gov.uscourts.nysd.447706.1073.0.pdf PDF
…1:15-cv-07433-LAP Document 1073 Filed 07/01/20 Page 2 of 22 Introduction This Court asked the parties to brief three issues: “(a) the weight of presumption of public access that should be afforded to an item…
…1:15-cv-07433-LAP Document 1073 Filed 07/01/20 Page 2 of 22 Introduction This Court asked the parties to brief three issues: “(a) the weight of presumption of public access that should be afforded to an item…
…I'm trying to give to you. It's that it's so hard to 22 just keep naming and naming and naming. 23 Q All right. 24 A A lot of times I would be introduced to 25 them. …
…said were taken by Epstein when she was 15 -- that Epstein groomed her as "sex slave" to gratify not only him but his powerful friends. She wrote that she was introduced to Epstein at the mansion by heiress Ghislaine Maxwell…
…said were taken by Epstein when she was 15 -- that Epstein groomed her as "sex slave" to gratify not only him but his powerful friends. She wrote that she was introduced to Epstein at the mansion by heiress Ghislaine Maxwell…
…18 Defendant Ghislaine Maxwell (“Ms. Maxwell”) hereby submits this Motion for Sanctions Based on Plaintiff’s Intentional Destruction of Evidence and further states as follows: INTRODUCTION In 2013, after Plaintiff was in the process of attempting to join the Crime…
…said were taken by Epstein when she was 15 -- that Epstein groomed her as "sex slave" to gratify not only him but his powerful friends. She wrote that she was introduced to Epstein at the mansion by heiress Ghislaine Maxwell…
…said were taken by Epstein when she was 15 -- that Epstein groomed her as "sex slave" to gratify not only him but his powerful friends. She wrote that she was introduced to Epstein at the mansion by heiress Ghislaine Maxwell…
…I Defendant Ghislaine Maxwell ("Ms. Maxwell") hereby submits this Motion for Sanctions I Based on Plaintiffs Intentional Destruction of Evidence and further states as follows: I INTRODUCTION In 2013 , after Plaintiff was in the process of attempting to join the…
…Epstein, who was not a defendant. She tried to do so by seeking to introduce evidence wholly irrelevant to her defamation claim. See Doc.991 at 6-7. Plaintiff claims not to 5 Case 1:15-cv-07433-LAP…
…pending motion to intervene and to unseal the “Requested Documents,” as that term is defined in Paragraph 3 of my August 11, 2016 Declaration. Introduction and Overview 2. Rather than offering a valid and proper basis for opposing my motion…
…in 13 Florida. So it was a document in that case -- in discovery in 14 that case as well, and that's why we have testimony on -- 15 THE COURT: Was it introduced in that case? 16 MS. McCAWLEY: It…
…HADDON, MORGAN, AND FOREMAN, P.C. East 10th Avenue Denver, CO 80203 303.831.736…
…in Palm Beach. See McCawley Decl. at Exhibit 6, Maxwell Depo. at 29. Whether Defendant had meet Ms. Giuffre and introduced her to Epstein. Id. at 33. Whether Defendant, in 2011, could recall having met Ms. Giuffre at…
…exceed' everything I had been taught. He emphasized that whatever Prince Andrew wanted, I was to make sure he got." 'Sexual interests in feet' When the prince arrived, she was introduced, she said, and "we kissed formally, cheek to cheek."…
…in Palm Beach. See McCawley Decl. at Exhibit 6, Maxwell Depo. at 29. ! Whether Defendant had meet Ms. Giuffre and introduced her to Epstein. Id. at 33. ! Whether Defendant, in 2011, could recall having met Ms. Giuffre at the Mar…
… The court reporter is Deborah 18 Harris, both from Esquire Deposition Solutions. 19 Would counsel please introduce yourselves and your 20 affiliation and the witness will be sworn in. 21 MS. MCCAWLEY: My name is Sigrid McCawley. 22 I'm…
…AND FOREMAN, P.C. East 10th Avenue Denver, CO 80203 303.831.7364 …
…pending motion to intervene and to unseal the “Requested Documents,” as that term is defined in Paragraph 3 of my August 11, 2016 Declaration. Introduction and Overview 2. Rather than offering a valid and proper basis for opposing my motion…
…in Palm Beach. See Mccawley Deel. at Exhibit 6, Maxwell Depo. at 29. • Whether Defendant had meet Ms. Giuffre and introduced her to Epstein. Id. at 33. • Whether Defendant, in 2011, could recall having met Ms. Giuffre at the Mar…
…16 apparently, your Honor, apart from her testimony, the only 17 thing they intend to introduce at trial is her testimony. 18 Contemporaneous with taking her deposition, indeed to 19 prepare for her deposition, your Honor, we would need to…
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