Search results for 08-09-2019

1,806 results for "08-09-2019"

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OCR Confidence: 85%  •  858.8 KB
cA om Case 18-2 Document 278, 08/09/2019, 2628 Page471 of 648 XM IN THE CRIMINAL DIVISION OF THE CIRCUIT COURT OF THE FIPTEENTH JUDICIAL CIRCUIT OF FLORIDA. IN AND FOR PALM BEACH COUNTY Mya | CASE w.OQO1Qadl, CE SAtQ _ DIV, Ld) @1/28/2003 11336: 12 20030047643...
DocumentCloud_Epstein_Docs_p00874.png Court Filing
OCR Confidence: 95%  •  304.7 KB
Case 18-2868, Document 280, 08/09/2019, 2628232, Page55 of 74 whether Defendant has meritorious claims against the press on the grounds that she did not abuse Ms. Giuffre is a question of fact for the jury to decide. Vv. DEFENDANT HAS NOT - AND CANNOT - SHOW THAT HER DEFAMATORY...
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OCR Confidence: 95%  •  299.0 KB
Case 18-2868, Document 284, 08/09/2019, 2628244, Page22 of 38 remained enrolled at Survivor’s Charter School until March 7, 2002. Ex.O. She was present 56 days and absent 13 days during her time there. /d. Plaintiff never received her high school diploma or GED. Ex.Q...
DocumentCloud_Epstein_Docs_p01878.png Flight Log
OCR Confidence: 95%  •  295.5 KB
Case 18-2868, Document 284, 08/09/2019, 2628244, Page27 of 38 had lit her mattress on fire. Ex.AA. Again, plaintiff met and spoke with the law enforcement officers but did not complain that she was the victim of any sexual trafficking or abuse or that she was then...
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OCR Confidence: 95%  •  1192.7 KB
Case 18-2868, Document 278, 08/09/2019, 2628230, Page26 of 648 Case 9:08-cv-80736-KAM Document 280 Entered on FLSD Docket 01/02/2015 Page 9 of 14 The new victims will establish at trial that the Government violated their CVRA rights in the same way as...
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OCR Confidence: 96%  •  303.7 KB
Case 18-2868, Document 278, 08/09/2019, 2628230, Page277 of 648 of the occurrence that created the question or problem. If you feel the problem is with your immediate supervisor, you may skip step 1 and start the grievance procedure with Step 2. Step 2: Request to meet with...
DocumentCloud_Epstein_Docs_p00907.png Court Filing
OCR Confidence: 96%  •  307.2 KB
Case 18-2868, Document 281, 08/09/2019, 2628234, Page14 of 66 Q. To the extent you can recall or could estimate, how many other emails do you believe you sent bearing that statement that's in Exhibit 2? A. [really can't remember but certainly more than six and...
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OCR Confidence: 95%  •  325.0 KB
Case 18-2868, Document 281, 08/09/2019, 2628234, Page25 of 66 DEFENDANT’S PURPORTED FACTS 31, Ms. Giuffre has written the manuscript of a book she has been trying to publish detailing her alleged experience as a victim of sexual abuse and of sex trafficking in Epstein’s alleged...
DocumentCloud_Epstein_Docs_p01836.png Legal
OCR Confidence: 95%  •  515.8 KB
Case 18-2868, Document 283, 08/09/2019, 2628241, Page869 of 883 Case 9:08-cv-80736-KAM Document 280 Entered on FLSD Docket 01/02/2015 Page 2 of 14 As the Court is aware, more than six years ago, Jane Doe #1 filed the present action against the...
DocumentCloud_Epstein_Docs_p00929.png Court Filing
OCR Confidence: 95%  •  319.6 KB
Case 18-2868, Document 281, 08/09/2019, 2628234, Page36 of 66 Ms. Giuffre disputes this statement. During 2000, Ms. Giuffre shared an apartment with her then boyfriend, James Michael Austrich and his friend, Mario. See McCawley Dec. at Exhibit 2, Austrich Dep. Tr. at p. 92. Although Austrich testified...
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OCR Confidence: 95%  •  1224.2 KB
Reviewer Award Case 18-2868, Document 283, 08/09/2019, 2628241, Page477 of 883 Professional Service Ad hoc Reviewing 2016 2015 2014 2013 2012 2011 2010 2009 Reviewer, IEEE Systems, Man and Cybernetics, Computers in Human Behavior, International Journal of Human Computer Interaction, Cornell Hospitality Review Reviewer, Transactions on Intelligent...
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OCR Confidence: 94%  •  295.6 KB
Case 18-2868, Document 284, 08/09/2019, 2628244, Page21 of 38 37. Undisputed Fact 37: Plaintiff lived independently from her parents with her fiancé long before meeting Epstein or Ms. Maxwell. After leaving the Growing Together drug rehabilitation facility in 1999, plaintiff moved in with the family of a...
DocumentCloud_Epstein_Docs_p00046.png Legal
OCR Confidence: 95%  •  308.6 KB
Case 18-2868, Document 275, 08/09/2019, 2628223, Page15 of 18 revealed that not one of the alleged Epstein victims ever mentioned Ms. Maxwell’s name and she was never considered a suspect by the government. None of Epstein’s alleged victims said they had seen Ms. Maxwell at...
