gov.uscourts.nysd.447706.156.8.pdf PDF
…y7mail.com,stan ittany@path Pottinger, McCawley and BSF staff re legal advice interest/work 32 15:43 Sigrid McCawley [email protected] tojustice.com related to VRS product Withheld 1 msg …
…y7mail.com,stan ittany@path Pottinger, McCawley and BSF staff re legal advice interest/work 32 15:43 Sigrid McCawley [email protected] tojustice.com related to VRS product Withheld 1 msg …
…counsel, have requested confidentiality and also the right to be heard regarding the unsealing of any excerpts that mention them. Defense counsel and staff currently are attempting to check each of plaintiff’s proposed redactions uploaded late on July 29…
…Pottinger, McCawley and BSF staff re legal advice interest/work 32 15:43 Sigrid McCawley [email protected] tojustice.com related to VRS product Withheld 1 msg …
…Does’ objections. The court outlined the following procedure regarding placement of the Does’ submissions on the public docket in the unsealing protocol dated August 27, 2020: The Court’s staff will receive Non-Party submissions, make appropriate redactions, e.g.…
… defense/common 4/9/2015 [email protected],robiej e.com,sperki McCawley and BSF staff re legal advice re media interest/work 49 7:16 Sigrid McCawley [email protected] [email protected] issues product Withheld 2…
… n interest/work 32 3/20/2015 15:43 Sigrid McCawley [email protected] tojustice.com McCawley and BSF staff re legal advice related to VRS product Withheld 1 msg …
…Maxwell's criminal case next Monday. And 21 the burden on my paralegal staff to get these redactions done 22 at the same time, one extra day would be very helpful. 23 THE COURT: If that's all you need…
…Pottinger, defense/commo …
… n interest/work 32 3/20/2015 15:43 Sigrid McCawley [email protected] tojustice.com McCawley and BSF staff re legal advice related to VRS product Withheld 1 msg …
…need to -- December 8 is what we are looking at for our portion 20 of it. I would need to confer with her to see how quickly her 21 staff can help, and we can divide it up. 22 THE…
…need to -- December 8 is what we are looking at for our portion 20 of it. I would need to confer with her to see how quickly her 21 staff can help, and we can divide it up. 22 THE…
…the conclusion of the criminal trial, her counsel and staff will be in a better position to search through our files to alert the Court to any such similar circumstances among the non-responding Does. Sincerely, /s/ Sigrid S. McCawley …
…Original Parties served with Non-Party submissions shall not disclose them to anyone else. e. The Court’s staff will receive Non-Party submissions, make appropriate Case 1:15-cv-07433-LAP Document 1026-1 Filed 01/30/20…
…to the Court directly and faxing, mailing or emailing a copy to counsel for the original parties. We further propose that the Court’s staff be responsible for keeping the non-party submissions under seal, and publicly filing a redacted…
…shall be under seal. The Original Parties served with Non-Party submissions shall not disclose them to anyone else pending further order of the Court. e. The Court’s staff will receive Non-Party submissions, make appropriate redactions, e.g.…
…shall be under seal. The Original Parties served with Non-Party submissions shall not disclose them to anyone else pending further order of the Court. e. The Court’s staff will receive Non-Party submissions, make appropriate redactions, e.g.…
…by Non-Parties to the Court shall be under seal. The Original Parties served with Non-Party submissions shall not disclose them to anyone else. e. The Court’s staff will receive Non-Party submissions, make appropriate redactions, e.g.…
…redacted name. Further, the Miami Herald correctly notes that the Protocol permits the Court’s staff (with the assistance of the original parties) to redact the non-party submissions and publicly file them via ECF. See DE 1225, at 2…
… n interest/work 32 3/20/2015 15:43 Sigrid McCawley [email protected] tojustice.com McCawley and BSF staff re legal advice related to VRS product Withheld 1 msg …
…arguments, made reference to allegedly confidential evidence of sexual trafficking, she knowingly did so in the presence of undersigned counsel. Moreover, her arguments were sufficiently vague in detail as to merely referencing flight logs, house staff witnesses, pictures, hospital records…
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