gov.uscourts.nysd.447706.991.1.pdf PDF
…Giuffre. DECLARATION of Sigrid McCawley in Support re: 335 MOTION for Protective Order and Motion for the Court to Motion to Compel Direct Defendant to Disclose All Individuals to whom…
…Giuffre. DECLARATION of Sigrid McCawley in Support re: 335 MOTION for Protective Order and Motion for the Court to Motion to Compel Direct Defendant to Disclose All Individuals to whom…
…Plaintiff, : v. : No. 15-cv-07433-RWS : GHISLAINE MAXWELL, : : Defendant. : MEMORANDUM OF LAW IN SUPPORT OF MOTION TO QUASH (OR …
…5 Exhibit E, # 6 Exhibit F) Motion to Compel- Judicial MOTION for Protective Order and Motion for the Court to Direct Defendant to Disclose All Document 08/08/2016 335 …
…investigators, support personnel, and secretarial staff involved in the representation of the defendants in this case), all of whom are nonetheless bound by this Protective Order. 3. To the extent that Discovery is disseminated to Defense Experts/Advisors, Other Authorized…
… (2) Ms. Maxwell’s reliance on the confidentiality assurances of the protective order outweighs the public’s interest in this portion of her testimony; and (3) because public release of this section of testimony will make it more difficult for…
…the Court rules on whether or not Ms. Giuffre’s other lawyers, Paul Cassell and Bradley Edwards, are “actively working on this case” under the terms of the Protective Order, such that they are entitled to receive confidential information. Ms…
…MILLER: Your Honor, we move to intervene and for 9 a modification of the protective order issued in this case. 10 There has been no objection made to our motion to 11 intervene, no objection to our motion to modify…
…Response in Opposition to Defendant’s Motion for a Protective Order Regarding Defendant’s Deposition (DE 70) - Defendant’s Motion Denied (DE 106). Plaintiff’s Motion for Forensic Examination (DE 96) - Granted in part (June 20, 2016 Sealed Order). …
…s Response in Opposition to Defendant’s Motion for a Protective Order Regarding Defendant’s Deposition (DE 70) - Defendant’s Motion Denied (DE 106); Plaintiff’s Motion for Forensic Examination (DE 96) - Granted in part (June 20, 2016 Sealed Order)…
…This Court’s Order ............................................................................................23 5. Information About Ms. Giuffre’s Sexual Abuse is Protected by Florida Statutes ..................................................…
…at 20-21), while at the same time, she and her joint defense partner both seek to strip away Ms. Giuffre’s privacy by revealing confidential documents under the Protective Order. However, 5 Declaration of Mary E. Borja (DE 387…
…Maxwell has issued subpoena for records from all of these accounts. Plaintiff had filed a motion for protective order, and thus is still trying to prevent access to relevant discovery. 7 Case 1:15-cv-07433-LAP Document 230…
…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)…
…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)…
…Giuffre ("Giuffre" or the "Giuffre") alleging defamation. Upon the facts and conclusions set forth below, the motion is denied. The contested facts derived from discovery subject to the Protective Order of March 17, 2016 have been redacted. I. Prior Proceedings …
…third-party technician (not conducted by Ms. Giuffre or her agents), who would be bound by the terms of this Court’s Protective Order or any other strictures necessary to maintain Defendant’s privacy. Therefore, this argument is without merit. …
…not in li eu o f, hard-copies. This matter being sub j ect to a Protective Order , the parties are directed to meet and confer regarding redactions to this Opin i on cons i stent with that Order. The …
…party. Without waiving such objections, a copy of non-party Sarah Ransome’s retainer agreement is attached hereto as RANSOME_000016, which should be treated as Confidential pursuant to the parties’ Protective Order. Ms. Ransome reserves the right to supplement…
…Epstein or his associates, or (b) from the time frame 2006-07. Any privacy concerns can be alleviated based on the protective order entered in this case. F. Request 18: Driver’s License Response to Request No. 18 promised that…
…party. Without waiving such objections, a copy of non-party Sarah Ransome’s retainer agreement is attached hereto as RANSOME_000016, which should be treated as Confidential pursuant to the parties’ Protective Order. Ms. Ransome reserves the right to supplement…