gov.uscourts.nysd.447706.1218.32.pdf PDF
…1218-32 Filed 07/15/21 Page 2 of 5 INSTR # 113726458 Page 1 of 4, Recorded 06/01/2016 at 08:21 AM Broward County Commission, Deputy Clerk ERECORD …
…1218-32 Filed 07/15/21 Page 2 of 5 INSTR # 113726458 Page 1 of 4, Recorded 06/01/2016 at 08:21 AM Broward County Commission, Deputy Clerk ERECORD …
…Case 1:15-cv-07433-LAP Document 1328-21 Filed 01/05/24 Page 2 of 19 PALM BEACH COUNTY SHERIFF'S OFFICE CENTRAL RECORDS MPTIONS/CONFIDENTIAL …
…Statement Truth Sources March 16 Refusal to identify any health Privilege waived by Plaintiff when Plaintiff’s Responses & care providers or records because suing for $30 million of medical and Objections to First “pr…
… Case No.: 15-cv-07433-RWS v. GHISLAINE MAXWELL, NOTICE OF APPEARANCE Defendant. To the Clerk of Court and all parties of record: PLEASE TAKE NOTICE, that the undersigned hereby appears in the above-captioned action as counsel for Defendant…
…Morgan & Foreman, P.C., counsel of record for Defendant Ghislaine Maxwell (“Maxwell”) in this action. I respectfully submit this declaration in support of Ms. Maxwell’s Motions to Compel All Attorney-Client Communications and Attornty Work Product Placed At Issue…
…this case’s docket. See Dkt. 995 at 7 (“[A]ll of the documents in question are judicial documents, and accordingly the entire record should be unsealed, subject to redactions similar to what the Second Circuit applied.”). Giuffre objects, however…
…Background ........................................................................................................................ 2 I. THE DOCUMENTS AT ISSUE ARE NOT CONFIDENTIAL............................................. 4 A. Plaintiff’s Police Records Are Publicly Available from Law Enforcement Agencies in …
…Dear Judge Preska, Plaintiff is filing a revised version of docket entry 700 pursuant to the Court’s January 8, 2024, Order. See ECF No. 1333. Respectfully, /s/ Sigrid S. McCawley Sigrid S. McCawley …
…Doe 107 and Doe 171. This filing also excludes documents subject to the joint request for clarification submitted by the Original Parties on May 2, 2022. Respectfully, /s/ Sigrid S. McCawley Sigrid S. McCawley …
…September 2, 2020 order inviting the parties to comment on the Government of the United States Virgin Islands’ (the “USVI”) motion to intervene in the above-captioned action and for confidential access to judicial records and discovery documents. ECF No…
…[email protected], is to be removed as counsel of record within the ECF system and removed from the list of attorneys to receive electronic filings in this case. 10th day of _____________________, This _____ August 2022. _____________…
…revised version of docket entries 173-8, 180-1, 180-2, 235-10 pursuant to the Court’s January 4, 2024, Order. See ECF No. 1324. Respectfully, /s/ Sigrid S. McCawley Sigrid S. McCawley cc: Counsel of <…
…Dear Judge Preska, In response to the Court’s February 8, 2021, order, (ECF No. 1211), Plaintiff refiles ECF No. 1201-14 as an attachment hereto. Sincerely, /s/ Sigrid McCawley Sigrid S. McCawley, Esq. …
…Doe 107 and Doe 171. This filing also excludes documents subject to the joint request for clarification submitted by the Original Parties on May 2, 2022. Respectfully, /s/ Sigrid S. McCawley Sigrid S. McCawley …
…Judge Preska, Plaintiff is filing a revised version of docket entry 450-1 pursuant to the Court’s January 10, 2024, Order. See ECF No. 1333. Respectfully, /s/ Sigrid S. McCawley Sigrid S. McCawley …
…Maxwell’s present knowledge, information and belief. Ms. Maxwell, through her attorneys of record, have not completed the investigation of the facts relating to this case, have not completed discovery in this action, and have not completed preparation for trial…
…10022, before a certified court reporter or other officer duly authorized to administer oaths. The deposition will be recorded by stenographic means. Pursuant to Rule 45, Defendant Ghislaine Maxwell also hereby provides Notice of Service of Subpoena upon Sarah Ransome…
…firm Haddon, Morgan & Foreman, P.C., counsel of record for Defendant Ghislaine Maxwell (“Maxwell”) in this action. I respectfully submit this declaration in support of Ms. Maxwell’s Reply In Support of Her Objection to Unsealing Sealed Material. 2. Attached…
…54), and Rinaldo Rizzo (Doe 151). This filing excludes documents subject to the joint request for clarification submitted by the Original Parties on May 2, 2022. Respectfully, /s/ Sigrid S. McCawley Sigrid S. McCawley …
…has retired from the law firm of Holland & Knight. Co-counsel of record for Intervenors Christine Walz and Cynthia Gierhart of Holland & Knight will continue to represent Intervenors in this action. The withdrawal will not cause prejudice to any party…
Comments