gov.uscourts.nysd.447706.1218.44.pdf PDF
…VowsDocument Case 1:15-cv-07433-LAP to Sue Sex1218-44 Accuser inFiled Court07/15/21 - Jewish Business …
…VowsDocument Case 1:15-cv-07433-LAP to Sue Sex1218-44 Accuser inFiled Court07/15/21 - Jewish Business …
…14 15 16 17 18 19 20 21 22 23 24 25 MAGNA9 LEGAL SERVICES Case 1:15-cv-07433-LAP Document 1331-10 Filed 01/05/24 Page 5 of 15 Page 8 2 spoke to po l ice…
…an (2)(h)(1) Identity of victim of sexual battery, lewd and inventory of law enforcement resources, policies or ascivious offense upon a person less than 16 years old, child abuse, to mobilization, deployment or tactical operati s s…
…To: Richards, Jason R. Subject: Hi There G'day Jason, I know I am a pain in your rear right now and I don't want to be but I am so close to wrapping up an era, just need…
…did -- where were you taken within the house? 8 MR. PAGLIUCA: Object to form and 9 foundation. 10 THE WITNESS: Kitchen, up to the room, up 11 to his master suite. 12 BY MR. EDWARDS: 13 Q. And which stairwell…
…are set for March 13 right now, and 12 we actually had on the agenda, Jeff and I spoke about wanting 13 to talk to you about this today. We had originally anticipated 14 a two-week trial. We have…
…are set for March 13 right now, and 12 we actually had on the agenda, Jeff and I spoke about wanting 13 to talk to you about this today. We had originally anticipated 14 a two-week trial. We have…
…spoke directly to the issues of confidentiality and unsealing of documents in this case and specifically vacated two of the three decisions cited by Maxwell. Brown v. Maxwell, 929 F.3d 41, 44 (2d Cir. 2019). The same ruling uprooted…
…Greg Poe Please note: As of June 1,2016, my email address has changed to [email protected]. Please update your address book accordingly. Gregory L. Poe LAW OFFICES OF GREGORY L. POE PLLC The Executive Building 1030 15th Street…
…in 11 the investigative incident report? 12 A. I'm not sure if it was updated or not. 13 MR. PAGLIUCA: I don't know if we want to 14 mark this or not. I can hand you what I…
…Ms. Giuffre has alleged that Defendant defamed her when she called her a liar after Ms. Giuffre spoke out about being a child victim of sex abuse at the hands of Defendant and Defendant’s long-time boyfriend, convicted pedophile…
…for production from Ms. Giuffre's iCloud account. Attached to this letter, please also find an updated privilege log. If you have any questions concerning the foregoing, or if there are any issues with the media, please do not hesitate…
…for production from Ms. Giuffre's iCloud account. Attached to this letter, please also find an updated privilege log. If you have any questions concerning the foregoing, or if there are any issues with the media, please do not hesitate…
…because defense 23 counsel had the good judgment to live in Colorado and because 24 Colorado has been blessed with frequent snow this season and 25 there was, when we last spoke, about the problem of defense SOUTHERN DISTRICT REPORTERS…
…for production from Ms. Giuffre's iCloud account. Attached to this letter, please also find an updated privilege log. If you have any questions concerning the foregoing, or if there are any issues with the media, please do not hesitate…
…because defense 23 counsel had the good judgment to live in Colorado and because 24 Colorado has been blessed with frequent snow this season and 25 there was, when we last spoke, about the problem of defense SOUTHERN DISTRICT REPORTERS…
…that she and Epstein had set for them. She pretended to be a woman they could trust, all the while she was setting them up to be sexually abused by Epstein and, in some cases, by Maxwell herself.’1 As…
…2 A. Yes, ma'am. 3 MS. EZELL: He said he didn't know that 3 Q. Do you know where others were in the 4 it was upstairs and downstairs, I believe. 4 house? 5 MR. CRITTON: I thought…
…Maxwell, the 21 procedural history, but when the Second Circuit spoke with 22 regard to this issue, it was very clear that there had been no 23 effective individualized or particularized assessment of any 24 particular discovery item, deposition testimony…
…fact, seeking only to response Plaintiff on one subject: “Defendant should be ordered to sit for a follow-up deposition and directed to answer questions regarding her knowledge of alleged “adult” sexual activity.” Plaintiff’s Motion to Compel Deposition Questions…
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