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 …
…DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK VIRGINIA L. GIUFFRE, Plaintiff, - against- Case No.: 15-cv-07433-LAP GHISLAINE MAXWELL, Defendant. MOTION TO WITHDRAW SANFORD BOHRER AS COUNSEL PLEASE …
…Page 1 of 2 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK VIRGINIA GIUFFRE, No. 15 Civ. 7433 Plaintiff, -against- GHISLAINE MAXWELL, Defendant. …
…Page 1 of 2 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK VIRGINIA GIUFFRE, No. 15 Civ. 7433 Plaintiff, -against- GHISLAINE MAXWELL, Defendant. MOTION TO WITHDRAW APPEARANCE BY DAVI…
…OF NEW YORK --------------------------------------------------X ............................................. VIRGINIA L. GIUFFRE, Plaintiff, v. 15-cv-07433-RWS GHISLAINE MAXWELL,…
…07433-LAP GHISLAINE MAXWELL, Defendant. PROPOSED ORDER GRANTING THE MOTION TO WITHDRAW SANFORD BOHRER AS COUNSEL FOR INTERVENORS This matter having come before the Court by the filing of the Motion to Withdraw Sanford Bohrer as Counsel for Intervenors Julie…
…Maxwell, Case No. J5-cv-07433-RWS Dear Honorable Judge Sweet: 1 represent defendant Ghislaine Maxwell in connection with the above-referenced action. I write pursuant to Section 1.E. of Your Honor's Individual Practice Rules to request an…
…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…
…33.3. Defendant has served interrogatories that are in direct violation of that Rule because the interrogatories are not “restricted to those seeking names of witnesses with knowledge of information relevant to the subject matter of the action, the computation…
…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…
…LAP Dear Judge Preska, Pursuant to the Court’s December 18, 2023, unsealing order, and following conferral with Defendant, Plaintiff files this set of documents ordered unsealed. This filing also excludes documents pertaining to Does 105 (see December 28, 2023…
…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’s September…
…10007 RE: Giuffre v. Maxwell, Case No. 1:15-cv-07433-LAP Dear Judge Preska: Doe 171 writes in connection with her December 5, 2022 letter motion, (Doc. 1285), to supplement the docket entry numbers she believes should remain under…
…Preska: Attached please find Ms. Maxwell’s List of Decided Motions, including in the last column those exhibits and deposition page numbers previously released by the 2nd Circuit. With this list, Ms. Maxwell has clarified (a) which pages are included…
…191250 St. Louis, Missouri 63119 Tel: 314-329-5040 Email: [email protected] and with Applicant having requested admission Pro Hac Vice to appear for all purposes as counsel for Putative Intervenor, TGP Communications, LLC d/b/a…
…Sent: Sunday, January 25, 2015 4:41 AM To: G Maxwell Subject: Re: ok, with me, You have done nothing wrong and i woudl urge you to start acting like it. go outside, head high, not as an esacping convict…
…OF AUTHORITIES ...................................................................................................... iii-v PRELIMINARY STATEMENT .....................................................................................................1 FACTUAL AND PROCEDURAL BACKGROUND.................................................................…
…1 THE COURT: First order of business from me, have you 2 all reached any decision as to how we're going to conduct the 3 trial with respect to the matters covered by the protective 4 order? 5 MS…
…unsealing order. (ECF No. 1127). Does 1 and 2 were served with their excerpts on October 22, 2020, and Plaintiff has not received and is not aware of any objections being filed since then. The “14-day clock” ran on…
…I served J. Doe 1 with the following documents by first class certified mail with a return receipt requested: (1) Notice to Non-Parties of Possible Unsealing of Sealed Documents; (2) Non-Party’s Request for Excerpts of Sealed Documents…
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