gov.uscourts.nysd.447706.561.0.pdf PDF
…participate, the Rules of Civil Procedure restrict the circumstances in which depositions taken in other cases can be used at a 4 Case 1:15-cv-07433-LAP Document 561 Filed 01/27/17 Page 9 of 22 trial…
…participate, the Rules of Civil Procedure restrict the circumstances in which depositions taken in other cases can be used at a 4 Case 1:15-cv-07433-LAP Document 561 Filed 01/27/17 Page 9 of 22 trial…
…corresponding 8 In another glaring omission from Plaintiff’s submissions to the Court on the topic of the service of Mr. Epstein, Plaintiff’s own counsel have strenuously litigated in other cases that Mr. Epstein is a resident of Florida…
…corresponding 8 In another glaring omission from Plaintiff’s submissions to the Court on the topic of the service of Mr. Epstein, Plaintiff’s own counsel have strenuously litigated in other cases that Mr. Epstein is a resident of Florida…
…corresponding 8 In another glaring omission from Plaintiff’s submissions to the Court on the topic of the service of Mr. Epstein, Plaintiff’s own counsel have strenuously litigated in other cases that Mr. Epstein is a resident of Florida…
…Zach, Brockman, Legal Assistants and Other Professionals. Plaintiff is withholding “Approx. 1.3 kilobytes [of documents] overlapping with other cases” based on the categorically logged entries in Paragraph 1. According to her most recent interrogatory response, Plaintiff has been represented…
…corresponding 8 In another glaring omission from Plaintiff’s submissions to the Court on the topic of the service of Mr. Epstein, Plaintiff’s own counsel have strenuously litigated in other cases that Mr. Epstein is a resident of Florida…
…and thus counter to law. Courts in this Circuit strongly disfavor attempts by collateral litigants to modify protective orders entered in other cases. The Second Circuit has held that where there has been reasonable reliance by a party or non…
…Zach, Brockman, Legal Assistants and Other Professionals. Plaintiff is withholding “Approx. 1.3 kilobytes [of documents] overlapping with other cases” based on the categorically logged entries in Paragraph 1. According to her most recent interrogatory response, Plaintiff has been represented…
…Edwards to comply with the Protective Order’s restrictions. Professor Cassell and Mr. Edwards have worked with confidentiality orders in many other cases, including cases involving sexual assault victims, and they are confident that compliance here will not be a…
…6 v. Jeffrey Epstein, Case No. 08-CV-80994, on August 7, 2009, as well as other civil cases brought by other victims of Epstein. See McCawley Dec. at Exhibit 3, Rodriguez Dep. Tr. at 271. As the case caption…
…Pansy, 23 F.3d at 782). The Amodeo I court cited two other Third Circuit cases confirming that circuit’s litmus-test approach to identifying judicial documents: Bank of America National Trust and Savings Association v. Hotel Rittenhouse Association, 800…
…citing Pansy, 23 F.3d at 782). The Amodeo I court cited two other Third Circuit cases confirming that circuit’s litmus-test approach to identifying judicial documents: Bank of America National Trust and Savings Association v. Hotel Rittenhouse Association…
…Ms. Giuffre’s Confidential Communications With Her Attorneys Were Never “At Issue” in the Florida Dershowitz Litigation....................................................................19 D. Defendant Has Not Met the Other Requirements for Showing Waiver of Attorney- Cli…
…R. Civ. P., which provides “a party may serve on any other party no more than 25 interrogatories, including all discrete subparts” – in that Defendant has served a total of 59 interrogatories in this case, including subparts, in violation of…
…Friday night news dump on our hands. Case 1:15-cv-07433-LAP Document 363-11 Filed 08/11/16 Page 3 of 40 The defamation case filed against Dershowitz by two other prominent members of the legal community…
…his attorney accept service of the subpoena but, in so doing, reserved his rights to move to quash the subpoena on any and all grounds. 2 As to other questions that the parties sought to compel Mr. Epstein to answer…
…515 North Flagler Drive, Suite 400 Plaintiff, West Palm Beach, Florida 33401 -vs- 4 Phone: 561.842 .2820 JEFFREY EPSTEIN, …
…as to why her five (or six) attorneys are unable to prepare a privilege log as to their communications with her, or any other documents withheld as privileged. The cases cited by Plaintiff do not support her position. For example…
…OTHER DISCOVERY ISSUES NOT YET RESOLVED ......................................................15 V. PLAINTIFF’S DISCOVERY TACTICS DESIGNED TO AMBUSH DEFENDANT AT HER DEPOSITION .................................................................................................................15 VI. PLAINTIFF WILL SUFFER NO H…
…Attorneys Were Never “At Issue” in the Florida Dershowitz Litigation. ................................................................... 19 D. Defendant Has Not Met the Other Requirements for Showing Waiver of Attorney- Client Privilege...........................…
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