gov.uscourts.nysd.447706.1328.22.pdf PDF
…r entification Information (Fingerprints, palm Information 1'19.071 (2)(e) Confession 3€>!5.171 (15) Identity of 911 reports are confidential for period of 60 days after seHvice 1 'I …
…r entification Information (Fingerprints, palm Information 1'19.071 (2)(e) Confession 3€>!5.171 (15) Identity of 911 reports are confidential for period of 60 days after seHvice 1 'I …
…C entification Information (Fingerprints, palm Information C 1rn.071 (2)(e) Confession C ormants C 3E>t,.171 (15) Identity of 911 reports are con…
…ECF No. 1157), and in light of Does 1 and 2 not submitting any objection to unsealing within 14 days of being served with their relevant excerpts, Plaintiff files excerpts of Doe 1’s deposition transcript (DEs 204-3, 212…
… We were requesting 30 days to 16 complete those depositions to coordinate with their counsel and 17 then coordinate with the defendant's counsel and get those set, 18 and I believe we can do that without altering the Court…
…14 Q. Yes, that's okay. 15 A. A few days later, I remember asking her 16 questions to try to figure out her role, why she was 17 there, and she gave me vague answers and was never 18…
…is proper at this time because, as of the date of this filing, fact discovery closes in 17 days (although Ms. Giuffre has recently filed a motion for a 30-day extension of the deadline). In order to give the…
…and his partner Sigrid McCawley, who represent several witnesses in this matter, have also made public and presumptively prejudicial statements in recent days, notwithstanding the fact that such conduct is prohibited by Local Rule 23.1, which applies to lawyers…
…I think it was 10 have read what he wrote down to determine whether 11 last week or the last ten days anyway -- I could 11 or not he took down that which you had said or 12 tell you…
…is proper at this time because, as of the date of this filing, fact discovery closes in 17 days (although Ms. Giuffre has recently filed a motion for a 30-day extension of the deadline). In order to give the…
…and Defendant requested that Ms. Giuffre reschedule that deposition just days before the scheduled date. 12 Case 1:15-cv-07433-LAP Document 1307-4 Filed 08/25/23 Page 17 of 28 7. Jean Luc Brunel (3 ½…
…stay typically? 24 MR. CRITTON: Yes. 25 A. Two, three days. 25 MS. EZELL: I don't know how 1 missed that. Page 74 Page 76 1 …
…are doing. If 12 you wish to object you have, let's say, 14 days to do so. You 13 have to file it with the Court within that time, serve it on 14 the parties within that time, etc…
…attorney work product. This Interrogatory is premature and violates Local Rule 33.3(c) because discovery is ongoing in this case, not complete, and it is more than thirty days from the conclusion of discovery. See, e.g., Shannon v…
…and Defendant requested that Ms. Giuffre reschedule that deposition just days before the scheduled date. 12 Case 1:15-cv-07433-LAP Document 1320-10 Filed 01/03/24 Page 17 of 28 7. Jean Luc Brunel (3 ½…
…se by claiming 9 her profession is as a professional victim. In other words, 10 ten days before she claims my client made statements about her, 11 plaintiff founded a nonprofit through her organization, through 12 her attorneys in Florida…
…stay typically? 24 MR. CRITTON: Yes. 25 A. Two, three days. 25 MS. EZELL: I don't know how I missed that. Page 74 Page 76 1 …
…D at 57. This Court ordered Plaintiff to produce her education records and, mere days before her deposition, Plaintiff signed releases for some of the institutions she attended in Florida. Defendant obtained records pursuant to those releases after the deposition…
…she was around a lot. And then I would 11 see her occasionally without him. The one time we 12 spent a few days together in 2006, she wasn't there 13 at all. 14 Q. So you saw her…
…and (12) the 30(b)(6) witness for Victims Refuse Silence. 7 Defendant has unilaterally scheduled - without consulting counsel for Ms. Giuffre - at least two of these depositions for days when depositions of Ms. Giuffre’s witnesses have been set. …
…and (12) the 30(b)(6) witness for Victims Refuse Silence. 7 Defendant has unilaterally scheduled - without consulting counsel for Ms. Giuffre - at least two of these depositions for days when depositions of Ms. Giuffre's witnesses have been set. …
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