gov.uscourts.nysd.447706.1325.9.pdf PDF
…first walked in the door, it 3 was just myself, and Ghislaine headed for the 4 staircase and said -- told me to come up to the 5 living room. 6 Q. And what happened at that point, when you 7…
…first walked in the door, it 3 was just myself, and Ghislaine headed for the 4 staircase and said -- told me to come up to the 5 living room. 6 Q. And what happened at that point, when you 7…
…in 11 the investigative incident report? 12 A. I'm not sure if it was updated or not. 13 MR. PAGLIUCA: I don't know if we want to 14 mark this or not. I can hand you what I…
…first walked in the door, it 3 was just myself, and Ghislaine headed for the 4 staircase and said -- told me to come up to the 5 living room. 6 Q. And what happened at that point, when you 7…
…sticking out 10 in your brain as being topless? 11 A. Yes. 12 Q. And the walls on the staircase to the 13 upstairs were not just covered with nude 14 photographs, to your recollection? 15 A. To my recollection…
…first walked in the door, it 3 was just myself, and Ghislaine headed for the 4 staircase and said -- told me to come up to the 5 living room. 6 Q. And what happened at that point, when you 7…
…first walked in the door, it 3 was just myself, and Ghislaine headed for the 4 staircase and said -- told me to come up to the 5 living room. 6 Q. And what happened at that point, when you 7…
…first walked in the door, it 3 was just myself, and Ghislaine headed for the 4 staircase and said -- told me to come up to the 5 living room. 6 Q. And what happened at that point, when you 7…
…2 A. Yes, ma'am. 3 MS. EZELL: He said he didn't know that 3 Q. Do you know where others were in the 4 it was upstairs and downstairs, I believe. 4 house? 5 MR. CRITTON: I thought…
…fact, seeking only to response Plaintiff on one subject: “Defendant should be ordered to sit for a follow-up deposition and directed to answer questions regarding her knowledge of alleged “adult” sexual activity.” Plaintiff’s Motion to Compel Deposition Questions…
…I'm going to 8 object. That relates directly to 9 financial information, so it's 10 covered by New York law with 11 respect to nonparty witnesses. 12 Q. What are the names of your 13 parents? 14 A. …
…fact, seeking only to response Plaintiff on one subject: “Defendant should be ordered to sit for a follow-up deposition and directed to answer questions regarding her knowledge of alleged “adult” sexual activity.” Plaintiff’s Motion to Compel Deposition Questions…
…this case. If you instruct her not to 19 answer, all you're going to do is bring 20 her back. That's up to you. 21 MR. PAGLIUCA: It's up…
…Scarola. Ms. Giuffre’s responses to Defendant’s First Set of Discovery Requests are being made after reasonable inquiry into the relevant facts, and are based only upon the information and documentation that is presently known to her. Ms. Giuffre…
…Scarola. Ms. Giuffre’s responses to Defendant’s First Set of Discovery Requests are being made after reasonable inquiry into the relevant facts, and are based only upon the information and documentation that is presently known to her. Ms. Giuffre…
…Scarola. Ms. Giuffre’s responses to Defendant’s First Set of Discovery Requests are being made after reasonable inquiry into the relevant facts, and are based only upon the information and documentation that is presently known to her. Ms. Giuffre…
…Scarola. Ms. Giuffre’s responses to Defendant’s First Set of Discovery Requests are being made after reasonable inquiry into the relevant facts, and are based only upon the information and documentation that is presently known to her. Ms. Giuffre…
…Scarola. Ms. Giuffre’s responses to Defendant’s First Set of Discovery Requests are being made after reasonable inquiry into the relevant facts, and are based only upon the information and documentation that is presently known to her. Ms. Giuffre…
…Scarola. Ms. Giuffre’s responses to Defendant’s First Set of Discovery Requests are being made after reasonable inquiry into the relevant facts, and are based only upon the information and documentation that is presently known to her. Ms. Giuffre…
…Scarola. Ms. Giuffre’s responses to Defendant’s First Set of Discovery Requests are being made after reasonable inquiry into the relevant facts, and are based only upon the information and documentation that is presently known to her. Ms. Giuffre…
…Scarola. Ms. Giuffre’s responses to Defendant’s First Set of Discovery Requests are being made after reasonable inquiry into the relevant facts, and are based only upon the information and documentation that is presently known to her. Ms. Giuffre…
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