gov.uscourts.nysd.447706.223.7.pdf PDF
…Page 1 of 3 EXHIBIT 7 Case 1:15-cv-07433-RWS Document 223-7 Filed 06/16/16 Page 2 of 3 Law Offices of G regory L. Poe PLLC The Executive building 1030 15th Street, N.W.…
…Page 1 of 3 EXHIBIT 7 Case 1:15-cv-07433-RWS Document 223-7 Filed 06/16/16 Page 2 of 3 Law Offices of G regory L. Poe PLLC The Executive building 1030 15th Street, N.W.…
… B Judgment delivered 22 July 2008. Specific disclosure – Litigation privilege – Cross-examination – When court could go behind affidavit of documents – Third party sought specific disclosure of documents – Litigation privilege…
…address has changed to [email protected]. Please update your address book accordingly. Gregory L. Poe LAW OFFICES OF GREGORY L. POE PLLC The Executive Building 1030 15th Street, N.W. Suite 580 West Washington, D.C. 20005 Telephone: (202)…
…email correspondence). On June 9, 2016, undersigned counsel reiterated that position, asserted the Fifth Amendment privilege again, and stated objections to the Subpoena in a letter to plaintiff’s counsel. See Poe Decl., Exhibit 7 (letter from G. Poe to…
…Churcher ............................................................................................. 5 ARGUMENT .................................................................................................................................. 6 I. THE SUBPOENA SEEKS DOCUMENTS THAT ARE PRIVILEGED …
…13 Q. Is says Epstein also trafficked Jane Doe #3 14 for sexual purposes to many other powerful men including 15 numerous prominent American politicians, powerful 16 business executives, foreign presidents, a well-known 17 prime minister and other world…
…III. The Applicable Standard Pursuant to Federal Rule of Civil Procedure 4 5 ( c) ( 3) (A), a court "must quash or modify a subpoena that (iii) requires disclosure of privileged or other protected matter, if no exception or waiver applies…
…“including numerous prominent American politicians, powerful business executives, foreign presidents, a well-known Prime Minister and other world leaders.” Plaintiff refused, claiming every applicable privilege, and additionally “because naming some such individuals would jeopardize her physical safety based on credible…
…1 B. Ms. Maxwell’s Statement In Context Is Not Defamatory ................................... 3 II. MS. MAXWELL’S STATEMENTS ARE PROTECTED BY PRIVILEGE .......... 6 A. Qualified Privilege May Form the Basis for a Rule 12(b)(6) Dismissal ............. 6 B. Ms. Maxwell…
…and Law Enforcement are not news- gathering activities ........................................................................................................... 7 II. THE ABSOLUTE PRIVILEGE OF THE SHIELD LAW IS NOT APPLICABLE BECAUSE THERE WAS NO EXPECTATION OF CONFIDENTIALITY ..................... 9 …
…including subparts, in violation of Rule 33. Ms. Giuffre objects to Defendant’s Second Set of Discovery Requests to the extent they seek information that is protected by any applicable privilege, including but not limited to, attorney client privilege, work…
…to disclose her address under Local Rule 26.1 ...................... 8 VI. PLAINTIFF’S SUBSTANTIVE OBJECTIONS ARE UNRECOGNIZED AND MERITLESS ................................................................................................................. 9 A. Plaintiff’s privilege claims are not cognizable. ...............…
…other interrogatories, exceed the allowable twenty-five interrogatories. Ms. Giuffre objects in that it seeks information protected by the attorney-client privilege, work product protections, and any other applicable privilege or protection as stated in the General Objections. Ms. Giuffre…
…13 Q. Is says Epstein also trafficked Jane Doe #3 14 for sexual purposes to many other powerful men including 15 numerous prominent American politicians, powerful 16 business executives, foreign presidents, a well-known 17 prime minister and other world…
…of this action. Plaintiff and her attorney’s communications with the media are directly relevant to numerous defenses available to Ms. Maxwell, including without limitation, her self-defense privilege, whether Plaintiff is a limited public figure, Ms. Maxwell’s right…
…Groff RANSOME_000006 Executive Assistant to Jeffrey Epstein Case 1:15-cv-07433-LAP Document 1331-34 Filed 01/05/24 Page 3 of 10 6 Home Mail News Sport flnance …
…Case 1:15-cv-07433-LAP Document 1256-10 Filed 05/03/22 Page 11 of 14 Page 55 1 R. Rizzo - Confidential 2 And I blurted out: You're his 3 executive personal assistant? What do you 4 do…
…and she 22 said yes. So I said, what do you do? And 23 she says I'm Jeffrey's executive assistant, 24 personal assistant. Which, from looking at 25 her, just didn't seem to suit. Case 1:15…
…and she 22 said yes. So I said, what do you do? And 23 she says I'm Jeffrey's executive assistant, 24 personal assistant. Which, from looking at 25 her, just didn't seem to suit. Page 55…
…has failed to appear for her deposition. This failure is sufficient for a finding of contempt. See, e.g., Securities Investor Protection Corp. v. Executive Secs. Corp., 433 F. Supp. 470, 474 (S.D.N.Y. 1977) (“The failure of…
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