Giuffre_Maxwell_Batch1_p00416.png
Extracted Text (OCR)
Case 1:15-cv-07433-LAP Document 1320-15 Filed 01/03/24 Page 24 of 27
Log Privilege Doc
1D Email Sent Date__|Email From Email To CC Address [Subject Matter [Type of Privilege |Action Page Count_| Type
Plaintiff has objected that Defendant's requests are overly
broad and unduly burdensome, as individually logging all
privileged responsive documents would be overly burdensome.
Plaintiff contends that requests targeting such privileged
information are not reasonably calculated to lead to the
discovery of admissible evidence, are not important to resolving
the issues, are not relevant to any party's claim or defense, are
not proportional to the needs of the case, and creates a heavy
burden on Plaintiff that outweighs its benefit. Therefore,
Plaintiff has employed categorical logging pursuant to Local Civil
Rule 26.2(c). Correspondence re: Jane Doe No. 102 v. Jeffrey
[Epstein (“Epstein case”), Case No. 09-80656-CIV-Marra/Johnson’
(Southern District of Florida). Documents withheld pursuant to
the privileges asserted included communications from Ms.
Virginia Giuffre, Bob _| Virginia Giuffre, Bob IGiuffre to the attorneys listed seeking legal advice related to the
Josefsberg, Katherine W. |Josefsberg, Katherine W. Epstein case, communications from the attorneys to Ms. Giuffre
Ezell, Amy Ederi, other _|Ezell, Amy Ederi, other giving legal advice or giving attorney mental impressions related
Podhurst attorneys, Podhurst attorneys, Legal to the Epstein case, communications sending or attaching |AC Privilege and Approx. 1.3K
Legal Assistants, and —_| Assistants, and Professionals attorney work product related to the Epstein case, and/or Work docs
Emails, letters, and _ Professionals retained by retained by attorneys to aid communications sending or attaching client revisions to Product/joint overlapping
other communications Jattorneys to aid in the _|in the rendition of legal attorney work product related to the Epstein case, and ldefense/commo with other
128 | from 2009- Present _|rendition of legal advice _Jadvice communications re evidence. n interest Withheld cases
Email chain with Giuffre and McCawley seeking information to
129 6/10/2015 Virginia Giuffre robiejennag@y7mail.com assist with attorney advice. [Attorney Client _|withheld 2 msg
Letter from Virginia Giuffre to David Boies conveying requested |AC Privilege and
130 information to assist in providing legal advice. Work Product _|withheld 26 pdf
ISmccawley@BSFLLP.com,brad@pa
{thtojustice.com,robiejennag@y7m |AC Privilege and
131 4/30/2015 Brittany Henderson leperez@BSFLLP.com jail.com [Communication re VRS registrations Work Product. Withheld 1 msg.
ISmccawley@BSFLLP.com,brad@pa
{thtojustice.com,garvin@lclark.edu, |Email chain with McCawley, Edwards, Garvin, Henderson, |AC Privilege and
132 4/29/2015 Andres Ortiz bh699@nova.edu robiejennag@y7mail.com |Giuffre and BSF staff re legal advice re VRS communications. _|Work Product _|Withheld 1 msg
Smccawley@BSFLLP.com,brad@pa
{thtojustice.com,garvin@lclark.edu, |AC Privilege and
133 4/29/2015 brittany henderson laortiz@BSFLLP.com robiejennag@y7mail.com [Communication re legal advice re VRS communications. Work Product | Withheld 1 msg
Plaintiff Virginia Giuffre's Revised Supplemental Privilege Log dated May 27, 2016
Extracted Information
Document Details
| Filename | Giuffre_Maxwell_Batch1_p00416.png |
| File Size | 262.2 KB |
| OCR Confidence | 85.2% |
| Has Readable Text | Yes |
| Text Length | 3,270 characters |
| Indexed | 2026-02-04 12:33:47.378530 |