gov.uscourts.nysd.447706.1158.2.pdf PDF
…19 Q. Okay. So do you remember back in 2009 20 testifying: 21 "QUESTION: Did you ever observe her doing 22 a photo shoot of any of the young women whose names 23 you mentioned? 24 "ANSWER: Young women? 25…
…19 Q. Okay. So do you remember back in 2009 20 testifying: 21 "QUESTION: Did you ever observe her doing 22 a photo shoot of any of the young women whose names 23 you mentioned? 24 "ANSWER: Young women? 25…
…redactions be narrowly tailored to address the countervailing interests Doe 54 raised. II. Does 55 and 56 Have Not Rebutted the Presumption in Favor of Public Access. Does 55 and 56 are mentioned in Docket Entries 204-2, 212-2…
…who have not filed 15 objections. 16 We are now still in the first phase. As I mentioned, 17 upon consideration today are the objections of the second set 18 of aid of the 16 nonparty objectors: Does 12, 28…
…who have not filed 15 objections. 16 We are now still in the first phase. As I mentioned, 17 upon consideration today are the objections of the second set 18 of aid of the 16 nonparty objectors: Does 12, 28…
…19 Q. Okay. So do you remember back in 2009 20 testifying: 21 "QUESTION: Did you ever observe her doing 22 a photo shoot of any of the young women whose names 23 you mentioned? 24 "ANSWER: Young women? 25…
…and as she 9 sat down, she sat down and sat in the stool 10 exactly the way the girls that I mentioned to 11 you sat at Jeffrey's house, with no 12 expression and with their head down…
…never “testified that Defendant procured underage girls for Epstein.” (Reply at 4) To the contrary, he testified that all of the underage girls he interviewed never mentioned Ms. Maxwell at all. These are but a few of the misrepresentations of…
…never “testified that Defendant procured underage girls for Epstein.” (Reply at 4) To the contrary, he testified that all of the underage girls he interviewed never mentioned Ms. Maxwell at all. These are but a few of the misrepresentations of…
…Ms. Giuffre requests that her choice of counsel be honored and that Bradley J. Edwards’ motion for pro hac vice be granted. As mentioned at today’s hearing, because the deposition of Defendant is scheduled to start tomorrow, April 21…
…none of the underage girls interviewed in connection with his investigation into Epstein claimed to have been hired by Maxwell; in fact, none of them mentioned Ms. Maxwell at all. The two women he interviewed who were hired by Ms…
…concerning the first set of Non-Party Objectors, the Court ordered that certain documents would remain under seal where (i) a Non-Party Objector’s name was only mentioned in “a case of mistaken identity”; (ii) Non-Party Does were…
…Except as to Documents Describing Sexual Abuse. Doe 28 is mentioned in 25 documents.3 The totality of Doe 28’s objection is that unsealing of the materials at issue “would be detrimental to [Doe 28’s] wellbeing as [they…
…The Court Should Unseal Portions of Docket Entries the Second Circuit Already Released. .................................................................................................................................... 6 III. The Court Should Unseal Portions of Documents Mentioning Doe 1 and Doe 2. ... 6 IV. …
…the same freely and vo/untarif;· for the uses and purposes therein mentioned. [SEAL] offtera/ seal the d.iy and year 1asl above written. Hsiao-Chi…
…money to bring her over; 14 however, they never called her to come. 15 Q. And then I believe you mentioned that one 16 of your physical fitness instructors, you brought a 17 physical fitness instructor; was that correct? 18 …
…Do you agree that these corporations that 5 A. Not that I recall. 5 I just mentioned were utilized by Jeffrey Epstein in ,. 'O Q. Do you ever recall being in Ohio? 6 an attempt to have sexual relationships with…
…Giuffre is copied on the message. Ms. Churcher mentions Professor Dershowitz as one of Epstein’s lawyers, together with Kenneth Starr, but not as an abuser: Hi Jarred Hopefully you have Virginia' s book pitch by now. She has some…
…re referring to. 3 "Q. So was there -- during your time, was there no other -- 4 you mentioned information on a computer. Was there any 5 hard-copy document you would refer to to find someone's number? 6 "A…
…50). A. Non-Response from Does 1 and 2 Not Dispositive of Countervailing Interests Plaintiff argues that all documents mentioning Does 1 and 2 should be released because neither requested excerpts nor interposed any objection. She also claims that some…
…saw except the two girls 24 MR. CRITTON: Let me just note my objection, 24 that I mentioned that I think it was underage was 25 as T did in A. Rod's deposition or Mr. Rodriguez's 25 N…
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