gov.uscourts.nysd.447706.1219.10.pdf PDF
EXHIBIT A United States District Court For The Southern District of New York Giuffre v. Ma…
EXHIBIT A United States District Court For The Southern District of New York Giuffre v. Ma…
Exhibit 4 (File Under Seal) United States District Court For The Southern District of New York …
…The Southern District of New York Giuffre v. Maxwell 15-cv-07433-RWS ***Per Local Rule 26.2, the following privileges are asserted pursuant to British law, Colorado law and NY law. DATE D…
…1:15-cv-07433-LAP Document 156-8 Filed 05/20/16 Page 2 of 5 VRS Communications Log Email Sent Privilege Pag…
…156-6 Filed 05/20/16 Page 2 of 3 Pre‐Existing Factual Documents Log Email Sent Privilege Page Doc ID Date Email…
…L. Giuffre, Plaintiff, Case No.: 15-cv-07433-RWS v. Ghislaine Maxwell, Defendant. ________________________________/ PLAINTIFF’S MOTION TO COMPEL THE PRODUCTION OF DOCUMENTS SUBJECT TO IMPROPER OBJECTION AND IMPROPER CLAIM OF PRIVILEGE Plaintiff Virginia Giu…
…Giuffre, Plaintiff, Case No.: 15-cv-07433-RWS v. Ghislaine Maxwell, Defendant. ______________________________/ DECLARATION OF SIGRID S. McCAWLEY IN SUPPORT OF PLAINTIFF VIRGINIA GIUFFRE’S BRIEF IN SUPPORT OF THE PRIVILEGE CLAIMED FOR HER IN-CAMERA SU…
…Motion to Compel are at once novel (Plaintiff asserts, for example, a “public interest privilege” which is unavailable to individual, non-governmental litigants) and mundane (Plaintiff completely refused to answer interrogatories, even though they comply with the Federal and Local…
…production on February 8, 2016. All documents identified as responsive were reviewed by counsel and either produced or placed on a privilege log. The First Responses were the subject of litigation in March and April 2016. This Court limited the…
…AND HARASS THIS NON-PARTY........................................................18 IV. NON-PARTY MS. RANSOME SHOULD NOT BE FORCED TO INCUR THE BURDEN AND EXPENSE OF PRODUCING A PRIVILEGE LOG..............................20 V. NON-PARTY MS. RANSOME HAS PRODUCED DOCUMENTS RELEVANT TO JANE DOE 43…
…of the named recipient(s) and may contain information that, among other protections, is the subject of attorney-client privilege, attorney work product or exempt from disclosure under applicable law. If the reader of this electronic message is not the…
…AND HARASS THIS NON-PARTY........................................................18 IV. NON-PARTY MS. RANSOME SHOULD NOT BE FORCED TO INCUR THE BURDEN AND EXPENSE OF PRODUCING A PRIVILEGE LOG..............................20 V. NON-PARTY MS. RANSOME HAS PRODUCED DOCUMENTS RELEVANT TO JANE DOE 43…
…Ms. Maxwell has access. Based on those searches, not one single additional responsive and non-privileged document has been identified. Ms. Maxwell’s original search for responsive documents was complete at the time it was conducted in February 2016. The…
…au Suite lg 154-156 Pacific Highway TUGGERAH 2259 PO Box 3435, TUGGERAH 2259 This email message and any accompanying attachments may contain information this is confidential and is subject to legal privilege. If you are not the intended recipient…
…The Southern District of New York Giuffre v. Maxwell 15- cv-07433-RWS ***Per Local Rule 26.2, the following privileges are asserted pursuant to British law, Colorado law and NY law. TAB …
…CONFERRAL .................................................................................................. 1 INTRODUCTION .......................................................................................................................... 1 BACKGROUND .......................................................................................…
…03/24 Page 2 of 3 United States District Court For The Southern District of New York Gi…
…The Southern District of New York Giuffre v. Maxwell 15-cv-07433-RWS ***Per Local Rule 26.2, the following privileges are asserted pursuant to British law, Colorado law and NY law. DATE D…
…03/24 Page 2 of 3 United States District Court For The Southern District of New York Gi…
…Ms. Maxwell has access. Based on those searches, not one single additional responsive and non-privileged document has been identified. Ms. Maxwell’s original search for responsive documents was complete at the time it was conducted in February 2016. The…
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