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…
…providers and produce their records prior to her deposition, despite this Court’s order ........................................................................ 2 B. Plaintiff failed to produce emails from her iCloud and Hotmail accounts....................... 4 C. Plaintiff failed to address issue o…
…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…
…providers and produce their records prior to her deposition, despite this Court’s order ........................................................................ 2 B. Plaintiff failed to produce emails from her iCloud and Hotmail accounts....................... 4 C. Plaintiff failed to address issue o…
…2. Terramar – You have withdrawn that as a standalone search term. I have represented to you that we have searched all Terramar emails for otherwise responsive documents as well as 3. Witness names – You believe that search terms 124-341…
…production from Defendant's electronic media. Accordingly, please use IMAP Capable software (or a functional equivalent) to capture all of the sent/received emails from Ms. Maxwell's various email accounts, including but not limited to the following: (1) GMaxl…
…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…
…Nov. 2, 2016 at 7. During the hearing on November 10, 2016, this Court granted Plaintiff’s Motion to permit this third deposition to include questioning concerning two emails produced August 16, 2016 (Doc. # 466); see Tr. of Nov. 10…
…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…
…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”)…
…Defendant. ________________________________/ PLAINTIFF MS. GIUFFRE’S RENEWED MOTION TO COMPEL DATA FROM DEFENDANT’S UNDISCLOSED EMAIL ACCOUNT AND FOR AN ADVERSE INFERENCE INSTRUCTION Ms. Giuffre hereby files a Renewed Motion to Compel Data from Defendant’s Undisclosed Email Accounts and for…
…and production from Defendant's electronic media. Accordingly, please use IMAP Capable software (or a functional equivalent) to capture all of the sent/received emails from Ms. Maxwell's various email accounts, including but not limited to the following: (1) …
… [email protected] Subject: Fw: SERVICE· Epstein Deposition Ms Schultz, just wanting to be sure there are no email issues between Sigrid and myself. Below is an email sent to Sigrid shortly after noon today. Martin Weinberg From: Martin Weinberg…
…9, 2016 Order. The Court is now in possession of three additional documents that Defendant failed to produce in contravention of this Court’s Order, in addition to the emails (emails that included among them that Defendant wrongfully withheld. So…
…York Virginia L. Giuffre, Plaintiff, Case No.: 15-cv-07433-RWS v. Ghislaine Maxwell, Defendant. ________________________________/ PLAINTIFF’S MOTION TO COMPEL DATA FROM DEFENDANT’S UNDISCLOSED EMAIL ACCOUNT AND FOR AN ADVERSE INFERENCE INSTRUCTION Plaintiff, Virginia …
…¶ 37. This entirely fabricated story was obviously inserted as the result of the email exchange between Ms. Giuffre and Sharon Churcher in which Ms. Churcher urges Ms. Giuffre to include my name in her manuscript in order to make it…
…of Danbury, 298 F.R.D. 37 (D. Conn. 2014) (protective order granted with respect to personal information of nonparties, including home addresses, email addresses, phone numbers, dates of birth, children’s names, financial account numbers, and social security numbers);…
…Ex. 2, p, 6/34. Shortly thereafter, on March 20, 2011, Churcher emailed Plaintiff explaining to her how she can corroborate a story to tell the FBI – that she was “given to” Prince Andrew. Menninger Decl., Ex. A, p. 8…