Giuffre_Maxwell_Batch6_p00049.png
Extracted Text (OCR)
Case 1:15-cv-07433-LAP Document 1331-3 Filed 01/05/24 Page 41 of 48
privileged documents responsive to this Request, and will continue to supplement her
production.
28. All Documents reflecting notes of, or notes prepared for, any
statements or interviews in which You referenced by name or other description,
Ghislaine Maxwell.
Response to Request No. 28
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 objects to
this request to the extent it seeks proprietary or copyright protected materials.
At this point in time, Ms. Giuffre has not found any non-privileged documents
responsive to this request, but continues to search for responsive documents.
29. All Documents concerning any Communications by You or on Your behalf
with any media outlet, including but not limited to the Daily Mail, Daily Express, the
Mirror, National Enquirer, New York Daily News, Radar Online, and the New York Post,
whether or not such communications were “on the record” or “off the record.”
Response to Request No. 29
Ms. Giuffre objects in that it seeks information protected by the attorney-client
privilege, the attorney work product privilege, and any other applicable privilege. Ms.
Giuffre objects to this request to the extent it seeks proprietary or copyright protected
materials.
Subject to and without waiving the above objections, Ms. Giuffre has already
produced documents Bates labelled GIUFFRE000001 to GIUFFRE005353, and will
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Dates
Document Details
| Filename | Giuffre_Maxwell_Batch6_p00049.png |
| File Size | 253.9 KB |
| OCR Confidence | 94.9% |
| Has Readable Text | Yes |
| Text Length | 1,639 characters |
| Indexed | 2026-02-04 12:45:23.371177 |