gov.uscourts.nysd.447706.223.3.pdf PDF
…cv-07433-RWS Document 223-3 Filed 06/16/16 Page 1 of 2 EXHIBIT 3 Case 1:15-cv-07433-RWS Document 223-3 Filed 06/16/16 Page 2 of 2 -----Original Message----- From: Martin Weinberg Sent Monday…
…cv-07433-RWS Document 223-3 Filed 06/16/16 Page 1 of 2 EXHIBIT 3 Case 1:15-cv-07433-RWS Document 223-3 Filed 06/16/16 Page 2 of 2 -----Original Message----- From: Martin Weinberg Sent Monday…
…1:15-cv-07433-RWS Document 223-4 Filed 06/16/16 Page 1 of 2 EXHIBIT 4 Case 1:15-cv-07433-RWS Document 223-4 Filed 06/16/16 Page 2 of 2 -----Original Message----- From: Martin G…
…CIV- MARRA/JOHNSON, [ECF No. 291-1] (the “Federal Action”). 2. All photographs and video in the original, native format in which they were taken (not a paper copy) of you with Alan M. Dershowitz. 3. All photographs and video…
…1055. Neither Doe 1 nor Doe 2 requested Excerpts under the Protocol, the Original Parties submitted their own briefs, and the Court ruled that the first five motions, including portions of those documents mentioning Doe 1 or Doe 2, should…
…What do you think? See you then ... Take care, Jenna -----Original Messag e---- From: Sharon [email protected] Sent: Monday, 7 March 2011 6:22 PM To : Virginia Giuffre Page 1 of 69 GIUff RE00372 0 …
…this production. 6. All photographs or video containing any image of You and the following individuals. To the extent You have such photographs and video in their original, native format, please produce them in that format (not a paper copy…
…Importantly, Plaintiff’s original motion recognized this fact, seeking only to response Plaintiff on one subject: “Defendant should be ordered to sit for a follow-up deposition and directed to answer questions regarding her knowledge of alleged “adult” sexual activity…
…this deposition. 9 people who work at the house. 10 And I'm just going to state on the record that 1o BY MS. EZELL: 11 I wilJ keep that original. We will not attach it 11 Q. I understand…
…this deposition. 9 people who work at the house. 10 And I'm just going to state on the record that 1O BY MS. EZELL: 11 I will keep that original. We will not attach it 11 Q. I understand…
…this production. 6. All photographs or video containing any image of You and the following individuals. To the extent You have such photographs and video in their original, native format, please produce them in that format (not a paper copy)…
…Importantly, Plaintiff’s original motion recognized this fact, seeking only to response Plaintiff on one subject: “Defendant should be ordered to sit for a follow-up deposition and directed to answer questions regarding her knowledge of alleged “adult” sexual activity…
…this production. 6. All photographs or video containing any image of You and the following individuals. To the extent You have such photographs and video in their original, native format, please produce them in that format (not a paper copy)…
…it? 21 A Not in front of me, no. 22 Q Where is the original of the photograph 23 that has been widely circulated in the press of you 24 with Prince Andrew? 25 A I probably still have it…
…it? 21 A Not in front of me, no. 22 Q Where is the original of the photograph 23 that has been widely circulated in the press of you 24 with Prince Andrew? 25 A I probably still have it…
…it? 21 A Not in front of me, no. 22 Q Where is the original of the photograph 23 that has been widely circulated in the press of you 24 with Prince Andrew? 25 A I probably still have it…
…this production. 6. All photographs or video containing any image of You and the following individuals. To the extent You have such photographs and video in their original, native format, please produce them in that format (not a paper copy…
…If you have received this transmission in error, please notify the sender by telephone or return e-mail and delete the original transmission and its attachments without reading or saving it in any manner. Thank you. From: Sigrid McCawley [mailto…
…it? 21 A Not in front of me, no. 22 Q Where is the original of the photograph 23 that has been widely circulated in the press of you 24 with Prince Andrew? 25 A I probably still have it…
…it? 21 A Not in front of me, no. 22 Q Where is the original of the photograph 23 that has been widely circulated in the press of you 24 with Prince Andrew? 25 A I probably still have it…
…the other two depositions set for next week, of Maria Alessi set for Wednesday, June 1, 2016 and originally noticed on May 4, 2016 and Dave Rodgers set for Friday, June 3, 2016 and originally noticed on May 4, 2016…
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