Found 45 results for “missing period” in 547ms

gov.uscourts.nysd.447706.1200.1.pdf PDF

giuffre-maxwell gov.uscourts.nysd.447706.1200.1 8 pg

…is ordered to collect all ESI by imaging her computers and collecting all email and text messages on any devices in Defendant’s possession or to which she has access that Defendant used between the period of 2002 to present…

gov.uscourts.nysd.447706.1320.33.pdf PDF

giuffre-maxwell gov.uscourts.nysd.447706.1320.33 24 pg

…information withheld is critically important ........................................................... 15 2. Ms. Maxwell would require an extension of the discovery period ................................ 17 II. STRIKING CLAIMS FOR MEDICAL AND EMOTIONAL DISTRESS DAMAGES IS CONSISTENT WITH THE PURPOSE OF R…

gov.uscourts.nysd.447706.1198.1_2.pdf PDF

giuffre-maxwell gov.uscourts.nysd.447706.1198.1_2 24 pg

…information withheld is critically important ........................................................... 15 2. Ms. Maxwell would require an extension of the discovery period ................................ 17 II. STRIKING CLAIMS FOR MEDICAL AND EMOTIONAL DISTRESS DAMAGES IS CONSISTENT WITH THE PURPOSE OF R…

1320-33.pdf PDF

giuffre-maxwell 1320-33 24 pg

…information withheld is critically important ........................................................... 15 2. Ms. Maxwell would require an extension of the discovery period ................................ 17 II. STRIKING CLAIMS FOR MEDICAL AND EMOTIONAL DISTRESS DAMAGES IS CONSISTENT WITH THE PURPOSE OF R…

gov.uscourts.nysd.447706.231.0.pdf PDF

giuffre-maxwell gov.uscourts.nysd.447706.231.0 23 pg

…information withheld is critically important ........................................................... 15 2. Ms. Maxwell would require an extension of the discovery period ................................ 17 II. STRIKING CLAIMS FOR MEDICAL AND EMOTIONAL DISTRESS DAMAGES IS CONSISTENT WITH THE PURPOSE OF R…

gov.uscourts.nysd.447706.279.0.pdf PDF

giuffre-maxwell gov.uscourts.nysd.447706.279.0 8 pg

…is ordered to collect all ESI by imaging her computers and collecting all email and text messages on any devices in Defendant’s possession or to which she has access that Defendant used between the period of 2002 to present…

gov.uscourts.nysd.447706.1332.1.pdf PDF

giuffre-maxwell gov.uscourts.nysd.447706.1332.1 42 pg

…culpable state of mind’; and (3) that the missing evidence is ‘relevant’ to the party's claim or defense such that a reasonable trier of fact could find that it would support that claim or defense.” Id. (citing Residential Funding…

gov.uscourts.nysd.447706.1330.16.pdf PDF

giuffre-maxwell gov.uscourts.nysd.447706.1330.16 17 pg

…the first account, was forensically searched on its server using the search terms proposed by Defendants and as required by the Court. The search uncovered no responsive documents from any time period. See DE 320. This included both emails in…

gov.uscourts.nysd.447706.1200.11_1.pdf PDF

giuffre-maxwell gov.uscourts.nysd.447706.1200.11_1 21 pg

…she used while she was with Epstein, and therefore, the one she used during the time period Defendant was abusing Ms. Giuffre. Defendant does not appear to have pursued access to this account very far. This inaction lies in stark…

gov.uscourts.nysd.447706.66.0_1.pdf PDF

giuffre-maxwell gov.uscourts.nysd.447706.66.0_1 35 pg

…MENNINGER: Your Honor, on this particular one, 6 she says her client does not have any nonprivileged documents 7 created during the time period responsive to this request, and 8 then there are no privileged documents related to this log…

gov.uscourts.nysd.447706.1331.6.pdf PDF

giuffre-maxwell gov.uscourts.nysd.447706.1331.6 9 pg

…a longer 21 have to, like, you know, prepare the room, and, what's 21 period of time, you may work more than five days, and if 22 this, attend to the guests. 22 Mr. Epstein was not in town…

gov.uscourts.nysd.447706.1257.2.pdf PDF

giuffre-maxwell gov.uscourts.nysd.447706.1257.2 21 pg

…she used while she was with Epstein, and therefore, the one she used during the time period Defendant was abusing Ms. Giuffre. Defendant does not appear to have pursued access to this account very far. This inaction lies in stark…

gov.uscourts.nysd.447706.68.0.pdf PDF

giuffre-maxwell gov.uscourts.nysd.447706.68.0 17 pg

…is desperately trying to manufacture baseless objections in an attempt to avoid going forward with the deposition. To date, despite this Court’s order overruling Defendant’s objections on time period, Defendant has produced only two documents to Ms. Giuffre…

gov.uscourts.nysd.447706.1218.39.pdf PDF

giuffre-maxwell gov.uscourts.nysd.447706.1218.39 36 pg

…MENNINGER: Your Honor, on this particular one, 6 she says her client does not have any nonprivileged documents 7 created during the time period responsive to this request, and 8 then there are no privileged documents related to this log…

gov.uscourts.nysd.447706.1295.11.pdf PDF

giuffre-maxwell gov.uscourts.nysd.447706.1295.11 19 pg

…or any of her attorneys, agents, investigators, from the period 1999-present. 2. All fee agreements for Your engagements with any attorneys for the purpose of pursuing any civil or criminal claims regarding Jeffrey Epstein, Ghislaine Maxwell, 29. A copy…

gov.uscourts.nysd.447706.1327.19.pdf PDF

giuffre-maxwell gov.uscourts.nysd.447706.1327.19 21 pg

…she used while she was with Epstein, and therefore, the one she used during the time period Defendant was abusing Ms. Giuffre. Defendant does not appear to have pursued access to this account very far. This inaction lies in stark…

gov.uscourts.nysd.447706.1325.15.pdf PDF

giuffre-maxwell gov.uscourts.nysd.447706.1325.15 14 pg

…Giuffre and her attorneys going to “great lengths” to track down records; they have only responded to requests for doctor’s records when the defense has brought to their attention missing doctors and records. Jane Doe 2 Given Plaintiff’s…

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