gov.uscourts.nysd.447706.1219.35.pdf PDF
…for the State of Florida. Case 1:15-cv-07433-LAP Document 1219-35 Filed 07/15/21 Page 3 of 5 Page 223 1 JOHN ALESSI 2 Q. You never received emails from either of 3 them? 4 A…
…for the State of Florida. Case 1:15-cv-07433-LAP Document 1219-35 Filed 07/15/21 Page 3 of 5 Page 223 1 JOHN ALESSI 2 Q. You never received emails from either of 3 them? 4 A…
…of Florida. MAGNA9 LEGAL SERVICES Case 1:15-cv-07433-LAP Document 1327-24 Filed 01/05/24 Page 3 of 6 Page 223 1 JOHN ALESSI 2 Q. You never received emails from either of 3 them? 4 A…
…of Florida. MAGNA9 LEGAL SERVICES Case 1:15-cv-07433-LAP Document 1330-13 Filed 01/05/24 Page 3 of 5 Page 223 1 JOHN ALESSI 2 Q. You never received emails from either of 3 them? 4 A…
…Ann Willis, a Registered Professional Reporter, Certified Realtime Reporter and Notary Public within and for the State of Florida. Page 223 1 JOHN ALESSI 2 Q. You never received emails from either of 3 them? 4 A. No, sir…
…in the event of an unsealing order, to permit the release of certain emails to avoid a situation where selective and one-side unsealing of deposition testimony occurs, and information is released in a manner that is decontextualized and unfair…
…for Production served on Ms. Maxwell, nor the Court’s Orders limiting those requests. Terramar – Search term 49 is “Terramar.” While we are searching our client’s terramar email address for otherwise responsive documents, this search term would pull up…
…A. Menninger HADDON MORGAN 150 East 10th Avenue FOREMAN Denver, Colorado 80203 PH 303.831.7364 FX 303.832.2628 …
…the Ransome deposition—an action that would require modification of the Protective Order in this case —it also simultaneously remove the confidentiality designation from several related emails and attachments that the parties previously designated confidential (RANSOME_000273-557) (“the Emails”)…
…authorized to accept service conditioned on the deposition being located near Mr. Epstein's Virgin Island residence which you indicated in your email of May 25 was acceptable to you, on a date and location (close to but not at…
…matter was deemed fully c submitted. ·. II. The J?riv;i.l.ege Claim$ at l$l?rie : Defendant has withheld 99 pages of emails with communications involving various combinations of Brett Jaffe, Esq. ("Jaffe"), Mark Cohen, Esq. …
…2 MS. MENNINGER: Your Honor, I actually believe that 3 these emails were some that your Honor had reviewed because we 4 had asserted a joint defense agreement privilege, and your 5 Honor reviewed these emails, and they were produced…
…the 7 record, I will say that my 8 understanding is that those 9 documents were all produced to 10 you, including all the emails 11 that you asked her about, and 12 where are the missing emails, and 13 …
…by News Corp UK & Ireland Limited or any member of its group. News Corp UK & Ireland Limited may monitor outgoing or incoming emails as permitted by law. It accepts no liability for viruses introduced by this e-mail or attachments…
…includes every writing or record of every type and description that is or has been in Your possession, custody or control, or of which You have knowledge, including but not limited to, e- mails, text messages, instant messages, videotapes, photographs…
…Even if counting such marginally responsive, “filler” pages, Defendant’s production is still inadequate. For example, and Defendant has stated she had a practice of regularly deleting e-mails. Ms. Giuffre is entitled to seek and retrieve that electronic data…
…Epstein in Does. Neither June 17 nor June 28 is an available date. Regards, Greg Poe Please note: As of June 1,2016, my email address has changed to [email protected]. Please update your address book accordingly. Gregory L…
…documents, particularly electronic documents, dating back over 16 years. However, Ms. Maxwell, prior to this litigation has long had a practice of deleting emails after they have been read. 17. Ms. Maxwell objects to Instruction Nos. 5, 8, 9, 12…
…wrong. Defendant, who has only produced two e-mails in response to Plaintiff’s thirty-nine (39) discovery requests now complains that Plaintiff produced too many documents in response to Defendant’s expansive discovery requests. If Defendant did not want…
…Giuffre could provide more detail on these issues, which are documented in numerous back and forth emails between the parties; but rather than inundate the Court with those issues, 4 Case 1:15-cv-07433-LAP Document 199 Filed…
Case 1:15-cv-07433-LAP Document 1117 Filed 09/16/20 Page 1 of 1
Sigrid S. McCawley
Telephone: (954) 356-0011