giuffre-maxwell
gov.uscourts.nysd.447706.1201.10_1
27 pg
…DUPLICATIVE AND NO
GOOD CAUSE EXISTS FOR PERMITTING ADDITIONAL DEPOSITION TIME ...... 10
III. COUNSEL INSTRUCTED MAXWELL NOT TO ANSWER TO ENFORCE THE
COURT’S ORDER AND TO PREVENT HARASSMENT BY PLAINTIFF’S COUNSEL
.........................................................................................................…
giuffre-maxwell
gov.uscourts.nysd.447706.1295.8
9 pg
…their demands. For
3
Defendant’s counsel asked the following highly personal and irrelevant information as
follows:
Personal current financial information from this non-party which information is being
sought only for the purposes of harassment. The witness…
giuffre-maxwell
gov.uscourts.nysd.447706.1167.2
27 pg
…These arguments
were made, and documents filed, for purposes of distraction and harassment, and have nothing to
do with the issues presented by the motion. This is classic abuse of the courts records and files.
The Response and Exhibits were…
giuffre-maxwell
gov.uscourts.nysd.447706.1327.26
27 pg
…DUPLICATIVE AND NO
GOOD CAUSE EXISTS FOR PERMITTING ADDITIONAL DEPOSITION TIME ...... 10
III. COUNSEL INSTRUCTED MAXWELL NOT TO ANSWER TO ENFORCE THE
COURT’S ORDER AND TO PREVENT HARASSMENT BY PLAINTIFF’S COUNSEL
.........................................................................................................…
giuffre-maxwell
gov.uscourts.nysd.447706.1328.18
50 pg
… This Discovery is Barred by FRE 412......................................................20
2. This Request if Propounded for Improper Purposes and Harassment ......21
3. This Request Seeks Irrelevant Information ..............................................22
…
giuffre-maxwell
gov.uscourts.nysd.447706.20.0
26 pg
…7
1. The Qualified “Self-Defense” Privilege Does Not Protect
The Publication Of Deliberately False Statements......................................8
2. The Qualified Pre-Litigation Privilege Does Not Protect
Mass Publication Of D…
giuffre-maxwell
gov.uscourts.nysd.447706.1150.1_2
28 pg
…These arguments
were made, and documents filed, for purposes of distraction and harassment, and have nothing to
do with the issues presented by the motion. This is classic abuse of the courts records and files.
The Response and Exhibits were…
giuffre-maxwell
gov.uscourts.nysd.447706.54.0
11 pg
…and in media interviews and then in press-releases disguised as legal pleadings which
she shared with the press. Faced with unrelenting negative press and harassment by the media in
the United Kingdom spurred by Giuffre’s false claims, Ms…
giuffre-maxwell
gov.uscourts.nysd.447706.441.0
18 pg
…s.Giu ffre has performed an enormou s
u nd ertakingto procu re over250 pages of med icalrecord s from over20 provid ers
.A tthis point,D efend ant’s continu ed d iscoveryrequ ests are nothingmore than
harassment.
C…
giuffre-maxwell
gov.uscourts.nysd.447706.363.6
15 pg
…April 4, 2011) (trial court
granting protective order precluding a deposition noting “this deposition request is mere
harassment” and had no relevance to the underlying dispute where the party was wrongfully using
the discovery process for personal gain).
b. Category…
giuffre-maxwell
gov.uscourts.nysd.447706.1068.0
31 pg
…See Lytle, 810 F. Supp. 2d 616 at 626 (refusing to redact names of targets of harassment and
discrimination complaints even though “conduct at issue may be potentially embarrassing to these
employees”); see also Bernsten v. O’Reilly, 307 F…
giuffre-maxwell
gov.uscourts.nysd.447706.1320.28
32 pg
…prostitute I have been the
target of outright lies, innuendo, slander, defamation and salacious gossip and
harassment; headlines made up of quotes I have never given, statements I have
never made, trips with people to places I have never been…
giuffre-maxwell
gov.uscourts.nysd.447706.1328.5
45 pg
…not to mention the purposes of harassment.
12
Case 1:15-cv-07433-LAP Document 1328-5 Filed 01/05/24 Page 14 of 45
This document is CONFIDENTIAL under the Court’s Protective Order (DE 62)
Pursuant to…
giuffre-maxwell
gov.uscourts.nysd.447706.1296.12
29 pg
…protecting deponent from
annoyance, embarrassment and harassment by denying party’s attempt to obtain personnel
records relating to non-party).
Courts are more vigilant with these protections when the discovery is being sought from a
non-party. “[T]he fact…
giuffre-maxwell
gov.uscourts.nysd.447706.1296.10
469 pg
…s location,
19 things of that nature.
20 The witness has expressed to
21 me fears of harassment and the
22 belief that she's being followed,
23 and my understanding is that
24 there are other witnesses that
25 …
giuffre-maxwell
gov.uscourts.nysd.447706.1335.7
469 pg
…s location,
19 things of that nature.
20 The witness has expressed to
21 me fears of harassment and the
22 belief that she's being followed,
23 and my understanding is that
24 there are other witnesses that
25 …
giuffre-maxwell
gov.uscourts.nysd.447706.1237.0
20 pg
…Judge Nathan squarely
rejected the defense’s argument that “anonymity is necessary to protect its witnesses from scrutiny
and harassment because of the significant publicity this case has garnered” because “these
generalized concerns are present in every high-profile criminal…
giuffre-maxwell
gov.uscourts.nysd.447706.1296.9
29 pg
…protecting deponent from
annoyance, embarrassment and harassment by denying party’s attempt to obtain personnel
records relating to non-party).
Courts are more vigilant with these protections when the discovery is being sought from a
non-party. “[T]he fact…
giuffre-maxwell
gov.uscourts.nysd.447706.1166.0_1
14 pg
… see also
DE 339 at 13-24 (detailing the record support for the argument that defense “counsel instructed
Maxwell not to answer to enforce the Court’s Order and to prevent harassment by plaintiff’s
3
Case 1:15…
giuffre-maxwell
gov.uscourts.nysd.447706.1296.11
27 pg
…Request in
that it represents a complete invasion of privacy. A non-party should not be subjected to undue
harassment serving no admissible purpose.
9
Without waiving such objections, a copy of non-party Sarah Ransome’s current passport…
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