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…
…care providers and produce their records prior to her deposition, despite this Court’s order .................................................................... 3 B. Plaintiff failed to produce emails form her iCloud and hotmail accounts ....................... 6 C. Plaintiff has failed to produce…
…Up Flag Status: Flagged Laura, Please see my additions in-line, in black, below to your email sent yesterday. My in-line communication should also be responsive to the email that you just sent. If I have left anything out…
…Virginia L. Giuffre, Plaintiff, Case No.: 15-cv-07433-RWS v. Ghislaine Maxwell, Defendant. ________________________________/ PLAINTIFF’S REPLY IN SUPPORT OF MOTION TO COMPEL DATA FROM DEFENDANT’S UNDISCLOSED EMAIL ACCOUNT AND FOR AN ADVERSE INFE…
…Filed 05/20/16 Page 1 of 6 EXHIBIT G Case 1:15-cv-07433-LAP Document 156-7 Filed 05/20/16 Page 2 of 6 Unidentified "Professionals" Log Email Sent …
…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 …
…Plaintiff’s motion is granted in part. Defendant is ordered to collect all ESI by imaging her computers and collecting all email and text messages on any devices in Defendant’s possession or to which she has access that Defendant…
…VIRGINIA L. GIUFFRE, Plaintiff, v. 15-cv-07433-RWS GHISLAINE MAXWELL, Defendant. --------------------------------------------------X DEFENDANT’S RESPONSE TO PLAINTIFF’S MOTION TO COMPEL DATA FROM DEFENDANT’…
…output, microfilms, checks, statements, receipts, summaries, computer printouts, computer programs, text messages, e-mails, information kept in computer hard drives, other computer drives of any kind, computer tape back-up, CD-ROM, other computer disks of any kind, teletypes, telecopies…
… 15 A. I emailed after I read an 16 article that she had written about 17 Jeffrey Epstein, and the last sentence 18 was -- it was on the 16th of October, 19 and one of the last sentences I 20…
…simply implausible, as a review of Defendant’s interactions with several of the important players in this case makes clear. i. : Q. And then below there is an email from to you and cc'ing on January 11, 2015. Do…
…Court Order regarding Forensic Examination of Devices, as follows: INTRODUCTION Defense counsel has already run the amended list of search terms proposed by Plaintiff on each applicable device and as to each email account to which Ms. Maxwell has access…
…SERVICE I certify that on February 6, 2017, I electronically served this NOTICE OF SERVICE OF RULE 45 SUBPOENA AND NOTICE OF DEPOSITION OF SA.RAH RANSOME via Email on the folJowing: Sigrid S. McCawley Paul G. Cassell Meridith Schultz …
…in determining whether nonparty witness’ invocation of privilege against self-incrimination in course of civil litigation and 9 In discovery, Defendant Maxwell has produced several emails between Epstein and herself discussing Ms. Giuffre. 8 Case 1:15-cv-07433…
…85 (D. Conn. 2012), fully complied with two previous discovery requests but objected to inspection of its electronic servers to locate emails whose existence was speculative. Ms. Ransome’s second argument, the unremarkable position that witness interviews are covered by…
…85 (D. Conn. 2012), fully complied with two previous discovery requests but objected to inspection of its electronic servers to locate emails whose existence was speculative. Ms. Ransome’s second argument, the unremarkable position that witness interviews are covered by…
…forensic examination is unnecessary. Lastly, Ms. Maxwell’s representation that “prior to this litigation” she has long had a practice of deleting emails after they have been read does not warrant a forensic examination. First, prior to this litigation, Ms…