EFTA00073158.pdf PDF
…13, 2007 Republished in De Novo Vol. 11, No. 6 September 2008 TESTIFYING - Expert Witness Testimony APPOINTMENTS - Hearing testimony for the District Court, Jefferson County, Colorado …
…13, 2007 Republished in De Novo Vol. 11, No. 6 September 2008 TESTIFYING - Expert Witness Testimony APPOINTMENTS - Hearing testimony for the District Court, Jefferson County, Colorado …
…limited use of Mr. Epstein’s deposition testimony would serve these purposes equally well, as the jury would be left in no doubt as to why the plaintiff had not called Mr. Epstein as a witness. Finally, defendant Maxwell has…
…counsel for the witness with a 3 hour deposition to accomplish the same end. 5 EFTA00097400 Case 1:15-cv-07433-RWS Document 189 Filed …
…implementing a business model due diligence, product support, and client development. EFTA01097433 DA HMAN E: Expert Witness
…counsel for the witness with a 3 hour deposition to accomplish the same end. 5 Case 1:15-cv-07433-LAP Document 1090-18 Filed 07/30/20 Page 7 of 11 Putting aside the admissibility of this testimony…
…and counsel for the witness with a 3 hour deposition to accomplish the same end. 5 Case 1:15-cv-07433-LAP Document 189 Filed 06/06/16 Page 7 of 11 Putting aside the admissibility of this testimony…
…due to Edwards' bifurcation of his Counterclaim and ensuing appeal, there is sufficient time before Edwards' Counterclaim is reset for trial for Edwards to take the witness's deposition. Epstein will not object to opening discovery for that limited purpose…
…expert witness 14 testimony that was given in that case about the value of 15 the claim absent the tortious interference. 16 I am blanking on the name of the trial lawyer 17 or trial lawyers who gave that testimony…
…expert witness 14 testimony that was given in that case about the value of 15 the claim absent the tortious interference. 16 I am blanking on the name of the trial lawyer 17 or trial lawyers who gave that testimony…
…expert witness who has been involved in the representation of Epstein in the above- captioned matter or in Epstein v. Edwards, No. 502009CA040800XXXXMBAG (Cir. Ct. of the 151h Jud. Cir. for Palm Beach County, Fla.), and in addition deposition testimony…
…through his clients, is seeking to rescind Mr. Epstein's non-prosecution agreement with the United States for the Southern District of Florida ("NPA"). In pleadings and sworn deposition testimony in this case, the CVRA case, other litigations, and to…
…through deposition testimony or document requests. In an attempt to justify her clear contravention of Rule 33.3, Defendant asserts that her interrogatories seek “the kind of minutiae that Plaintiff is unlikely to ‘recall’ at the time of her deposition…
…33131-3371 67. Any and all witnesses whose names appear in depositions, interrogatories or documents produced in response to requests for production provided by Bradley J. Edwards depending on the testimony in Edwards' case in chief. EXPERT WITNESS 68. D…
…1223
EFTA00801482
Court provided this general definition of what constitutes work product: "personal views
of the attorney as to how and when to present evidence, his evaluation of its relative
importance, his knowledge of which
…New York Post article) [D.E. 1151] 8 2/1/18 Epstein's Motion in Limine on Edwards' Newly Disclosed Trial Exhibits and to Exclude Deposition Testimony of Witnesses Who Were Not Deposed in this Matter [D.E. 1176] 9 …
…AND DEPOSITION TESTIMONY I have testified approximately 35-40 times in the Commonwealth of Virginia and the States of Texas and Maryland on issues related to forensic urine drug testing, forensic chemistry, and controlled substance analysis. I have provided testimony…
…United States Bankruptcy Court Southern District of Florida. Mr. Spinosa's sworn 2004 Examination deposition testimony was relied upon by the Plaintiffs in making the allegations contained herein. On May 18, 2010, Kerstetter was deposed as part of the 2004…
…intends to offer as testimony in that party's case-in-diet No later than 10 DAYS BEFORE CALENDAR CALL each opposing party shall serve counter (or "fairness") designations to portions of depositions designated, together with objections to the depositions…
…41-63). The proof included the deposition testimony referenced by Edwards at the hearing on the motion to quash in which Epstein testified in the Palm Beach County case as follows: Q. Would you please state your full name and…
…party intends to offer as testimony in that patty's case-in-chief. No later than10 DAYS BEFORE CALENDAR CALL, each opposing party shall serve counter (or "fairness") designations to portions of depositions designated, together with objections to the depositions…