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OCR Confidence: 94%  •  301.1 KB
Case 18-2868, Document 276, 08/09/2019, 2628224, Page46 of 77 it took down the statement, “we stand by everything we said, which was sourced from current, credible news accounts.” 973 F. Supp. 2d at 474. Adelson sued. He alleged that the statement was defamatory and that the press...
DocumentCloud_Epstein_Docs_p00118.png Flight Log
OCR Confidence: 94%  •  314.0 KB
Case 18-2868, Document 276, 08/09/2019, 2628224, Page69 of 77 with Professor Dershowitz. EXHIBIT Il at 85. None of the flight logs reveal a flight with the two of them as passengers. EXHIBIT BB. Another time, plaintiff claims, she and Epstein flew together to Boston and she engaged...
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OCR Confidence: 94%  •  255.6 KB
...Document 278, 08/09/2019, 2628230, Page529 of 648 Case 1:15-cv-07433-RWS Document 435-3 Filed 09/15/16 Page 3 of 6 Detective Joseph Recarey of the Palm Beach P.D. during their investigation of Mr. Epstein. 5. Ihave reviewed the statements that Bradley Edwards and...
DocumentCloud_Epstein_Docs_p00871.png Court Filing
OCR Confidence: 95%  •  309.2 KB
Case 18-2868, Document 280, 08/09/2019, 2628232, Page52 of 74 evidence has been adduced to support the inference that [defendant] acted with malice, and may not, therefore, claim a qualified privilege under New York law . . . a genuine issue as to malice and appropriate purpose has properly been raised...
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OCR Confidence: 96%  •  306.1 KB
Case 18-2868, Document 283, 08/09/2019, 2628241, Page404 of 883 analytics, Web analytics, online advertising, search engines, or Web searching. My recent research work focuses on online news analytics, which is the investigation of the online qualitative and quantitative attributes of news stories, along with other digital content...
DocumentCloud_Epstein_Docs_p00073.png Court Filing
OCR Confidence: 94%  •  301.0 KB
Case 18-2868, Document 276, 08/09/2019, 2628224, Page24 of 77 defamatory statement on a party who had no “actual . . . responsibility for the decision to republish” the statement. Jd. A public figure includes a person who “voluntarily injects himself or is drawn into a particular public controversy and thereby...
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OCR Confidence: 95%  •  305.6 KB
Case 18-2868, Document 276, 08/09/2019, 2628224, Page37 of 77 Steinhilber court held, “even apparent statements of fact may assume the character of statements of opinion, and thus be privileged, when made in public debate, heated labor dispute, or other circumstances in which an audience may anticipate the...
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OCR Confidence: 95%  •  296.6 KB
Case 18-2868, Document 276, 08/09/2019, 2628224, Page50 of 77 43. Plaintiff freely and voluntarily contacted the police to come to her aid in 2001 and 2002 but never reported to them that she was Epstein’s “sex slave.” In August 2001 at age 17, while living in...
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OCR Confidence: 95%  •  1233.8 KB
Case 18-2868, Document 278, 08/09/2019, 2628230, Page22 of 648 Case 9:08-cv-80736-KAM Document 280 Entered on FLSD Docket 01/02/2015 Page 5 of 14 of underage girls involved in sexual activities, including Jane Doe #3. She shared these photographs (which constituted child pornography...
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OCR Confidence: 94%  •  319.1 KB
Case 18-2868, Document 279, 08/09/2019, 2628231, Page7 of 37 ARGUMENT I. Ms. Maxwell is not liable for republications of the January 2015 statement. Under black letter New York law, liability for republication of an allegedly defamatory statement “must be based on real authority to influence the final...
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OCR Confidence: 94%  •  322.8 KB
Case 18-2868, Document 280, 08/09/2019, 2628232, Page2 of 74 TABLE OF CONTENTS I. PRELIMINARY STATEMENT 000... ccceccesceeeeseseseeecsesceececsesseesscseeesaesesesevaeseeesaeaaeeees IL. UNDISPUTED FACTS woe cecsecseeeseseeseseseeeseseseeecseacsececsessasscseeeasseeesesaeseeesasaaeeees A. It is an Undisputed Fact That Multiple Witnesses Deposed in This Case Have Testified That Defendant Operated as Convicted Pedophile Jeffrey Epstein’s Procurer...
DocumentCloud_Epstein_Docs_p01092.png Deposition
OCR Confidence: 93%  •  307.2 KB
Case 18-2868, Document 283, 08/09/2019, 2628241, Page125 of 883 ROSS NEIL SUTHERLAND GOW 11/18/2016 Page 16 1 was called in to protect Ms. Maxwell's reputation, and 8:37:29 2 to set the record straight. That was -- and that work 8:37:33 3...

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