gov.uscourts.nysd.447706.824.0_2.pdf PDF
…1 THE COURT: First order of business from me, have you 2 all reached any decision as to how we're going to conduct the 3 trial with respect to the matters covered by the protective 4 order? 5 MS…
…1 THE COURT: First order of business from me, have you 2 all reached any decision as to how we're going to conduct the 3 trial with respect to the matters covered by the protective 4 order? 5 MS…
…Plaintiff, v. 15-cv-07433-RWS Ghislaine Maxwell, Defendant. [PROPOSED] PROTECTIVE ORDER Upon a showing of good cause in support of the entry of a protective order to protect the discovery and dissemination of conf…
…DERSHOWITZ, Defendant. VIRGINIA L. GIUFFRE, Plaintiff, No. 15 Civ. 7433 (LAP) -against- ORDER GHISLAINE MAXWELL, Defendant. LORETTA A. PRESKA, Senior United States District Judge: The Co…
…2 of 35 2 G3hdgium 1 THE COURT: Thank you all very much. I'm sorry for 2 the inconvenience that I have imposed upon you. I'm sorry 3 about the inconvenience that you have imposed upon me. 4 …
…teams set up by Total and HOSL. The Total defendants and HOSL resist the applications on the B ground that the investigations fall within the rule in Waugh v British Railways Board [1980] AC 521 and are covered by litigation…
…We covered a lot of topics and we both had a number of other things to do. 1 EXHIBIT 1 Case 1:15-cv-07433-LAP Document 288-1 Filed 07/15/16 Page 2 of 4 In any…
…08/31/20 Page 2 of 3 of any comments received.” (Id. at 2.)1 The Court writes to provide that update. Nonparties were permitted to submit comments on the proposed disclosure to Mr. Dershowitz no later than August 25…
…request in that it is overly broad and seeks confidential financial information. Ms. Giuffre objects to this interrogatory in that it seeks information covered by confidentiality provisions. Ms. Giuffre objects to this information in that any payment information for the…
…957), and states as follows. INTRODUCTION1 Ms. Maxwell has argued that counsel for Ms. Giuffre have been ordered by this Court to immediately destroy certain materials covered by the protective order in this matter. Counsel for Mr. Giuffre stand ready…
…all refer to it? 20 MR. MILLER: We refer to it as Jane Doe. 21 THE COURT: Okay. 22 MR. MILLER: Let me back up and give you background. 23 THE COURT: No, no. Thanks very much. 24 MR. MILLER: …
… Case 1:15-cv-07433-LAP Document 1320-18 Filed 01/03/24 Page 3 of 40 IV.COMMUNICATIONS WITH ATTORNEY JACK SCAROLA ARE COVERED BY A JOINT DEFENSE AGREEMENT AND ARE THUS PROTECTED BY ATTORNEY- CLIENT AND WORK…
…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…
…on the subject matters she claims are raised by these two emails, and Plaintiff did in fact question Ms. Maxwell on the subjects covered by the emails. Moreover, despite having access to other email communications that are similar in nature…
…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…
…Scarola, at which 22 time I will give opportunity for re-direct based 23 upon the topics that you've raised. 24 MR. SCAROLA: With the understanding that 25 re-direct is going to be limited to the area of…
…36 2 G3hdgium 1 THE COURT: Thank you all very much. I'm sorry for 2 the inconvenience that I have imposed upon you. I'm sorry 3 about the inconvenience that you have imposed upon me. 4 But having…
…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…
… Case 1:15-cv-07433-LAP Document 1137-14 Filed 10/22/20 Page 3 of 40 IV.COMMUNICATIONS WITH ATTORNEY JACK SCAROLA ARE COVERED BY A JOINT DEFENSE AGREEMENT AND ARE THUS PROTECTED BY ATTORNEY- CLIENT AND WORK…
…deposition. 1 Case 1:15-cv-07433-LAP Document 1325-15 Filed 01/04/24 Page 4 of 14 covered and which were necessitated by Plaintiff’s late disclosures and refusal to answer questions at her first deposition. ARGUMENT…
…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…
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