gov.uscourts.nysd.447706.1331.27.pdf PDF
…SOUTHERN DISTRICT OF NEW YORK --------------------------------------------------X ............................................. VIRGINIA L. GIUFFRE, Plaintiff, v. 15-cv-07433-RWS …
…SOUTHERN DISTRICT OF NEW YORK --------------------------------------------------X ............................................. VIRGINIA L. GIUFFRE, Plaintiff, v. 15-cv-07433-RWS …
…true and correct to the best of my knowledge as follows: 1. I am a partner with the law firm of Boies, Schiller & Flexner LLP and duly licensed to practice in Florida and before this Court pursuant to this Court…
…file Plaintiff’s Proposed Search Terms under seal pursuant to this Court's Protective Order (DE 62). The Protective Order states: Whenever a party seeks to file any document or material containing CONFIDENTIAL INFORMATION with the Court in this matter…
…982. The parties met and conferred several times over the past two weeks, and were able to reach agreement with the exceptions of Categories 4 and 10 below. Plaintiff believes that all documents concerning trial deposition designations (including objections and…
…governmental litigants) and mundane (Plaintiff completely refused to answer interrogatories, even though they comply with the Federal and Local Rules). Because of the breadth of the issues raised, Defendant’s obligations in fully and fairly responding to Plaintiff’s intransigence…
…ECF No. 1179. The Original Parties have conferred and discussed ways in which the unsealing process can move more efficiently without becoming unduly burdensome. The Original Parties therefore present the following options to the Court. Plaintiff’s Proposal Plaintiff proposes…
…Unsealing Decided Motions The Court previously ruled that “only motions actually decided by Judge Sweet—along with documents relevant to Judge Sweet’s decisions on those motions—are properly considered judicial documents to which a presumption of public access attaches.”…
…Practices. Defendant Alan Dershowitz (“Professor Dershowitz” or “Dershowitz”) respectfully requests a pre-motion conference with Your Honor in the above matters to discuss his request that this Court compel Plaintiff Virginia Giuffre (“Plaintiff”) and others to produce to him all…
…They contend that the Us govt violated their rights. The document and deal that JE negotiated with the government was given to the lawyers 6 years ago and is a public document. z PRN| LEGEDGM_ U01080 …
…Rule of Appellate Procedure 32.1 and this Court’s Local Rule 32.1.1. When citing a summary order in a document filed with this Court, a party must cite either the Federal Appendix or an electronic database (with…
…true and correct to the best of my knowledge as follows: 1. I am a Partner with the law firm of Boies, Schiller & Flexner LLP and duly licensed to practice in Florida and before this Court pursuant to this Court…
…attention that Defendant Ghislaine Maxwell has transmitted a letter to the court and to Plaintiff’s counsel under seal, without any notice of the filing on the Court’s docket and without notice to Intervenors, a party in this case…
…Rule of Appellate Procedure 32.1 and this Court’s Local Rule 32.1.1. When citing a summary order in a document filed with this Court, a party must cite either the Federal Appendix or an electronic database (with…
…2021 of Ms. Maxwell’s testimony pertaining to private sexual activity with consenting adults and testimony and identifying information of non-party Does who have not been considered for unsealing, the Court considered, as it did during the last round…
…279, 315, 320 & 335 and to file under seal Exhibit D thereto. The Protective Order governing this case states: Whenever a party seeks to file any document or material containing CONFIDENTIAL INFORMATION with the Court in this matter, it shall…
…true and correct to the best of my knowledge as follows: 1. I am a partner with the law firm of Boies, Schiller & Flexner LLP and duly licensed to practice in Florida and before this Court pursuant to this Court…
…Page 3 of 7 Page 23 1 negotiations between the parties. It is 2 without question that these were settlement 3 conversations. 4 I appreciate what he is trying to refer 5 …
…320, & 335 (combined with Plaintiff’s Position) DATE DOC. # DEFENDANT’S POSITION C/I1 PLAINTIFF’S POSITION FILED Unseal and redact only (1) medical …
…an Order to Show Cause requiring plaintiff Virginia Giuffre and her lawyers to state why this Court should not impose sanctions for their failure to comply with this Court’s Protective Order (Doc.62) and Opinion issued on November 14…
…468 640 DATE DOC. # DEFENDANT’S POSITION C/I[1] Status FILED Redact all citations to J. Sweet 4/16/16 Sealed Order consistent with partially 345 8.9.16 redacted Order a…
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