gov.uscourts.nysd.447706.1328.5.pdf PDF
…Page 1 of 45 EXHIBIT B Case 1:15-cv-07433-LAP Document 1328-5 Filed 01/05/24 Page 2 of 45 This document is CONFIDENTIAL under the Court’s Protective Order (DE 62) United States District Court …
…Page 1 of 45 EXHIBIT B Case 1:15-cv-07433-LAP Document 1328-5 Filed 01/05/24 Page 2 of 45 This document is CONFIDENTIAL under the Court’s Protective Order (DE 62) United States District Court …
…Defendant. ________________________________/ REPLY IN SUPPORT OF NON-PARTY’S MOTION FOR PROTECTIVE ORDER AND OPPOSITION TO DEFENDANT’S COMBINED MOTION TO COMPEL NON-PARTY WITNESS TO PRODUCE DOCUMENTS AND RESPOND TO DEPOSITION Case 1:15-cv-07433-LAP Document 1332…
…15-cv-07433-RWS v. Ghislaine Maxwell, Defendant. ________________________________/ REPLY IN SUPPORT OF PLAINTIFF’S MOTION FOR PROTECTIVE ORDER AND TO DIRECT THE DEFENDANT TO DISCLOSE ALL INDIVIDUALS TO WHOM DEFENDANT HAS DISSIMINATED CONFIDENTIAL INFORMATION (DE 335) …
…that the Defendant may be selling her assets in New York and transferring the money outside the jurisdiction. Accordingly, Defendant’s motion for a protective order should be denied.1 I. PRELIMINARY STATEMENT As recounted by Defendant (DE 370 at…
…Defendant. MEMORANDUM OF LAW IN SUPPORT OF PROPOSED INTERVENOR ALAN M. DERSHOWITZ’S MOTION FOR PERMISSIVE INTERVENTION AND UNSEALING OF JUDICIAL DOCUMENTS, OR IN THE ALTERNATIVE MODIFICATION OF PROTECTIVE ORDER Emery Celli Brinckerhoff & Abady LLP …
…No.: 15-cv-07433-RWS v. Ghislaine Maxwell, Defendant. ________________________________/ JOINT RESPONSE IN OPPOSITION TO PROPOSED INTERVENORS’ MOTION FOR LEAVE TO INTERVENE AND TO MODIFY THE PROTECTIVE ORDER Non-Party Jane Doe 43 in the captioned matter Jane Doe 43 v…
…320, & 335 Case 1:15-cv-07433-LAP Document 1156 Filed 11/19/20 Page 2 of 19 TABLE OF CONTENTS PRELIMINARY STATEMENT .................................................................................................1 ARGUMENT ...........................................................…
…Alternatively, to Strike Plaintiff’s Misrepresentations of Fact from her Reply In Support of Motion For Protective Order And To Direct The Defendant To Disclose All Individuals To Whom Defendant Has Disseminated (sic) Confidential Information (Doc. #388), and states as…
…Defendant. MEMORANDUM OF LAW IN SUPPORT OF PROPOSED INTERVENOR ALAN M. DERSHOWITZ’S MOTION FOR PERMISSIVE INTERVENTION AND UNSEALING OF JUDICIAL DOCUMENTS, OR IN THE ALTERNATIVE MODIFICATION OF PROTECTIVE ORDER Emery Celli Brinckerhoff & Abady LLP …
…before it a request from a non-party (Alan Dershowitz) to intervene in this case for the purpose of extracting and publicizing several emails and a draft manuscript from the Protective Order that has long been entered in this case…
…Alternatively, to Strike Plaintiff’s Misrepresentations of Fact from her Reply In Support of Motion For Protective Order And To Direct The Defendant To Disclose All Individuals To Whom Defendant Has Disseminated (sic) Confidential Information (Doc. #388), and states as…
…Defendant. ________________________________/ REPLY IN SUPPORT OF NON-PARTY’S MOTION FOR PROTECTIVE ORDER AND OPPOSITION TO DEFENDANT’S COMBINED MOTION TO COMPEL NON-PARTY WITNESS TO PRODUCE DOCUMENTS AND RESPOND TO DEPOSITION Case 1:15-cv-07433-LAP Document 1332…
…permissive intervention under Federal Rule of Civil Procedure 24(b), and to unseal certain judicial documents, or alternatively to modify the stipulated Protective Order in this. The documents I am seeking relate directly to me. The plaintiff in this case…
…at *5 (S.D.N.Y. Sept. 27, 2006). Discovery motions— including motions to compel or for protective orders—are therefore judicial documents, as are any accompanying declarations, affidavits, and exhibits attached thereto. See Alexander Interactive, 3 Case 1…
…Defendant. MEMORANDUM OF LAW IN SUPPORT OF PROPOSED INTERVENOR ALAN M. DERSHOWITZ’S MOTION FOR PERMISSIVE INTERVENTION AND UNSEALING OF JUDICIAL DOCUMENTS, OR IN THE ALTERNATIVE MODIFICATION OF PROTECTIVE ORDER Emery Celli Brinckerhoff & Abady LLP …
…by the prior filings with this Court and the Second Circuit, the affected persons include non-parties who provided discovery subject to the understanding that such responses would be maintained as confidential under the terms of the Protective Order. See…
…(Doc. 1044).1 Nonparties on the list include (a) persons who produced or answered discovery based on the understanding that such discovery would be subject to the Protective Order, (b) persons who are identified as allegedly having engaged in sex…
…33); Plaintiff’s Motion to Compel Documents Subject to Improper Objections (DE 35); Plaintiff’s Response in Opposition to Defendant’s Motion for a Protective Order Regarding Defendant’s Deposition (DE 70); Plaintiff’s Motion for Forensic Examination (DE 96)…
…of record in the case. We disagree with 17 that interpretation. I wouldn't have agreed to a protective 18 order knowing that they were already working on the case. If 19 that were the situation, as your Honor can…
…As for plaintiff Giuffre, she eagerly agreed to a protective order in this case so that she could wield the judicial machinery as an expansive civil grand jury to extract and coerce witnesses to reveal private, sensitive and confidential information…