gov.uscourts.nysd.447706.1328.44.pdf PDF
…that somebocly thnt was n sexual abuse 7 been at the house when E.W. was in Jeffrey 8 victim at one point in time or Jeffrey Epstein 8 Epstein's bedroom getting sexually nlJused, 9 and Jean Luc Brunel? …
…that somebocly thnt was n sexual abuse 7 been at the house when E.W. was in Jeffrey 8 victim at one point in time or Jeffrey Epstein 8 Epstein's bedroom getting sexually nlJused, 9 and Jean Luc Brunel? …
… Attached hereto as Composite Exhibit 7, is a true and correct copy of the September 9, 2008 Victim Notification Letter. 10. Attached hereto as Composite Exhibit 8, is a true and correct copy of the Notice of Deposition of Ghislaine…
…groomed multiple minor girls to engage in sex acts ~ith Jeffrey Epstein, through a variety of means and methods, including but not limited to the following: a. MAXWELL first attempted to befriend some of Epstein's minor victims prior to…
…in that they seek to invade her privacy for the sole purpose of harassing and intimidating Ms. Giuffre who was a victim of sexual trafficking. Ms. Giuffre objects to the requests to the extent they are overly broad and unduly…
…in that they seek to invade her privacy for the sole purpose of harassing and intimidating Ms. Giuffre who was a victim of sexual trafficking. Ms. Giuffre objects to the requests to the extent they are overly broad and unduly…
…in that they seek to invade her privacy for the sole purpose of harassing and intimidating Ms. Giuffre who was a victim of sexual trafficking. Ms. Giuffre objects to the requests to the extent they are overly broad and unduly…
…in that they seek to invade her privacy for the sole purpose of harassing and intimidating Ms. Giuffre who was a victim of sexual trafficking. Ms. Giuffre objects to the requests to the extent they are overly broad and unduly…
…had with any local, state or federal law enforcement agent or agency, whether in the United States or any other country, whether in Your capacity as a purported victim, witness, or perpetrator of any criminal activity, and whether as a…
…and JANE DOE #2 v. UNITED STATES __________________________/ JANE DOE #3 AND JANE DOE #4’S MOTION PURSUANT TO RULE 21 FOR JOINDER IN ACTION COME NOW Jane Doe #3 and Jane Doe #4 (also referred to as “the new victims”)…
…in that they seek to invade her privacy for the sole purpose of harassing and intimidating Ms. Giuffre who was a victim of sexual trafficking. Ms. Giuffre objects to the requests to the extent they are overly broad and unduly…
…in that they seek to invade her privacy for the sole purpose of harassing and intimidating Ms. Giuffre who was a victim of sexual trafficking. Ms. Giuffre objects to the requests to the extent they are overly broad and unduly…
…in that they seek to invade her privacy for the sole purpose of harassing and intimidating Ms. Giuffre who was a victim of sexual trafficking. Ms. Giuffre objects to the requests to the extent they are overly broad and unduly…
…in that they seek to invade her privacy for the sole purpose of harassing and intimidating Ms. Giuffre who was a victim of sexual trafficking. Ms. Giuffre objects to the requests to the extent they are overly broad and unduly…
…from Ms. Maxwell’s trial and other litigation has identified Doe 171 as a contributor to the abuse, rather than a victim of sexual assault, and there is no right of a person accused of misconduct to remain anonymous. Even…
…mandate, the Second Circuit specifically made these materials available on its own docket, subject to what it held were appropriate redactions for personally identifying information, names of alleged minor victims of sexual abuse, and deposition responses disclosing intimate matters. Id…
…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 REFERENCES TO “CRIME VICTIMS…
…2023 Page-2- does not extend to other purported victims living in countries without the same risks of physical harm. The Parties therefore respectfully request the Court’s permission to maintain th…
…these representatiors were fraudulent. The vast majority of girls were required to perform intimate sexual acts at the Defendants' direction and the Defendants did not help or intend to help advance the victims' careeN. 18. Defendant Groff coordinated schedules between…
…2023 Page-2- does not extend to other purported victims living in countries without the same risks of physical harm. The Parties therefore respectfully request the Court’s permission to maintain th…
…20 12. Victims Refuse Silence is a sham not-for-profit established to create a claim for defamation per se (Motion in Limine 12)...................................................................... 20 i Case 1:15-cv-07433-LAP Do…