gov.uscourts.nysd.447706.1218.26.pdf PDF
…at O.J. Simpson’s 1996 murder trial that he had made racist remarks, won’t be paid, said Ross. He was to have been one of several paid commentators on the murder trial of Michael Skakel, a nephew of…
…at O.J. Simpson’s 1996 murder trial that he had made racist remarks, won’t be paid, said Ross. He was to have been one of several paid commentators on the murder trial of Michael Skakel, a nephew of…
…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," he said Thursday at the World Economic Forum. Earlier this month, Buckingham Palace issued…
…Reporting & Video, Inc. l think I met Prince Andrew in 2001. And Glenn Dubin 2 and Stephen Kaufmann were, like I said, the first 3 people I was sent out to after my training. So I 4 don't know. …
…then transitioned to something other than a 4 masseuse? 5 A No. She never said that it transitioned. 6 But she ended up explaining to me what had happened 7 before, so... 8 Q What has -- what is that? 9 …
…District Court Judge Kenneth Marra had ordered said woman's allegations be removed from the record of an ongoing lawsuit against convicted billionaire pedophile Jeffrey Epstein. Judge Marra denied a motion by "Jane Doe 3 and Jane Doe 4" to…
…and on a Caribbean island owned by Epstein. A Palace spokesman has said that the allegations are "false and without any foundation." "It is emphatically denied that the Duke of York had any form of sexual contact or relationship with…
…WITNESS: Yes. 10 BY MR. PAGLIUCA: 11 Q. So out of your entire report, the only two 12 people who ever said anything about Ms. Maxwell were 13 Ms. Sjoberg, who I believe was 23 when you 14 interviewed her…
…please. Q. Sure. The two documents we were talking about, the document and the investigation, you said you are aware of and after having talked to Jeffrey Epstein, do you believe Jeffrey Epstein sexually abused minors? A. What do you…
… 14 A. I said that there are some things 15 she may not have lied about. 16 Q. So are you saying it's an obvious 17 lie that Jeffrey Epstein engaged in sexual 18 contact with Virginia while Virginia…
… 14 A. I said that there are some things 15 she may not have lied about. 16 Q. So are you saying it's an obvious 17 lie that Jeffrey Epstein engaged in sexual 18 contact with Virginia while Virginia…
…I don't remember. 16 Q Okay. Did you learn anything else about 17 that, other than what you just said? 18 A No. 19 Q Okay. Do you know where she went to work 20 after Mar-a-Lago…
…throne, reason for her to smile as the nation and beyond said thanks for her never-ending job. Case 1:15-cv-07433-LAP Document 1218-43 Filed 07/15/21 Page 3 of 4 Over the weekend, that…
…Giuffre] be brought on trips that were for the purpose of work and decorating the house? A: Like I said, I never worked with her but you would have to ask Jeffrey what he brought her on the trip for…
…16 to apprise the Court that with respect to my presentation I do 17 have some information that would trigger things that the 18 defendant has said in the case that have been marked as 19 confidential. 20 My apologies.…
…another depo, if required, in the future. The issues and said limitations will be determined by the special master. Each attorney who had a motion heard, is to prepare the order on their motion for the judges signature, along with…
… 25 A I mean, like I said, it was an alternative Southern Reporting Company (386)257-3663 Case 1:15-cv-07433-LAP Document 1325-17 Filed 01/04/24 Page 5 of 11 Video Deposition of Tony Figueroa…
…anyone about this issue. > > A few weeks ago Jeff told me they had not received search terms and if I remember correctly said that it would take 10 days after receiving the terms to make the complete production…
…lied, lied, lied." "But she wasn't lying about being sexually abused by Jeffrey Epstein," said Norman. "That is a different issue," said Dershowitz. "That is between her and Jeffrey Epstein." http://www.local10.com/news/alan-dershowitz-sex-slave…
…RWS Document 41-5 Filed 03/04/16 Page 4 of 18 b. persons regularly employed or associated with the attorneys actively working on this case whose assistance is required by said attorneys in the preparation for trial, at trial…
…relate to Ms. Ransome’s allegations and credibility -- are irrelevant to this single count defamation action. Of course, the defense has said since learning of her that Ms. Ransome’s story is irrelevant to this case. But, if Plaintiff insists…
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