Search results for 08-09-2019
1,806 results for "08-09-2019"
Page 51 of 73
DocumentCloud_Epstein_Docs_p01862.png
Court Filing
Case 18-2868, Document 284, 08/09/2019, 2628244, Page11 of 38
motion, members of the media obtained copies of the motion. Ex.G at 31:2-36:4 & Depo. Exs.
3-4.
a. Reply: Plaintiff cites no contrary evidence and therefore the facts should be
deemed admitted.
18. Undisputed...
DocumentCloud_Epstein_Docs_p00083.png
Court Filing
Case 18-2868, Document 276, 08/09/2019, 2628224, Page34 of 77
9920
sexually exploited by Epstein, Prince Andrew and Epstein’s “male peers,” plaintiff made
921 9922
virtually none of what Judge Marra found were “unnecessary” and “lurid details””~ about how
Ms. Maxwell allegedly had subjected her to sexual...
DocumentCloud_Epstein_Docs_p00189.png
Case 18-2868, Document 278, 08/09/2019, 2628230, Page56 of 648
ROSS NEIL SUTHERLAND GOW - 11/18/2016 Page 32
20
21
22
23
24
25
morning to drive my family back from the south of
France to England, which is a 14-hour journey, door to
door. So...
DocumentCloud_Epstein_Docs_p00903.png
Court Filing
Case 18-2868, Document 281, 08/09/2019, 2628234, Page10 of 66
and it is Ms. Giuffre's belief that the Government did fail to so inform the victims, and
intentionally did not inform the victims because the expected serious objection from many of the
victims might prevent the Government...
DOJ-OGR-00027062.jpg
Page 3747
Moc hEW YORK
Ss Hew TORK —
MCC NEW YORK
SPECIAL HOUSING UNIT At
ZA
TIER-H
SPECIMHOUTIAG UIT
DATE: __ 08/09/2019
TIME FRAME TIME TIME SIGNATURE
START END
bye) (DTC)
8:00-8:30 AM
8:30- 9:00 AM
9:00-9:30 AM
roe [DE...
DocumentCloud_Epstein_Docs_p00027.png
Court Filing
Case 18-2868, Document 273-2, 08/09/2019, 2628218, Page22 of 25
pleadings, complaints, and briefs—while supposedly based on
underlying evidentiary material—can be misleading. Such documents
sometimes draw dubious inferences from already questionable
material or present ambiguous material as definitive.
Moreover, court filings are, in some respects...
DocumentCloud_Epstein_Docs_p00788.png
Case 18-2868, Document 279, 08/09/2019, 2628231, Page6é of 37
PRELIMINARY STATEMENT
Before the Court reaches the question whether plaintiff can prove falsity and actual
malice, it should decide three questions of law, one that narrows considerably the legal issues
and two that dispose of the case entirely...
DocumentCloud_Epstein_Docs_p01372.png
Court Filing
Case 18-2868, Document 283, 08/09/2019, 2628241, Page405 of 883
advertising. I’ve developed web analytics models and processes for analysis of business goals,
and I have used web analytics data and commercial tools in both my research and teaching. I’ve
also conducted other research on user...
DocumentCloud_Epstein_Docs_p01856.png
Case 18-2868, Document 284, 08/09/2019, 2628244, Paged of 38
7. Undisputed Fact 7: The issue presented in her joinder motion was narrow: whether
she should be permitted to join the CVRA action as a party under Federal Rule of Civil
Procedure 21, specifically, whether she was a...
DocumentCloud_Epstein_Docs_p01857.png
Case 18-2868, Document 284, 08/09/2019, 2628244, Page6 of 38
a. Reply: Plaintiff offers no admissible evidence to refute these facts and they
therefore should be deemed admitted. Specifically, she does not offer any evidence to
dispute that she knew the media had been following Epstein and the...
EFTA00165271.pdf
Email
...Placed on special observation until 07/29/2019.
•08/09/2019 Epstein cellmate Efrain Reyes was brought to court and released from court, leaving Epstein
alone in his cell.
•08/09/2019 at 1919 hours a BOP guard allows Epstein to make a phone call on an unsecured and un...
DocumentCloud_Epstein_Docs_p00045.png
Legal
Case 18-2868, Document 275, 08/09/2019, 2628223, Page14 of 18
Beach area in that vehicle. In August 2002, Plaintiff acquired a Dodge Dakota pickup truck from
her father. Figueroa used that vehicle in a series of crimes before and after Plaintiff left for
Thailand.
46. Plaintiff held a...
DocumentCloud_Epstein_Docs_p00882.png
Case 18-2868, Document 280, 08/09/2019, 2628232, Page63 of 74
For all these reasons, the Court should simply decline to decide the public figure issue at
this juncture. But if it chooses to reach the issue, it should reject Defendant’s unsupported
argument.
