gov.uscourts.nysd.447706.1328.22.pdf PDF
…1:15-cv-07433-LAP Document 1328-22 Filed 01/05/24 Page 2 of 22 PALM BEACH COUNTY SHERIFF'S OFFICE CENTRAL RECORDS MPTIONS/CONFIDENTIAL r …
…1:15-cv-07433-LAP Document 1328-22 Filed 01/05/24 Page 2 of 22 PALM BEACH COUNTY SHERIFF'S OFFICE CENTRAL RECORDS MPTIONS/CONFIDENTIAL r …
…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 …
…Document 1256-16 Filed 05/03/22 Page 2 of 30 TABLE OF CONTENTS Page TABLE OF AUTHORTIES ...................................................................…
…2 I. PLAINTIFF’S PRODUCTION OF KEY DOCUMENTS AFTER HER DEPOSITION NECESSITATES ADDITIONAL EXAMINATION ............................................................. 2 A. Plaintiff failed to identify her health care providers and produce their records prior to her deposition, despite this Court’s order …
…Filed 01/04/24 Page 2 of 30 TABLE OF CONTENTS Page TABLE OF AUTHORTIES .....................................................................................…
…26(a) 1 Due to inadvertence, one of the medical providers Ms. Giuffre disclosed to Defendant, and from whom she diligently sought medical records as far back as March of this year, Dr. Mona Devanesan, was left off of Ms…
…filed under seal in this matter (the “Sealed Materials”) to determine whether they, in the first instance, constitute judicial records and, if so, whether and to what extent such records may be unsealed without infringing upon the privacy and reputational…
…McCawley, Esq. cc: Counsel of Record (via ECF) Case 1:15-cv-07433-LAP Document 1158-1 Filed 11/20/20 Page 1 of 8 Page 1 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK CASE NO. 15-CV…
…26(a) - 1 Due to inadvertence, one of the medical providers Ms. Giuffre disclosed to Defendant, and - from whom she diligently sought medical records as far back as March of this year, Dr. Mona Devanesan, was left off of Ms…
…2 I. PLAINTIFF’S PRODUCTION OF KEY DOCUMENTS AFTER HER DEPOSITION NECESSITATES ADDITIONAL EXAMINATION ............................................................. 2 A. Plaintiff failed to identify her health care providers and produce their records prior to her deposition, despite this Court’s order …
…pro hac vice motions. My client, Virginia Giuffre, 15 would like to have counsel of record in the case be added as 16 Professor Paul Cassell and Brad Edwards. We have presented 17 those pro hacs to your Honor. This…
…m asking about any sexual 9 act , touching of the breast - - did you ever 10 see - - can you read back the question? 11 (Record read.) 12 A. I ' m not addressing any questions 13 about consensual adult sex. If you…
…intercourse. I 'm asking about any sexual 9 act , touching of the breast -- did you ever 10 see -- can you read back the question? 11 (Record read. ) 12 A. I'm not addressing any questions 13 about consensual adult sex…
…ask you a question they will 19 LAURA A. MENNINGER, ESQUIRE 21 record what you say in response to that. So 20 21 Also Present: 22 we have to be mindful that in order for them 22 James Christe, videographer …
…Id. The Court deferred ruling on whether the two victims would be entitled to relief, pending development of a fuller evidentiary record. Id. Two other victims, who are in many respects similarly situated to the current victims, now wish to…
…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…
…22 James Christe, videographer 23 24 25 Case 1:15-cv-07433-LAP Document 1307-5 Filed 08/25/23 Page 4 of 465 Page 3 1 2 THE VIDEOGRAPHER: We are now on 3 the record and recording. This…
…MENNINGER: Laura manager on behalf of 17 gelen Maxwell, the Defendant. She is not here. 18 (Off the record at 9:01 a.m.). 19 A Yes. 20 MS. MENNINGER: 21 Q Good morning? 22 A Good morning. 23 Q…
…22 James Christe, videographer 23 24 25 Case 1:15-cv-07433-LAP Document 1335-1 Filed 01/09/24 Page 4 of 465 Page 3 1 2 THE VIDEOGRAPHER: We are now on 3 the record and recording. This…
…relief as to Doe 28). Based on the information available to us, Doe 171’s requested relief pertains to at most 13 of the of the 29 documents that this Court unsealed, identified as the “Confidential Records”—namely, Doc. Nos…
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