gov.uscourts.nysd.447706.806.0.pdf PDF
…by and through her attorneys, hereby objects to the production of previously submitted for in camera review, and further states as follows: INTRODUCTION ARGUMENT 1 Case 1:1…
…by and through her attorneys, hereby objects to the production of previously submitted for in camera review, and further states as follows: INTRODUCTION ARGUMENT 1 Case 1:1…
…and there is, accordingly, no need to resort to previously video recorded deposition testimony. PRELIMINARY STATEMENT Defendant has designated for use in this trial various excerpts from Ms. Giuffre’s video recorded deposition in a state court case. It appears…
…Q (BY MS. MENNINGER) Dr. Olson, have you 44 17 17 been deposed previous to today? 18 18 A No. 19 …
…more than 9,000 documents and files containing your search terms, the only documents located not previously produced are 6 privileged documents which we will add to our log. We also located a number of privileged communications between our client…
…more than 9,000 documents and files containing your search terms, the only documents located not previously produced are 6 privileged documents which we will add to our log. We also located a number of privileged communications between our client…
…on the record on April 21, 2016, counsel for Ms. Maxwell have previously scheduled court appearances and other professional matters that preclude their attendance on April 28, 2016. At the direction of the Court, counsel for the parties conferred about…
…VAGINAL INTERCOURSE ON HER. I ASKED ABOUT SUSPECT NUMBER 1 FORCING ORAL SEX ON HER AS SHE PREVIOUSLY AND SHE SAID THAT HE FORCED THE HEAD OF HIS PENIS IN HER MOUTH. iii&lifl SAID THAT SHE TOLD THE SUSPECTS…
…sir. 10 A Yes. 11 Q Prior to that occasion , when was the previous 11 Q And did you have a discussion with them? 12 time that you were at the house? 12 A No. 13 A The day before…
…hereby certify 5 that I am a Registered Professional Reporter and 6 Notary Public within the State of Colorado; that 7 previous to the commencement of the examination, the 8 deponent was duly sworn to testify to the truth. 9 …
…Securities Litigation, 288 F.R.D. at 316 (holding no breach in duty to preserve where documents allegedly relevant to a previous litigation were not retained). In Pfizer, this Court explained: I conclude that Pfizer's duty to preserve in…
… 7 communicated with Maxwell since September 21st, 2015, 7 A. Fifth. 8 true? 8 Q. In previous depositions, you have stated 9 MR. PAGLIUCA: Object to form and 9 that you are a registered sex offender, true? 10 foundation. …
… 7 communicated with Maxwell since September 21st, 2015, 7 A. Fifth. 8 true? 8 Q. In previous depositions, you have stated 9 MR. PAGLIUCA: Object to form and 9 that you are a registered sex offender, true? 10 foundation. …
…Previously the company used Lotus Notes which were kept locally Case 1:15-cv-07433-LAPDocument Case 2:13-cv-06329-LDW-AKT Document 49 111-2 Filed 04/21/16 Filed 08/25/14 Page 3Page …
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