giuffre-maxwell
gov.uscourts.nysd.447706.1295.11
19 pg
…subpoena to Ms. Ransome, and the questions posed to her in the February 17
deposition, it is important to understand how Ms. Ransome first came forward as a witness.
Based on her deposition testimony, sometime in October of 2016, Ms…
giuffre-maxwell
gov.uscourts.nysd.447706.1331.30
19 pg
…subpoena to Ms. Ransome, and the questions posed to her in the February 17
deposition, it is important to understand how Ms. Ransome first came forward as a witness.
Based on her deposition testimony, sometime in October of 2016, Ms…
DataSet-9
EFTA00585420
25 pg
…through his undersigned
counsel, herein moves for an Order in Limine precluding Defendant/Counter-Plaintiff Bradley
Edwards ("Edwards") and his Counsel from making any mention or use of the below-listed
items/matters/witness testimony at trial'. In support thereof…
DataSet-9
EFTA00802160
25 pg
…through his undersigned
counsel, herein moves for an Order in Limine precluding Defendant/Counter-Plaintiff Bradley
Edwards ("Edwards") and his Counsel from making any mention or use of the below-listed
items/matters/witness testimony at trial'. In support thereof…
giuffre-maxwell
gov.uscourts.nysd.447706.1166.0_1
14 pg
…Maxwell’s rights to a fair trial by poisoning any venire and influencing witness testimony. For
reasons discussed below, the Court should decline to unseal the identified Sealed Items.
I. Ms. Maxwell’s July 22, 2016 deposition must remain sealed.
…
giuffre-maxwell
gov.uscourts.nysd.447706.1090.46
14 pg
…deposition, despite this Court’s order ........................................................................ 2
B. Plaintiff failed to produce emails from her iCloud and Hotmail accounts....................... 4
C. Plaintiff failed to address issue of her employment records .....................................…
giuffre-maxwell
gov.uscourts.nysd.447706.1320.21
15 pg
…not something Ms. Giuffre can obtain through requests for production or through
interrogatories. The only way of obtaining such evidence is from witness testimony by those
who were victimized, those who assisted Defendant in recruiting and abuse, and those who…
giuffre-maxwell
gov.uscourts.nysd.447706.1325.15
14 pg
…deposition, despite this Court’s order ........................................................................ 2
B. Plaintiff failed to produce emails from her iCloud and Hotmail accounts....................... 4
C. Plaintiff failed to address issue of her employment records .....................................…
giuffre-maxwell
gov.uscourts.nysd.447706.1137.16_2
15 pg
…de osition testimon of 1) Ms. Giuffre;
and (4) Ms. Giuffre's p~an
o owmg witnesses for deposition: -
(8) a known victim of Jeffrey Epstein; (9) Mr.
Weisfield; (1…
giuffre-maxwell
gov.uscourts.nysd.447706.230.0
19 pg
…the deponent’s previous testimony. See, e.g, Vincent v.
Mortman, No. 04 Civ. 491, 2006 WL 726680, at *1–2 (D. Conn. Mar. 17, 2006) (allowing
plaintiff to reopen deposition when one witness' deposition contradicted defendants' deposition
and medical…
giuffre-maxwell
1320-21
15 pg
…not something Ms. Giuffre can obtain through requests for production or through
interrogatories. The only way of obtaining such evidence is from witness testimony by those
who were victimized, those who assisted Defendant in recruiting and abuse, and those who…
DataSet-9
EFTA00582821
24 pg
…2017 is consistent with his Complaint against Edwards, his sworn testimony at
deposition regarding the facts known to him at the time he filed his Complaint and each
amendment thereto, which is also supported by all documentary evidence also provided…
DataSet-9
EFTA00073158
10 pg
…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
…
giuffre-maxwell
gov.uscourts.nysd.447706.1320.24
16 pg
…not something Ms. Giuffre can obtain through requests for production or through
interrogatories. The only way of obtaining such evidence is from witness testimony by those
who were victimized, those who assisted Defendant in recruiting and abuse, and those who…
giuffre-maxwell
gov.uscourts.nysd.447706.1137.17_1
16 pg
…remaining witness is - -
. His deposition is necessaiy for the following reason:
depositions like this - verifying Ms. Giuffre's account of being recrnited by Defendant for sex
with Epstein - that Defendant is hying avoid. However, multiple other witnesses have testimony
that…
giuffre-maxwell
gov.uscourts.nysd.447706.1320.27
15 pg
…not something Ms. Giuffre can obtain through requests for production or through
interrogatories. The only way of obtaining such evidence is from witness testimony by those
who were victimized, those who assisted Defendant in recruiting and abuse, and those who…
giuffre-maxwell
gov.uscourts.nysd.447706.1137.18_2
15 pg
…not something Ms. Giuffre can obtain through requests for production or through
intenogatories. The only way of obtaining such evidence is from witness testimony by those
who were victimized, those who assisted Defendant in recrniting and abuse, and those who…
giuffre-maxwell
1320-27
15 pg
…not something Ms. Giuffre can obtain through requests for production or through
interrogatories. The only way of obtaining such evidence is from witness testimony by those
who were victimized, those who assisted Defendant in recruiting and abuse, and those who…
giuffre-maxwell
1320-24
16 pg
…not something Ms. Giuffre can obtain through requests for production or through
interrogatories. The only way of obtaining such evidence is from witness testimony by those
who were victimized, those who assisted Defendant in recruiting and abuse, and those who…
giuffre-maxwell
gov.uscourts.nysd.447706.1156.0
35 pg
…jury, unsealing the deposition material also risks compromising the integrity of witness
testimony because it provides an opportunity for a witness to change his or her story to conform
to the allegations made in the unsealed (and publicized) material.” Id…