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 …
…RWS Document 916 Filed 05/24/17 Page 1 of 2 United States District Court Southern District of New York VIRGINIA GIUFFRE, Plaintiff, Case No.: 15-cv-07433-RWS v. GHISLAINE MAXWELL, Defendant. ________________…
…SONY at any time? Nfiles0iudge Previously Assigned If yes, wa s this case Vol. D In vol. D Dismissed . No D Yes D If yes, give d a t e - - - - - -- - -- & Ca se No . . Is THIS AN INTERNATIONAL ARBlT RATION CASE! …
… f. the disposition of any case associated with any such Communication, irrespective of whether the matter was sealed, expunged or later dismissed. Response to Interrogatory No. 4 Ms. Giuffre objects to this interrogatory in that it violates Local Rule 33…
… f. the disposition of any case associated with any such Communication, irrespective of whether the matter was sealed, expunged or later dismissed. Response to Interrogatory No. 4 Ms. Giuffre objects to this interrogatory in that it violates Local Rule 33…
… f. the disposition of any case associated with any such Communication, irrespective of whether the matter was sealed, expunged or later dismissed. Response to Interrogatory No. 4 Ms. Giuffre objects to this interrogatory in that it violates Local Rule 33…
… f. the disposition of any case associated with any such Communication, irrespective of whether the matter was sealed, expunged or later dismissed. Response to Interrogatory No. 4 Ms. Giuffre objects to this interrogatory in that it violates Local Rule 33…
… f. the disposition of any case associated with any such Communication, irrespective of whether the matter was sealed, expunged or later dismissed. Response to Interrogatory No. 4 Ms. Giuffre objects to this interrogatory in that it violates Local Rule 33…
… f. the disposition of any case associated with any such Communication, irrespective of whether the matter was sealed, expunged or later dismissed. Response to Interrogatory No. 4 Ms. Giuffre objects to this interrogatory in that it violates Local Rule 33…
… f. the disposition of any case associated with any such Communication, irrespective of whether the matter was sealed, expunged or later dismissed. Response to Interrogatory No. 4 Ms. Giuffre objects to this interrogatory in that it violates Local Rule 33…
… f. the disposition of any case associated with any such Communication, irrespective of whether the matter was sealed, expunged or later dismissed. Response to Interrogatory No. 4 Ms. Giuffre objects to this interrogatory in that it violates Local Rule 33…
…order by truthfully answering a question put to me by the opposing lawyer and offering to seal my answer. The BSF motion for sanctions was subsequently dismissed for lack of jurisdiction and standing, and is now being appealed by Ms…
…1:15-cv-07433-LAP Document 928 Filed 10/19/17 Page 3 of 11 ARGUMENT It is well settled that a Court should not consider documents outside the four corners of the Complaint at the Motion to Dismiss stage…
…Mr. Epstein's response pursuant to Local Civil Rule 6.1 would be due on October 7, 2016. I have discussed this matter with counsel for Defendant Maxwell, Jeff Pagliuca, who has no objection to the granting of a ten…
… 2005. 18 Q. Why? 19 A. My wife and I had discussed these 20 incidents, and this last one was just, we 21 couldn't deal with it. 22 Q. When you left your employment with 23 the Dubin family…
… 2005. 18 Q. Why? 19 A. My wife and I had discussed these 20 incidents, and this last one was just, we 21 couldn't deal with it. 22 Q. When you left your employment with 23 the Dubin family…
… She was unaware of any sexual acts with masseuses and Jeffrey Epstein that were non- consensual. Id. at 55:5-15. She discussed her knowledge of . Id. at 55:17- 56:20. She had no knowledge of …
… 2005. 18 Q. Why? 19 A. My wife and I had discussed these 20 incidents, and this last one was just, we 21 couldn't deal with it. 22 Q. When you left your employment with 23 the Dubin family…
… 9 A. No, but I knew. 10 Q. Was there any other time that you had 11 discussed with her finishing your job? 12 A. Not that I recall. 13 Q. Any other time you just recall discussing 14 with…
…of her Jane Doe complaint. She did not indicate she searched for any such documents, indeed she refused to answer questions about her modeling earnings, as discussed infra. I. Request 30: Social Media Finally, Ms. Ransome was asked to produce…
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