gov.uscourts.nysd.447706.1219.10.pdf PDF
…following privileges are asserted pursuant to British law, Colorado law and NY law. Log ID DATE DOC. BATES FROM TO CC RELATIONSHIP SUBJECT PRIVILEGE TYPE # …
…following privileges are asserted pursuant to British law, Colorado law and NY law. Log ID DATE DOC. BATES FROM TO CC RELATIONSHIP SUBJECT PRIVILEGE TYPE # …
…following privileges are asserted pursuant to British law, Colorado law and NY law. Log ID DATE DOC. BATES FROM TO CC RELATIONSHIP SUBJECT PRIVILEGE TYPE # …
…the following privileges are asserted pursuant to British law, Colorado law and NY law. DATE DOC. FROM TO CC RELATIONSHIP SUBJECT MATTER PRIVILEGE TYPE OF PART…
…following privileges are asserted pursuant to British law, Colorado law and NY law. Log ID DATE DOC. BATES FROM TO CC RELATIONSHIP SUBJECT PRIVILEGE TYPE # …
…the following privileges are asserted pursuant to British law, Colorado law and NY law. DATE DOC. FROM TO CC RELATIONSHIP SUBJECT MATTER PRIVILEGE TYPE OF PART…
…following privileges are asserted pursuant to British law, Colorado law and NY law. Log ID DATE DOC. BATES FROM TO CC RELATIONSHIP SUBJECT PRIVILEGE TYPE # …
…TO SHOW THAT CHURCHER WAS NOT ENGAGED IN PROTECTED NEWSGATHERING ACTIVITY ........................ 3 A. The “Primary Relationship” Between Churcher and Plaintiff Was Reporter and Source ...................................................................…
…the following privileges are asserted pursuant to British law, Colorado law and NY law. DATE DOC. FROM TO CC RELATIONSHIP SUBJECT MATTER PRIVILEGE TYPE OF PART…
…I can't even see what life after press he'll even looks like - statements that don't address all just lead to more questions .. what is my relationship to clinton ? Andrew on and on. Let's rest till monday…
…sound and obvious reason for unsealing, which is that numerous public sources, including a federal complaint she herself voluntarily filed, have already identified her, and described her relationship with Jeffrey Epstein. On these bases alone, Doe 171’s motion fails…
… Case 1:15-cv-07433-RWS Document 34-1 Filed 02/26/16 Page 3 of 6 TAB DATE DOC. FROM TO CC RELATIONSHI SUBJECT PRIVILEGE TYPE P MATTER 15. …
…Mr. 8 Epstein? 9 A. I started working for him at some 10 point in 1992 and the nature of my work 11 relationship with him changed over time so 12 from around 2002, 2003, the work lessened 13 considerably…
…TO SHOW THAT CHURCHER WAS NOT ENGAGED IN PROTECTED NEWSGATHERING ACTIVITY ........................ 3 A. The “Primary Relationship” Between Churcher and Plaintiff Was Reporter and Source ...................................................................…
… ("Barden"), Ross Gow ("Gow"), Brian Basham ("Basham"), and- facts that follow summarize Defendant's assertions regar ding her relationship to each of these individuals. …
…Cernovich’s efforts report on Maxwell and, by extension, Epstein.3 It appears that Plaintiff’s Opposition is rooted in fabricated tales about Mr. Cernovich’s relationship with Prof. Alan Dershowitz. Giuffre correctly identifies Prof. Dershowitz as but one of…
…full seven hours. Ms. Maxwell did not assert any privilege against self -incrimination and was questioned extensively about, among other things: her relationship with Jeffrey Epstein, her knowledge of “sexual trafficking”, sex with minors, non-consensual sex, sex involving the…
…Intervenors Jeffrey Epstein ("Epstein") and Lesley Groff ("Groff") requested unsealing of numerous documents concerning the alleged relationship between Epstein and Jane Doe 43--a witness who was deposed in this action and who brought an action against Epstein and Groff …
…careers, and personal relationships. Counsel is thus reminded of the human cost of inadvertently disclosing the names and identifying information of Does who should have remained under seal. If counsel requires further clarification on the Court’s December 18 Order…
…of defendant Ghislaine Maxwell. Based on written discovery requests served to date, it is anticipated that Plaintiff will seek to question Ms. Maxwell concerning her personal and professional relationships as well matters concerning her private affairs. Furthermore, Plaintiff has served…
…p 7:7–10 (“Ms. Maxwell’s interest in keeping private the details of her sexual relationships with consenting adults warrants the sealing of those portions of her testimony (and any materials that reference them).”). In the July 2016 deposition,…