gov.uscourts.nysd.447706.1320.1.pdf PDF
…cv-07433-LAP Document 1320-1 Filed 01/03/24 Page 1 of 2 EXHIBIT 4 Case 1:15-cv-07433-LAP Document 1320-1 Filed 01/03/24 Page 2 of 2 From: [email protected] Sent: Saturday…
…cv-07433-LAP Document 1320-1 Filed 01/03/24 Page 1 of 2 EXHIBIT 4 Case 1:15-cv-07433-LAP Document 1320-1 Filed 01/03/24 Page 2 of 2 From: [email protected] Sent: Saturday…
…LAP Document 156-2 Filed 05/20/16 Page 2 of 4
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…cv-07433-LAP 9LGHR,QF Document 1201-24 Filed 01/27/21 Page 3 of 4 1 A Because I wasn't told any different. 2 Q Do you know where any -- any source of 3 that information came from…
…the Maxwell records was to give the Jeffrey Epstein network the attention it deserved. Mr. Cernovich had informed many members of the press that Epstein had escaped justice, with little to no interest from them. Other than a May 4…
…APPEAL : Defendant. : : ----------------------------------------------------------x Notice is hereby given that Intervenor Michael Cernovich d/b/a Cernovich Media (“Cernovich Med…
…Giuffre v. Maxwell, Case No. 15-cv-7433 Request to be Excused from July 25 Conference (Doc. No. 973) Dear Judge Preska, I have the privilege of representing Intervenor Michael Cernovich d/b/a Cernovich Media. On July 9, 2019…
…this case of significant public interest is wholly unwarranted, and her positions demonstrate her interest in continues to hide from public scrutiny that which has already been sealed for far too long. She further fundamentally mischaracterizes the role of the…
…Page 2 Releasing the complete list of names and pseudonyms will avoid spread of incorrect information that may arise from trying to unweave the partial disclosures and will enable the public and press to understand this Court’s reasoning. For…
…to the Court in the CVRA case. Presumably, documented that the newest iteration of her story contained in the CVRA litigation differed materially from Rather than having her new story impeached by her own words, she destroyed the unfavorable evidence…
…accrued at the time she destroyed ,2 the preservation duty nevertheless existed from the time she knew she intended to join or participate as a witness in the CVRA action and forms the basis for this spoliation motion. Plaintiff makes…
…thousands of people per episode. My Periscope coverage of the Republican National Convention and Democrat National Convention was featured on Periscope’s main page and served as one of the only real-time sources of information from those conventions. 5. …
…document the Court’s imprimatur that, in fact, the document meets the criteria for a protective order, e.g., confidentiality is needed to protect a party or person “from annoyance, embarrassment, oppression, or undue burden or expense,” Fed. R. Civ…
…Rather, Giuffre fabricated a story of abuse at the hands of Ms. Maxwell in exchange for hundreds of thousands of dollars from British tabloids with a motive for selling papers and advertisements and without regard for truth, veracity or substantiation…
…in Bonn, The First International Gateway to Africa Germany Conference in Geneva: Africa& apos;s Challenges Today and Tomorrow website Optimisation and Marketing Central Saint Martins and Method Launch FromFrom Ztieblina Acc…
…by Ms. Maxwell in her letter stating that she 8 takes no position. 9 The Court has also considered the submission from 10 intervenors Julie Brown and Miami Herald Media Company. 11 Perhaps most importantly for our purposes today, the…
… 23 A. I only recall drafts from my 24 lawyer. 25 Q. I will mark this as Maxwell 17. MAGNA& LEGAL SERVICES Case 1:15-cv-07433-LAP Document 1330-19 Filed 01/05/24 Page 10 of 15 Page…
…¶ 4. ~ 4. 2013, she was From 1992 through October 2013, was employed as the New York-based Chief American Correspondent Correspondent of of The …
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