Giuffre_Maxwell_Batch1_p00766.png
Extracted Text (OCR)
Case 1:15-cv-07433-LAP Document 1320-37 Filed 01/03/24 Page 14 of 48
6. Identify any “false statements” attributed to Ghislaine Maxwell which were
“published globally, including within the Southern District of New York” as You contend in
paragraph 9 of Count 1 of Your Complaint, including:
a. the exact false statement;
b. _ the date of its publication;
c. the publishing entity and title of any publication containing the
purportedly false statement;
d. the URL or internet address for any internet version of such publication; and
e. the nature of the publication, whether in print, internet, broadcast or some
other form of media.
Response to Interrogatory No. 6
Ms. Giuffre objects to this interrogatory in that it violates Local Rule 33.3. Ms.
Giuffre objects in that it seeks information protected by the attorney-client privilege, the
attorney work product privilege, joint defense/common interest privilege, the public interest
privilege, and any other applicable privilege. Ms. Giuffre further objects because the
information requested above is in the possession of Defendant who has failed to comply with
her production obligations in this matter.
7. State whether You believe that You have ever been defamed by anyone other than
Ghislaine Maxwell. If so, as to each alleged act of Defamation, state
a. the exact false statement;
b. _ the date of its publication;
c. the publishing entity and title of any publication containing the
purportedly false statement;
13
Extracted Information
Dates
Document Details
| Filename | Giuffre_Maxwell_Batch1_p00766.png |
| File Size | 230.3 KB |
| OCR Confidence | 94.1% |
| Has Readable Text | Yes |
| Text Length | 1,487 characters |
| Indexed | 2026-02-04 12:35:37.638867 |