giuffre-maxwell
gov.uscourts.nysd.447706.1218.31
10 pg
…wexner-israel-fellowship-program), which brings ten
Israeli public officials to Harvard for a fully funded Master’s degree program in public administration at the Kennedy School of
Government.
With the participation of The Wexner Foundation, Republican pollster and rightwing…
giuffre-maxwell
gov.uscourts.nysd.447706.1024.0
7 pg
…s accountability and legitimacy.” No. 14-CV-6867 (VEC), 2016 WL 1071107, at
*9. “And the public has a right to know how its resources are being used—courts are funded by
the public, . . . and the laws under which parties…
giuffre-maxwell
gov.uscourts.nysd.447706.1166.0_1
14 pg
…Introduction
Plaintiff cannot meet the merits of Ms. Maxwell’s well-founded objections to the release
her July 2016 compelled deposition testimony or information concerning various Non-Parties, all
of whom relied on the Protective Order issued by the Court…
giuffre-maxwell
gov.uscourts.nysd.447706.303.0
13 pg
…Motion for
Sanctions (“Sur-Reply”), stating as follows:
INTRODUCTION
Plaintiff’s Response and Sur-Reply are founded entirely on a miscomprehension of the
requirements of Federal Rules of Civil Procedure 26 and 33. She strenuously argues that she has
“disclosed…
giuffre-maxwell
gov.uscourts.nysd.447706.1198.25_1
13 pg
…Motion for
Sanctions (“Sur-Reply”), stating as follows:
INTRODUCTION
Plaintiff’s Response and Sur-Reply are founded entirely on a miscomprehension of the
requirements of Federal Rules of Civil Procedure 26 and 33. She strenuously argues that she has
“disclosed…
giuffre-maxwell
gov.uscourts.nysd.447706.22.0
14 pg
…RWS Document 22 Filed 12/15/15 Page 2 of 14
Table of Contents
ARGUMENT....................................................................................................................... 2
I. The Motion to Dismiss is Dispositive and Well Founded In Law ....................…
giuffre-maxwell
gov.uscourts.nysd.447706.363.11
40 pg
…acknowledge that the public filing in the Crime Victims’
Rights Act case of their client’s allegations against Defendant Dershowitz became a major
distraction from the merits of the well-founded Crime Victims’ Rights Act case by causing
delay and…
giuffre-maxwell
gov.uscourts.nysd.447706.1331.16
10 pg
…present in her case-in-chief. Ms. Maxwell has filed well-founded motions in limine to exclude
the testimony of both Dr. Kliman and Professor Coonan prohibiting from providing their
credibility and vouching opinions. This is the subject matter of…
giuffre-maxwell
gov.uscourts.nysd.447706.1290.0
3 pg
…1285 at 2.
However, any assumptions the Court made were well founded, and the Court’s ultimate ruling was
correct and should not be reconsidered.
Doe 171’s motion asserts that she “maintains her right to remain anonymous,” yet her…
giuffre-maxwell
gov.uscourts.nysd.447706.1320.18
40 pg
…do acknowledge that the
public filing in the Crime Victims’ Rights Act case of their client’s allegation against Defendant
Dershowitz became a major distraction from the merits of the well-founded Crime Victims’
Rights Act by causing delay and…
giuffre-maxwell
gov.uscourts.nysd.447706.1105.0
8 pg
…7
(quotation marks and citation omitted). The Court concluded that Mr. Dershowitz’s
proffered bases for modification – even if well-founded, which the Court rightly
doubted – were beside the point: “That is all well and good, but while fostering
judicial…
giuffre-maxwell
gov.uscourts.nysd.447706.1073.0
22 pg
…the Sealed Materials,
that alone is a violation of the Protection Order.
As Plaintiff well knows, Ms. Maxwell was forced to answer substantial, numerous, ill-
founded questions regarding her private life, her , her
residences, her friends, and her living arrangements…
giuffre-maxwell
gov.uscourts.nysd.447706.1201.10_1
27 pg
…Court addressed. Accordingly, the objection is well founded.
Plaintiff’s tortured explanation about how the question fits into the Court’s Order is nonsense.
16
G. Objection to Question Number 8
“In terms of preparing for this deposition, what…
giuffre-maxwell
gov.uscourts.nysd.447706.1327.12
11 pg
…The Terramar Project, that Ms. Maxwell founded and runs.
Plaintiff’s originally proposed terms also failed to relate to the actual discovery requests
upon which they were to be based. For search terms 124-341, Plaintiff took her own Rule…
giuffre-maxwell
gov.uscourts.nysd.447706.1090.4_1
29 pg
…their client’s claims – were false. The Complaint by Edwards and Cassell alleged that
“[i]mmediately following the filing of what Dershowitz knew to be an entirely proper and well-
founded pleading, Dershowitz initiated a massive public media assault on…
giuffre-maxwell
gov.uscourts.nysd.447706.31.0_1_1
22 pg
…se by claiming
9 her profession is as a professional victim. In other words,
10 ten days before she claims my client made statements about her,
11 plaintiff founded a nonprofit through her organization, through
12 her attorneys in Florida…
giuffre-maxwell
gov.uscourts.nysd.447706.276.0_1
35 pg
…14 all avenues available to us to obtain this information. There
15 is really no place else to go. And so there is -- I think it
16 is not well founded, your Honor, that there is some notion that
17 …
giuffre-maxwell
gov.uscourts.nysd.447706.562.2
29 pg
…privilege. The conduct of the attorneys Edwards and Cassell that forms the basis for
Dershowitz's counterclaim for defamation is nothing more than filing a well-founded motion in
pending federal court proceedings on behalf of pro bono clients. In…
giuffre-maxwell
gov.uscourts.nysd.447706.164.0
29 pg
…their client’s claims – were false. The Complaint by Edwards and Cassell alleged that
“[i]mmediately following the filing of what Dershowitz knew to be an entirely proper and well-
founded pleading, Dershowitz initiated a massive public media assault on…
giuffre-maxwell
gov.uscourts.nysd.447706.1327.26
27 pg
…the objection is well founded.
Plaintiff’s tortured explanation about how the question fits into the Court’s Order is nonsense.
16
Case 1:15-cv-07433-LAP Document 1327-26 Filed 01/05/24 Page 19 of 27…
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