produced Dr. Lightfoot’s records. Despite the self-contradictory briefing, Ms. Lightfoot has produced records. See chart above, Giuffre005431-005438…