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 …
…Defendant. / THE GOVERNMENT OF THE UNITED STATES VIRGIN ISLANDS’ MEMORANDUM OF LAW IN SUPPORT OF EX PARTE MOTION TO INTERVENE AND FOR CONFIDENTIAL ACCESS TO JUDICIAL RECORDS AND DISCOVERY DOCUMENTS The Government of the United States Virgin Islands (the “USVI…
…want, for the record to refer to the events that have taken place in the last three weeks. And I just wish to reiterate and to reaffirm the statements which have already been made on my behalf by Buckingham Palace…
…at 2. The Reality: Courts routinely seal records concerning underage victims – well beyond replacing their names with initials – and victims do not forego their rights to privacy merely because they have played a role in a civil or criminal case…
…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…
…Access .............................................................................. 10 2.1.2 The First Amendment Compels Access ................................................................ 12 2.2 Standard for Sealing a Court Record ........................................................................…
…above-captioned action pursuant to Rule 24 of the Federal Rules of Civil Procedure and (2) should intervention be permitted, for confidential access to sealed judicial records and discovery documents. (See Notice of Ex Parte Motion to Intervene and for …
…Filed 01/04/24 Page 2 of 30 TABLE OF CONTENTS Page TABLE OF AUTHORTIES .....................................................................................…
…IN SUPPORT OF EX PARTE MOTION TO INTERVENE AND FOR CONFIDENTIAL ACCESS TO JUDICIAL RECORDS AND DISCOVERY DOCUMENTS Case 1:15-cv-07433-LAP Document 1122 Filed 09/24/20 Page 2 of 13 The Government of the United…
…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…
…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…
…and Foreman. P.C., counsel of record for Defendant Ghislaine Maxwell (“Maxwell”) in this action. I respectfully submit this declaration in support of Maxwell’s Motion to Dismiss the Complaint filed in this action by Plaintiff Virginia L. Giuffre. 2. …
…v. 15-cv-07433-LAP GHISLAINE MAXWELL, Defendant. -----------------------------------------------------X MS. MAXWELL’S OBJECTION TO THE GOVERNMENT OF THE UNITED STATES VIRGIN ISLANDS’ EX PARTE MOTION TO …
…Background ........................................................................................................................ 2 I. THE DOCUMENTS AT ISSUE ARE NOT CONFIDENTIAL............................................. 4 A. Plaintiff’s Police Records Are Publicly Available from Law Enforcement Agencies in …
…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…
…licensed in the State of New York and admitted to practice before this Court. I am counsel of record for proposed intervenor Michael Cernovich in this matter, and I respectfully submit this Declaration in support the Reply to Plaintiff’s…
…Hi Jenna, My suggestion is for you to do a Freedom of Information Act request (www.foia.gov) for the information you are looking for because I am not able to release information (should there be any) from FBI records…
…Abuse” Does Not Warrant Continued Sealing. ................. 9 C. The Protective Order Does Not Warrant Continued Sealing. ................................... 10 D. The “Abuse of Court Records and Files” Does Not Warrant Continued Sealing. ... 12 E. “Annoyance, Embarrassment, Oppression, a…
…2016 Declaration, Mr. Cassell, on his client’s behalf, has put into the record a declaration replete with factual inaccuracies, omissions, and flat-out misrepresentations. Among other things, he misstates important elements of both the Crime Victims’ Rights Act lawsuit…
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