gov.uscourts.nysd.447706.132.1.pdf PDF
…that they should not be allowed to seek 5 confidential information in this case. 6 Your Honor will remember that I was before you a 7 couple of weeks ago again trying to get the deposition of the 8 defendant…
…that they should not be allowed to seek 5 confidential information in this case. 6 Your Honor will remember that I was before you a 7 couple of weeks ago again trying to get the deposition of the 8 defendant…
… We can have a piece of that to the 15 Court in about two weeks. 16 The most time-consuming piece is the deposition 17 transcripts so that will take us a little bit longer but that 18 would be…
…10 foundation. 11 A When I was with her she would go over 12 there two weeks out of every month. 13 Q And how often what is the frequency you 14 would be the person take her to his…
…should be in person; she chose to move to Australia from Colorado during the pendency of this case and has been in the US for weeks attending witness depositions and other litigation matters by her own choosing. Deposition by videoconference…
…first -- no, 20 you're correct, your Honor. That was our first order, and we 21 submitted a revised joint pretrial stipulation a couple weeks 22 ago, I believe it was. 23 THE COURT: Oh, I missed that. All right…
…should be in person; she chose to move to Australia from - Colorado during the pendency of this case and has been in the US for weeks attending witness depositions and other litigation matters by her own choosing. Deposition by videoconference…
…that they should not be allowed to seek 5 confidential information in this case. 6 Your Honor will remember that I was before you a 7 couple of weeks ago again trying to get the deposition of the 8 defendant…
…that they should not be allowed to seek 5 confidential information in this case. 6 Your Honor will remember that I was before you a 7 couple of weeks ago again trying to get the deposition of the 8 defendant…
…that they should not be allowed to seek 5 confidential information in this case. 6 Your Honor will remember that I was before you a 7 couple of weeks ago again trying to get the deposition of the 8 defendant…
…69 Page 7 1 1 MR. C RITI"ON: Fonn. 1 , sbe stay there for a week with ber 2 THE WITNESS: No, not that I can remember. 2 kids and we took care of her. …
… n. I THEN MET WITH MS. , WHO STATED THAT APPROXIMATELY THREE AND HALF WEEKS AGO SHE WAS PIC FROM HER BOYFRIEND'S HOUSE (WHICH IS IN CITY OF ROYAL PALM BEACH, FLORIDA), BY TWO WHITE MALE ACQUAINTANCES OF HERS. STATED…
…69 Page 71 1 MR. CRITTON: Form. 1 Diane's secretary, she stay there for a week with her 2 THE WITNESS: No, not that I can remember. 2 kids and we took care of her. 3 …
…CUOMO: Thank you very much. C. CUOMO: Two speeches in eight weeks would define his political life for many of you, the keynote in 1984. UNIDENTIFIED MALE: Ronald Reagan rode into the '80s on a political white horse. C.CUOMO…
…United States for London with no plans of ever returning. In fact, however, within weeks of using that excuse to avoid testifying, Maxwell had returned to New York. 22. In 2011, two FBI agents located Giuffre in Australia—where she…
…2015 41 5 of 40 See Exhibit 3. Weeks went by and the Government – once again -- did not respond to counsel’s request for a stipulation. This prompted a further email from counsel to the AUSA’s handling this matter…
…enters the public record. Brown, 929 F.3d at 47 (internal quotation omitted). The media coverage over the course of the previous weeks bears out – powerfully – the concerns expressed by the Court of Appeals. A review of media reporting from…
…United States for London with no plans of ever returning. In fact, however, within weeks of using that excuse to avoid testifying, Maxwell had returned to New York. 22. In 2011, two FBI agents located Giuffre in Australia—where she…
…United States for London with no plans of ever returning. In fact, however, within weeks of using that excuse to avoid testifying, Maxwell had returned to New York. 22. In 2011, two FBI agents located Giuffre in Australia—where she…
…2016, Order, which concluded that the Defendant had withheld discovery materials. A few weeks later, the Defendant filed this motion accusing Ms. Giuffre of withholding discovery materials.2 2 Defendant appears to have a pattern of filing seemingly tit-for…
…and I 17 haven't, frankly -- I traveled here yesterday, and we are 18 needing to reply to it, which would be next week. 19 MR. POTTINGER: By the same token, your Honor, what 20 we're trying to do…
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