gov.uscourts.nysd.447706.1218.9.pdf PDF
…Index No. 15 Civ. 7433 (RWS) Plaintiff, -against- DECLARATION OF GHISLAINE MAXWELL, ALAN M. DERSHOWITZ Defendant. ALAN M. DERSHOWITZ …
…Index No. 15 Civ. 7433 (RWS) Plaintiff, -against- DECLARATION OF GHISLAINE MAXWELL, ALAN M. DERSHOWITZ Defendant. ALAN M. DERSHOWITZ …
…responds to the Court’s October 30, 2019, order, Dkt. 1000, concerning Alan Dershowitz’s request for pre-Answer discovery in Giuffre v. Dershowitz, 19 Civ. 3377. As set forth in her earlier filings, Giuffre supports the unsealing of this…
…the phone half a dozen times today. He would have give us a better hearing than most I figure. Strongly believe saying nothing is the wrong thing - especially as Dershowitz has a big piece coming in The Times on Monday. …
…Clerk, Fourth District Court of Appeal PAUL G. CASSELL, Plaintiffs, v. …
…Plaintiff is filing Plaintiff’s Motion to Exclude Defendant’s Designations of Deposition Excerpts of Alan Dershowitz in an Unrelated Case and Plaintiff’s Motion to Exclude Defendant’s Designations of Deposition Excerpts of Virginia Giuffre in an Unrelated Case…
…L. Giuffre, Plaintiff, Case No.: 15-cv-07433-RWS v. Ghislaine Maxwell, Defendant. ____________________________/ DECLARATION OF SIGRID MCCAWLEY IN SUPPORT OF PLAINTIFF’S MOTION TO EXCLUDE DEFENDANT’S DESIGNATION OF DEPOSITION EXCERPTS OF ALAN DERSHOWITZ IN A…
…3 IB. Churcher prompted Plaintiff to fabricate stories regarding Prince Andrew ........................ 4 IC. Churcher prompted Plaintiff to invent stories regarding Alan Dershowitz ......................... 6 D. Churcher’s communications with Plaintiff’s Counsel and Law Enforcement are not news- gatherin…
…obtain those publicly-available documents (RFP’s 1-5, 19). The Second Requests also sought: Joint Defense Agreements with Mr. Epstein and Mr. Dershowitz (RFPs 6, 7, 9 and 10) and communications with Mr. Dershowitz’s counsel (RFP 11); …
…06 E-Mail 1029 Ghislaine Maxwell Jeffrey Epstein Common Interest Communication Common Interest re: legal advice 7. 2015.01.06 …
…Ghislaine Maxwell Agreed We agreed to release a statement We should support our friends and deny the allegations as Dershowitz urges and Prince Andrew has. We run the real risk of guilt by silence and that is likely to feed…
…dated August 4, 2020 (Dkt. 1097), filed both in the above- captioned matter and in Giuffre v. Dershowitz, No. 19-cv-3377. The Court invited any Doe who wishes to be heard on potential disclosure to Mr. Dershowitz to submit…
… Attached hereto as Exhibit 5, is a true and correct copy of the Complaint in Edwards and Cassell v. Dershowitz. 8. Attached hereto as Exhibit 6 is a true and correct copy of Motion to Compel. 9. Attached hereto as…
…7433 (RWS) Dear Judge Sweet: This firm represents Intervenor Professor Alan M. Dershowitz, and we write in response to the pending application of Julie Brown and the Miami Herald Media Company to intervene and unseal materials filed in court in…
…06 E-Mail 1029 Ghislaine Maxwell Jeffrey Epstein Common Interest Communication Common Interest re: legal advice 7. 2015.01.06 …
…inter alia: x all communications with thirteen specific witnesses, namely Jeffrey Epstein, Virginia Roberts, Prince Andrew, Ross Gow, Alan Dershowitz, Emmy Taylor, Sarah Kellen, Glenn and Eva Dubin, Jean Luc Brunel, Nadia Marcincova and Bill and Hillary Clinton (RFPs 1…
…Client Basham Client legal advice 2015.01.06 E-Mail Ghislaine Maxwell Jeffrey Epstein Common Interest Communication re: Common Interest …
…obtain those publicly-available documents (RFP’s 1-5, 19). The Second Requests also sought: Joint Defense Agreements with Mr. Epstein and Mr. Dershowitz (RFPs 6, 7, 9 and 10) and communications with Mr. Dershowitz’s counsel (RFP 11); …
… Attached hereto as Exhibit 5, is a true and correct copy of the Complaint in Edwards and Cassell v. Dershowitz. 8. Attached hereto as Exhibit 6 is a true and correct copy of Motion to Compel. 9. Attached hereto as…
…2015.01.06 E-Mail Ghislaine Jeffrey Epstein Client Common Communication Common Interest Maxwell …
…the conference be rescheduled for a later date.1 Respective counsel for intervenors Miami Herald, Julie Brown and Alan Dershowitz do not oppose our request to continue the conference. Sanford Bohrer for the Herald intervenors is available August 6-8…
Comments