gov.uscourts.nysd.447706.919.0.pdf PDF
…District Court Southern District of New York VIRGINIA GIUFFRE, Plaintiff, v. usuc . DO UMENT …
…District Court Southern District of New York VIRGINIA GIUFFRE, Plaintiff, v. usuc . DO UMENT …
…data, and requests that this Court enter an adverse inference jury instruction for this willful violation of this Court’s orders. I. BACKGROUND The earliest-dated email Defendant has produced in this litigation is from July 18, 2009. (GM_00069)…
…data, and requests that this Court enter an adverse inference jury instruction for this willful violation of this Court’s orders. I. BACKGROUND The earliest-dated email Defendant has produced in this litigation is from July 18, 2009. (GM_00069)…
…In an abundance of caution, undersigned counsel notes that the redactions identified in the chart below have been requested in an omnibus letter motion filed in the above-styled proceedings on this date, and thus respectfully requests that the transcript…
…Maxwell, Case No. 15-cv-7433-LAP Dear Judge Preska, Pursuant to the Court’s orders dated January 19 and January 26, 2021 (ECF No. 1193), Plaintiff files the documents ordered unsealed listed in Exhibit F to Defendant’s Reply…
…produce this data, and requests that this Court enter an adverse inference jury instruction for this willful violation of this Court’s orders. I. BACKGROUND The earliest-dated email Defendant has produced in this litigation is from . Ms. Giuffre is…
…accordance with the rules, with argument to be heard on July 7, 2016 (the first Thursday following the completion of briefing) or on a later date convenient for the Court. Dated: June 16, 2016 Respectfully submitted, __/s/ Gregory L. Poe__…
…data, and requests that this Court enter an adverse inference jury instruction for this willful violation of this Court’s orders. I. BACKGROUND The earliest-dated email Defendant has produced in this litigation is from July 18, 2009. (GM_00069)…
…her deposition. BACKGROUND On February 6, 2017, Defendant served non-party witness Sarah Ransome with a subpoena that included 30 different document requests and set her compliance date for just seven (7) days later on February 13, 2017. In addition…
…Ransome. A copy of the Subpoena is attached to this Notice. EXHIBIT (] J L } )_ / l7 l /7 JEREMY RICHMAN Case 1:15-cv-07433-LA…
… Counsel for Ms. Maxwell are both unavailable to appear in New York on April 13, 2016. 5. Mr. Pagliuca is scheduled to appear on that date before the Hon. Christine M. Arguello, U.S. District Court for the District of…
…Depositions next week Date: Thursday, June 02, 2016 9:23:30 AM We got an email yesterday from Mr. Brunel's attorney saying he needs to reschedule. I believe he is trying to get us new dates today or tomorrow…
…16 IV. MS. MAXWELL’S COUNSEL AGREED TO EXTEND THE RETURN DATE FOR COMPLIANCE WITH THE SUBPOENA ....................................................................... 17 CERTIFICATE OF SERVICE ..................................................................................................... 19 …
…public statements made by Ms. Maxwell (RFP 17-18). Again, Ms. Maxwell and her counsel conducted a thorough search and produced any responsive non-privileged documents. To date, Ms. Maxwell has produced 1,130 pages of documents. Litigation concerning whether…
…the parties to submit search terms to the Court on August 1, 2016, advising that “[a] briefing schedule and the submission date will be set after search terms are determined.” (DE 301). Pursuant to this Court’s July 22, 2016…
…[nformation, or Objects or to Permit Tnspection of Premises upon Jean Luc Brunel. A copy of the Subpoena is attacJ1ed to this Notice as Exhibit A. Dared: February 16, 2016 By: /s/ Si grid l\lkCawley Sigrid Mccawley (Admitted Pro…
…the parties to submit search terms to the Court on August 1, 2016, advising that “[a] briefing schedule and the submission date will be set after search terms are determined.” (DE 301). Pursuant to this Court’s July 22, 2016…
…public statements made by Ms. Maxwell (RFP 17-18). Again, Ms. Maxwell and her counsel conducted a thorough search and produced any responsive non-privileged documents. To date, Ms. Maxwell has produced 1,130 pages of documents. Litigation concerning whether…
…Filed 08/09/16 Page 2 of 8 efforts to frustrate and evade the taking of his deposition. Instead of simply working with Ms. Giuffre’s counsel to secure a mutually agreement date and time for Mr. Gow’s deposition…
…the parties to submit search terms to the Court on August 1, 2016, advising that “[a] briefing schedule and the submission date will be set after search terms are determined.” (DE 301). Pursuant to this Court’s July 22, 2016…
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