gov.uscourts.nysd.447706.1201.10_1.pdf PDF
…Decl., Ex. C at 312- 334 and Ex. D at 179- 89. Exhibit 13 was a document prepared by someone other than Ms. Maxwell, was not maintained by Ms. Maxwell and over which Ms. Maxwell had no control. Given the…
…Decl., Ex. C at 312- 334 and Ex. D at 179- 89. Exhibit 13 was a document prepared by someone other than Ms. Maxwell, was not maintained by Ms. Maxwell and over which Ms. Maxwell had no control. Given the…
…Decl., Ex. C at 312- 334 and Ex. D at 179- 89. Exhibit 13 was a document prepared by someone other than Ms. Maxwell, was not maintained by Ms. Maxwell and over which Ms. Maxwell had no control. Given the…
…fully prepared to defend the use of the evidence under the standard hearsay exceptions contained in Fed. R. Evid. 803 and 804. However, if the Court were to conclude that Ms. Giuffre’s evidence is hearsay not covered by these…
…SCHULTZ: Object to form. 6 THE WITNESS: I think there was a 7 non-prosecution agreement prepared between the 8 Feds and some kind of agreement was made. But, 9 yes, he did end up pleading guilty. 10 BY MR…
…SCHULTZ: Object to form. 6 THE WITNESS: I think there was a 7 non-prosecution agreement prepared between the 8 Feds and some kind of agreement was made. But, 9 yes, he did end up pleading guilty. 10 BY MR…
…She agreed and was taken to the house by had introduced her to Sarah and Epstein and brought her upstairs to a master bedroom and Master bathroom where a massage table was prepared and the proper oils were taken out…
…She agreed and was taken to the house by had introduced her to Sarah and Epstein and brought her upstairs to a master bedroom and Master bathroom where a massage table was prepared and the proper oils were taken out…
…on and I would be prepared. 24 Q. Who besides you back in 2005 lived at the 25 house full time; just you? (561) 832-7500 PROSE COURT REPORTING AGENCY, INC. (561) 832-7506 Electronically signed by cynthia hopkins (601…
…She agreed and was taken to the house by had introduced her to Sarah and Epstein and brought her upstairs to a master bedroom and Master bathroom where a massage table was prepared and the proper oils were taken out…
…that reference by name, Alan M. Dershowitz. 8. All notes of, or notes prepared for, any statements or interviews in which you referenced by name or other description, Alan M. Dershowitz. 9. All documents concerning any communications by you or…
…MR. WILLITS: Form. 20 BY MR. CRITTON: 20 THE WITNESS : I use my age together. 21 Q. Mr. Rodriguez, looking at Exhibit 9 which 21 BY MR. CRITTON: 22 is the …
…2011). Specifically, Rule 33.3 provides: (a) Unless otherwise ordered by the Court, at the commencement of discovery, interrogatories will be restricted to those seeking names of witnesses with knowledge of information relevant to the subject matter of the action…
…2009 14 10:12 a.m. - 3:45 p.m. 15 16 2139 Palm Beach Lakes Boulevard 17 West Palm Beach, Florida 33401 …
…And I guess by the way that you're 20 A She mentioned that if there are guests, we 20 explaining it, if Mr. Epstein was in town for a longer 21 have to, like, you know, prepare the room…
…OF • LOUELLA RABUYO VOLUME! October, 20, 2009 10:10 a.m. 515 N. Flagler Drive …
…no explanation 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…
…no explanation 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…
… Case No. 08-CV-80993 8 7 9 --- Plaintiff, 10 APPEARANCES: 8 11 Vs …
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