gov.uscourts.nysd.447706.931.0.pdf PDF
…at this time. We have asked for the 21 deposition in that case of Mr. Epstein in order to hit these 22 issues of statute of limitations and jurisdiction. They won't 23 agree to it. 24 So, we bend…
…at this time. We have asked for the 21 deposition in that case of Mr. Epstein in order to hit these 22 issues of statute of limitations and jurisdiction. They won't 23 agree to it. 24 So, we bend…
…Heaney, Donna Oliver P.A and Dr. Streeter – reside in Colorado. Because they are outside of the jurisdiction, they are not subject to be compelled to appear at trial, requiring that their depositions be taken to present their testimony. Ms…
…Heaney, Donna Oliver P.A and Dr. Streeter – reside in Colorado. Because they are outside of the jurisdiction, they are not subject to be compelled to appear at trial, requiring that their depositions be taken to present their testimony. Ms…
…before the court. Seeming to recognize this problem, 3 Tellingly, Defendant cites no case law – in any jurisdiction – to support the proposition that To the contrary, even rulings in the Southern District of New York hold the opposite, but …
…Heaney, Donna Oliver P.A and Dr. Streeter – reside in Colorado. Because they are outside of the jurisdiction, they are not subject to be compelled to appear at trial, requiring that their depositions be taken to present their testimony. Ms…
…produced. 17 Case 1:15-cv-07433-LAP Document 231 Filed 06/20/16 Page 20 of 23 – reside in Colorado. Because they are outside of the jurisdiction, they are not subject to be compelled to appear at trial…