VIII. THE JANUARY 2015 STATEMENT...
DocumentCloud_Epstein_Docs_p01097.png
Deposition
Case 18-2868, Document 283, 08/09/2019, 2628241, Page130 of 883
ROSS NEIL SUTHERLAND GOW 11/18/2016 Page 45
20
21
22
23
24
25
this email chain is?
A. My understanding of this is: It was a holiday
in the UK, but Mr. Barden was not necessarily...
DocumentCloud_Epstein_Docs_p01399.png
Case 18-2868, Document 283, 08/09/2019, 2628241, Page432 of 883
directly mentioned the statements made against Ms. Giuffre, I did not include that article in my
calculations. So, unless the linking article actually mentioned, referenced, or quoted the
statements made against Ms. Giuffre, I did not include it...
DocumentCloud_Epstein_Docs_p01406.png
Case 18-2868, Document 283, 08/09/2019, 2628241, Page439 of 883
Academic Appointments
Current - 2014 Full Professor, College of Information Sciences and Technology, The
Pennsylvania State University, University Park, PA, 16802, USA.
Current- 2015 Principal Scientist, Qatar Computing Research Institute (QCRI), Hamad Bin
Khalifa University, Doha, Qatar
2014 - 2011...
EFTA00165269.pdf
Email
...Placed on special observation until 07/29/2019.
•08/09/2019 Epstein cellmate Efrain Reyes was brought to court and released from court, leaving Epstein
alone in his cell.
•08/09/2019 at 1919 hours a BOP guard allows Epstein to make a phone call on an unsecured and un...
DocumentCloud_Epstein_Docs_p00192.png
Court Filing
Case 18-2868, Document 278, 08/09/2019, 2628230, Page59 of 648
ROSS NEIL SUTHERLAND GOW - 11/18/2016 Page 35
21
22
23
24
25
or so here were the ones that we prioritized to deal
with that night because they were publishing the next
day or -- or thereabouts...
DocumentCloud_Epstein_Docs_p01501.png
FBI Report
Case 18-2868, Document 283, 08/09/2019, 2628241, Page534 of 883
FD-302a (Rev. 05-08-10)
31E-MM-108062
Continuation of FD-302 of Virginia L. Giuffre ,on 93/17/2011 Page 4 Of 12
The same routine and pattern of massages and sexual activity between
and GIUFFRE...
DocumentCloud_Epstein_Docs_p00873.png
Case 18-2868, Document 280, 08/09/2019, 2628232, Page54 of 74
the public at large. Defendant’s statements cannot be considered “pertinent to a good faith
anticipated litigation,” such that the qualified privilege should apply.
Finally, though it strains credulity to even entertain the prospect, if Defendant could
make...
DocumentCloud_Epstein_Docs_p00919.png
Case 18-2868, Document 281, 08/09/2019, 2628234, Page26 of 66
Giuffre has also put forth an exhaustive expert report and expert testimony from Jim Jansen
regarding the dissemination of Defendant’s defamatory press release.
Ms. Giuffre objects because the information interrogatory above is in the
possession of Defendant...
DocumentCloud_Epstein_Docs_p01367.png
Case 18-2868, Document 283, 08/09/2019, 2628241, Page400 of 883
international commercial dimensions of the sex trafficking scheme recounted by Ms. Giuffre. It
is both factually and legally correct to characterize what Ms. Giuffre experienced as
victimization in a sex trafficking conspiracy.
Conclusion 4
Virginia Roberts Giuffre’s...
DocumentCloud_Epstein_Docs_p01885.png
Case 18-2868, Document 284, 08/09/2019, 2628244, Page34 of 38
Dershowitz. After plaintiff publicly alleged Mr. Dershowitz of sexual misconduct, Mr.
Dershowitz vigorously defended himself in the media. He called plaintiff a liar and accused her
lawyers of unethical conduct. In response, attorneys Edwards and Cassell sued Dershowitz...
DocumentCloud_Epstein_Docs_p00064.png
Case 18-2868, Document 276, 08/09/2019, 2628224, Page15 of 77
23. Second, Mr. Barden intended the January 2015 statement to be “a shot across the
bow” of the media, which he believed had been unduly eager to publish plaintiff's allegations
without conducting any inquiry of their own...
DocumentCloud_Epstein_Docs_p00109.png
Case 18-2868, Document 276, 08/09/2019, 2628224, Page60 of 77
In sum, the record includes ample evidence of plaintiff's efforts to garner public attention
in order to influence others and the success of those efforts.
2. Plaintiff voluntarily injected herself into public controversies related to the
subject...
Search Tips
- Use quotes for exact phrases:
"flight manifest" - Use OR for alternatives:
bank OR financial - Use wildcard for partial matches:
invest* - Exclude words:
document -redacted - Search names:
John Smith