court filing: 2019-03339
Summary
The document analyzes a defamation claim by the plaintiff against Ms. Maxwell, arguing that the claim fails because Ms. Maxwell's statements were essentially true and the plaintiff cannot prove actual malice. The document references the legal standards for defamation under New York law and highlights the falsity of statements made in a Joinder Motion filed on behalf of the plaintiff.
This document is from the epstein-docs Archive.
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Related Documents (6)
Court Filing - Exhibit: 285-7
This document is an exhibit filed in a court case, detailing a categorical log entry for approximately 57 documents withheld due to public interest privilege, related to an ongoing criminal investigation. The plaintiff objected to the defendant's discovery requests as overly broad and burdensome. The log entry covers email and letter communications regarding the law enforcement investigation.
Deposition transcript: 11-205-cv-00743BFLAP Document 121: Filed 10/4/2018/201 Page 3 of 654
The document is the beginning of Ghislaine Maxwell's deposition transcript in the case of Virginia Giuffre vs. Ghislaine Maxwell. It details the appearances of counsel and the swearing-in process. The deposition was conducted on April 22, 2016, at 575 Lexington Avenue in New York.
Court Transcript: 212-2
The transcript captures a court hearing where attorneys argue over pro hac vice motions for Paul Cassell and Brad Edwards, with the defense contesting due to potential witness testimony and confidentiality concerns. The judge denies the motions without prejudice, requesting additional information before reconsidering.
Proposed Protective Order: 144-8
The proposed protective order aims to safeguard sensitive personal information related to the plaintiff, defendant, and non-parties subject to sexual abuse, by limiting the disclosure and use of confidential information in the case.
Court Filing - Exhibit: 148-5
This document is an exhibit filed in the case against Ghislaine Maxwell, listing the defense's requests for documents related to the Non-Prosecution Agreement negotiations between the government and Jeffrey Epstein, as well as communications between government agencies and attorneys for accusing witnesses. The requests cover a range of topics, including meetings between SDNY prosecutors and attorneys for accusing witnesses in 2016 and 2018.
Court Filing: 15-cv-07433
The document is a court filing by Ms. Maxwell's counsel requesting a temporary stay of the unsealing process and discussing agreements and disagreements with the plaintiff's counsel on streamlining the unsealing process. The parties have agreed on some modifications to the Protocol, but disagree on others, including the page limit for objections. The document also mentions a new development regarding Doe 1's contact information.
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