gov.uscourts.nysd.447706.24.2.pdf PDF
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…L. Giuffre, Plaintiff, Case No.: 15-cv-07433-RWS v. Ghislaine Maxwell, Defendant. ____________________________/ DECLARATION OF BRADLEY EDWARDS IN SUPPORT OF PLAINTIFF’S RESPONSE IN OPPOSITION TO DEFENDANT’S MOTION TO EXCLUDE FBI 302 STATEMENT OF PL…
…New York Virginia L. Giuffre, Plaintiff, Case No.: 15-cv-07433-RWS v. Ghislaine Maxwell, Defendant ___________________________/ JOINT PRETRIAL STATEMENT Pursuant to this Court’s individual practice rules, the parties hereby submit the following Join…
…of New York Virginia L. Giuffre, Plaintiff, Case No.: 15-cv-07433-RWS v. Ghislaine Maxwell, Defendant. ________________________________/ JOINT PRETRIAL STATEMENT Pursuant to this Court’s individual practice rules, the parties hereby submit the …
…States District Court Southern District of New York Virginia L. Giuffre, Plaintiff, Case No.: 15-cv-07433-RWS v. Ghislaine Maxwell, Defendant. ________________________________/ PLAINTIFF’S REPLY NOTICE OF INTENT TO OFFER STATEMENTS UNDER…
…risk currently on these old charges and civil suits against Jeffrey We need to consult with US lawyers on any statement I make and the complaints too Perhaps we make a statement of the legal risk of saying anything for…
…of New York Virginia L. Giuffre, Plaintiff, Case No.: 15-cv-07433-RWS v. Ghislaine Maxwell, Defendant. ________________________________/ PLAINTIFF’S RESPONSE IN OPPOSITION TO DEFENDANT’S MOTION IN LIMINE TO EXCLUDE FBI 302 STATEMENT OF PLAINTIFF …
…Laura A. Menninger Jeffrey S. Pagliuca Ty Gee HADDON, M…
…Virginia Giuffre, by and through her undersigned counsel, hereby files this response in opposition to Defendant’s motion in limine (DE 679). PRELIMINARY STATEMENT On February 6, 2017, the Court requested a hearing on the admissibility of the “black book…
…Defendant’s Motion to Exclude the Complaint and Settlement Agreement in Jane Doe 102 v. Jeffrey Epstein. PRELIMINARY STATEMENT Defendant wrongly seeks to exclude the Complaint from Ms. Giuffre’s action against Jeffrey Epstein which was filed on May 11…
…8230 Facsimile: (212) 489-8340 [email protected] [email protected] Attorneys for Non-Party Sharon Churcher Case 1:15-cv-07433-LAP Document 218 Filed 06/15/16 Page 2 of 25 …
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…LLP 401 E. Las Olas Blvd., Suite 1200 Ft. Lauderdale, FL 33301 (954) 356-0011 TABLE OF CONTENTS …
…agent, Ross Gow, who is a key witness in this case because he issued, on Defendant’s behalf, one of the defamatory statements at issue to multiple media outlets. Defendant’s counsel, Philip Barden, is also counsel for Mr. Gow…
…by Defendant’s Notice of Supplemental Authority, the Hill Court found that Cosby’s statements were not defamatory because they did not “lead to an inference that Plaintiff is a ‘liar and an extortionist.’” In vivid contrast, Maxwell called Ms…
…Barden Date: Sat, 10 Jan 2015 18:27:12 +0000 To: G Maxwell Cc: Ross Go Subject: Re: All I am back on line now. I see the statement didn't go. Monday…
…s long-time boyfriend, convicted pedophile, Jeffrey Epstein. The two documents at issue in the instant motion are Defendant’s communications with her press agent and with Epstein concerning potential statements to the media regarding Ms. Giuffre. Therefore, not only …
…for truth. Ms. Giuffre’s motion should be granted. I. PRELIMINARY STATEMENT It is undisputed that Mr. Gow is a key witness in this case, given that he was authorized by the Defendant to release the defamatory statements, that are…
…Report. 10. Attached hereto as Exhibit 8, is a true and correct copy of the November 21, 2005 Sworn Statement of Juan Alessi. 11. Attached hereto as Exhibit 9, is a true and correct copy of the May 4, 2016…
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