gov.uscourts.nysd.447706.1228.0.pdf PDF
…of our letter, we were directed to the Court’s October 20, 2020 Order, issued in the context of the Court’s consideration of the Sealed Records pertaining to Does No. 1 and 2. See DE 1157. In that Order…
…of our letter, we were directed to the Court’s October 20, 2020 Order, issued in the context of the Court’s consideration of the Sealed Records pertaining to Does No. 1 and 2. See DE 1157. In that Order…
…2 (S.D.N.Y. May 16, 2006) (noting state court records sealed to protect privacy of sexual assault victim pursuant to Section 50-b of the N.Y. Civil Rights Law), report and recommendation adopted, 2006 WL 1763678 (June…
…when, and by whom such reports (or descriptions of reports) were obtained from a minor child’s sealed juvenile records and files. RESPONSE: Ms. Maxwell objects to this Request in that there is no “Interrogatory No. 1” to which the…
…when, and by whom such reports (or descriptions of reports) were obtained from a minor child’s sealed juvenile records and files. RESPONSE: Ms. Maxwell objects to this Request in that there is no “Interrogatory No. 1” to which the…
…documents concerning how, when, and by whom such reports (or descriptions of reports) were obtained from a minor child’s sealed juvenile records and files. Response: Ms. Maxwell objects to this Request in that there is no “Interrogatory No. 1”…
…to shield perpetrators of heinous acts. If TGP is not permitted to intervene and view the Epstein Client List, to the extent it can be ascertained from records remaining sealed, it will suffer great impairment, as it cannot perform their…
7. Attached hereto as Sealed Composite Exhibit 5 are true and correct copies of Excerpts from the June 1, 2016 Deposition of John Alessi. 8. Attached hereto as Sealed Exhibit 6 is a true and correct copy of June 20…
…Haddon, Morgan & Foreman, P.C., counsel of record for Defendant Ghislaine Maxwell (“Maxwell”) in this action. I respectfully submit this declaration in support of Ms. Maxwell’s Objections to Unsealing Sealed Materials Related to Docket Entries 231, 279, 315, 320…
…3. Attached hereto as Sealed Exhibit 1 is a true and correct copy of Judith Lightfoot Redacted Medical Records (Giuffre005431-005438). 4. Attached hereto as Sealed Exhibit 2 is a true and correct copy of Judith Lightfoot’s June 27…
…Haddon, Morgan & Foreman, P.C., counsel of record for Defendant Ghislaine Maxwell (“Maxwell”) in this action. I respectfully submit this declaration in support of Ms. Maxwell’s Objections to Unsealing Sealed Materials Related to Docket Entries 345, 356, 362, 370…
…judgment record ourselves. I agree that all or most of the material must be unsealed. Nevertheless, in my view, the district court is better suited to the task. As the Court’s opinion recognizes in connection with the remaining sealed…
…2020 (ECF No. 1091), Plaintiff is filing renewed versions of the materials previously sealed at ECF Nos. 235-13 and 249-13 as attachments hereto. Sincerely, /s/ Sigrid S. McCawley Sigrid S. McCawley,…
…judgment record ourselves. I agree that all or most of the material must be unsealed. Nevertheless, in my view, the district court is better suited to the task. As the Court’s opinion recognizes in connection with the remaining sealed…
…Motion in Limine to Admit the “Black Book” as Evidence in Trial. 3. Attached hereto as Sealed Exhibit 1 is a true and correct copy of 4. Attached hereto as Sealed Composite Exhibit 2 are true and correct copies of …
…hereby files this proposed redactions of the Order Denying Defendant’s Motion for Summary Judgment. See Plaintiff’s proposed redactions attached hereto as Sealed Exhibit 1. Dated: March 29, 2017 Respectfully Submitted, By: /s Sigrid McCawley …
…to Defendant’s Motion in Limine to Exclude Victim Notification Letter. 3. Attached hereto as Sealed Exhibit 1 is a true and correct copy of 4. Attached here to as Sealed Exhibit 2 is a true and correct copy of …
…in Limine to Permit Questioning Regarding Plaintiff’s Sexual History and Reputation. 3. Attached hereto as Sealed Composite Exhibit 1 are true and correct copies of . 4. Attached hereto as Sealed Exhibit 2 is a…
…8, 2017 transcript of proceedings pursuant to this Court’s Protective Order. See Plaintiff’s proposed redactions attached hereto as Sealed Exhibit 1. Dated: November 28, 2017 Respectfully Submitted, By: /s Sigrid McCawley …
…for Failure to Comply with Court Order and Failure to Comply with Rule 26(a). 3. Attached hereto as Sealed Exhibit 1 is a true and correct copy of Excerpts from the May 18, 2016 Deposition of Rinaldo Rizzo. 4…
…request for pre-Answer discovery, Giuffre expects that she will also be allowed to identify and publish sealed materials in response to Dershowitz’s forthcoming counterclaims. Sincerely, /s/ Sigrid McCawley …
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