gov.uscourts.nysd.447706.363.6.pdf PDF
…and CASE NO. CACE 15-000072 PAUL G. CASSELL, Plaintiffs, v. ALAN DERSHOWITZ, Defendant. / MOTION TO QUASH OR FOR PROTECTIVE ORDER REGARDING SUBPOENA SERVED ON…
…and CASE NO. CACE 15-000072 PAUL G. CASSELL, Plaintiffs, v. ALAN DERSHOWITZ, Defendant. / MOTION TO QUASH OR FOR PROTECTIVE ORDER REGARDING SUBPOENA SERVED ON…
…McCawley; Jeff Pagliuca; Brad Edwards; Paul Cassell ([email protected]) Subject: RE: Conferral regarding forensic search Follow Up Flag: Follow Up Flag Status: Flagged Laura, Please see my additions in-line, in black, below to your email sent yesterday…
…264-1). Yet, during her second deposition, Defendant again refused to answer numerous questions regarding sexual activity related to Jeffrey Epstein in contravention of this Court’s Order. Accordingly, the Court should direct her to fully answer the relevant questions…
…Laura, I write pursuant to this Court' s June 20, 2016, Order regarding search and production from Defendant's electronic media. Accordingly, please use IMAP Capable software (or a functional equivalent) to capture all of the sent/received emails from…
…264-1). Yet, during her second deposition, Defendant again refused to answer numerous questions regarding sexual activity related to Jeffrey Epstein in contravention of this Court’s Order. Accordingly, the Court should direct her to fully answer the relevant questions…
…264-1). Yet, during her second deposition, Defendant again refused to answer numerous questions regarding sexual activity related to Jeffrey Epstein in contravention of this Court’s Order. Accordingly, the Court should direct her to fully answer the relevant questions…
…particular, Ms. Giuffre seeks to ask the Defendant questions regarding her participation in or knowledge of sexual activities connected with Jeffrey Epstein’s sexual abuse of females. Such questions are entirely appropriate in the discovery phase of this case, particularly…
…New York Virginia L. Giuffre, Plaintiff, Case No.: 15-cv-07433-RWS v. Ghislaine Maxwell, Defendant. ________________________________/ PLAINTIFF’S RESPONSE IN OPPOSITION TO DEFENDANT’S MOTION FOR PROTECTIVE ORDER REGARDING FINANCIAL INFORMATION Plaintiff, Virgin…
…for information related to your recovery as a victim of . The process may take some time but it is the appropriate method for you to obtain any possible records regarding your recovery. Hope this helps. Best wishes, Jason -----Original Message---…
…particular, Ms. Giuffre seeks to ask the Defendant questions regarding her participation in or knowledge of sexual activities connected with Jeffrey Epstein’s sexual abuse of females. Such questions are entirely appropriate in the discovery phase of this case, particularly…
…New York Virginia L. Giuffre, Plaintiff, Case No.: 15-cv-07433-RWS v. Ghislaine Maxwell, Defendant. ________________________________/ PLAINTIFF’S RESPONSE IN OPPOSITION TO DEFENDANT’S MOTION FOR PROTECTIVE ORDER REGARDING FINANCIAL INFORMATION Plaintiff, Virgin…
…264-1). Yet, during her second deposition, Defendant again refused to answer numerous questions regarding sexual activity related to Jeffrey Epstein in contravention of this Court’s Order. Accordingly, the Court should direct her to fully answer the relevant questions…
…a , namely, of defending against allegations by and on behalf of Ms. Giuffre regarding alleged abuse. 5. During the course of my representation , I have on various occasions exchanged information via ema…
…Laura, I write pursuant to this Court's June 20, 2016, Order regarding search and production from Defendant's electronic media. Accordingly, please use IMAP Capable software (or a functional equivalent) to capture all of the sent/received emails from…
…particular, Ms. Giuffre seeks to ask the Defendant questions regarding her participation in or knowledge of sexual activities connected with Jeffrey Epstein’s sexual abuse of females. Such questions are entirely appropriate in the discovery phase of this case, particularly…
…v. Maxwell, Case no. 15-cv-07433-RWS – Regarding Pro Hac Vice Motion of Bradley J. Edwards Dear Judge Sweet: This letter is in response to the Court’s direction that additional material be submitted regarding Bradley J. Edwards, Esq…
…264-1). Yet, during her second deposition, Defendant again refused to answer numerous questions regarding sexual activity related to Jeffrey Epstein in contravention of this Court’s Order. Accordingly, the Court should direct her to fully answer the relevant questions…
…Schiller & Flexner LLP 401 East Las Olas Boulevard, Suite 1200 Miami, Florida 33301 Tel: (954) 356-0011 Email: [email protected] Plaintiff - information regarding Defendant, Ghislaine Maxwell’s conduct that is the subject of this action …
…11 VII. Doe 183’s Objection Should Be Overruled. ........................................................ 12 A. Doe 183’s Arguments Regarding Judicial Documents............................. 12 B. Doe 183’s Purported Countervailing Interests .....................…
…Ms. Giuffre received a letter from Mr. Pagliuca, Defendant’s counsel, stating that Ms. Giuffre had not provided “any good faith basis for the assertion” regarding Ms. Giuffre’s confidentiality designation. See McCawley Decl. at Exhibit 1, 1 Notably, it…
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