gov.uscourts.nysd.447706.29.0.pdf PDF
…at 8, 12. 1 In fact, the full text of each allegedly defamatory statement was set forth in the Complaint. (Ex. A at 8). Case 1:15-cv-07433-RWS Document 29 Filed 01/22/16 Page 2 of…
…at 8, 12. 1 In fact, the full text of each allegedly defamatory statement was set forth in the Complaint. (Ex. A at 8). Case 1:15-cv-07433-RWS Document 29 Filed 01/22/16 Page 2 of…
…account, cellphone number and cellphone provider, social media account and login or screen name, text or instant messaging account name and number, that You have used, applied for or been supplied between 1998 and the present. Response to Interrogatory No…
…etc. Please confirm that you have imaged her iPad as well as her phone in order to obtain the data from both (text messages, etc.). One last thing - it occurred to me that in our discussion of terms that were…
…Westwood 1 In her Motion to Compel, Defendant failed to comply with Local Rule 37.1 and only inserted selected text from certain objections. Rule 37.1 requires: “upon any motion or application involving discovery or disclosure requests or responses…
…results while AND will restrict result to only those which include all the terms. Additionally, I want to clarify that I would like all of the metadata to be searched in addition to the text of the documents. For example…
…like, on my car and in my 13 door. I tried to avoid him for a long time. 14 Q. And can you just look at the text 15 underneath there? 16 A. Uh-huh. 17 Q. Take a moment…
…Westwood 1 In her Motion to Compel, Defendant failed to comply with Local Rule 37.1 and only inserted selected text from certain objections. Rule 37.1 requires: “upon any motion or application involving discovery or disclosure requests or responses…
…would have the Court believe that Defendant and her friend never communicated about Ms. Giuffre’s testimony. There are no emails; no text messages produced. iii. : Q. Do you remember speaking with a female by the name of ? A. Y…
…Westwood 1 In her Motion to Compel, Defendant failed to comply with Local Rule 37.1 and only inserted selected text from certain objections. Rule 37.1 requires: “upon any motion or application involving discovery or disclosure requests or responses…
…GIUFFRE003714. This document does not have an attachment. Therefore, no attachment to this document was produced. Indeed the text of the chain itself establishes that Ms. Giuffre was unable to open the attachment. Nevertheless, to avoid any issues, upon receiving…
…Westwood 1 In her Motion to Compel, Defendant failed to comply with Local Rule 37.1 and only inserted selected text from certain objections. Rule 37.1 requires: “upon any motion or application involving discovery or disclosure requests or responses…
…results while AND will restrict result to only those which include all the terms. Additionally, I want to clarify that I would like all of the metadata to be searched in addition to the text of the documents. For example…
…account, cellphone number and cellphone provider, social media account and login or screen name, text or instant messaging account name and number, that You have used, applied for or been supplied between 1998 and the present. Response to Interrogatory No…
…Doc. no. 11, p. 7. Plaintiff contends that “[i]f it is reasonable to infer from the statements that 3 The full text of the Martin Singer Statement is set forth in the Complaint at doc. no. 1-3, ¶ 38…
…each document was an abuse of court records, merely stating that the documents are “textbook examples of materials that should not be submitted to courts because of their potential for abuse.” Id. Filing excerpts from deposition transcripts or summaries of…
…are making an impact. So here's on such story. Former NFL player Ricardo Silva went from studying playbooks to textbooks. Today he's a high school math teacher motivating his students to impact your world. Here's Chris Cuomo…
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