HOUSE_OVERSIGHT_011336.jpg
Extracted Text (OCR)
10
fd.
12
[3
14
15
16
i)
18
wife)
20
21
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38
H3VOGIU1
might be admitted at trial. Both are orders resolving
discovery disputes under Rule 26.
Apart from her medical records, while defendant was
abusing her, such as when defendant took her to a hospital here
in New York when she was only 17, and the psychological records
related to Ms. Giuffre, which have been produced, which
incidentally are from 2011 and name defendant as her abuser, no
other medical records are relevant and should b xcluded under
Rule 401.
Ms. Giuffre is seeking damages for emotional distress
from defamation. It does not open up the flood gates to every
single medical issue she's ever had in her life. Ms. Giuffre
has produced records, everything from treatment for a ferret
bite to details of her giving birth. These are not relevant,
and we can have a ruling in advance of trial that these things
should be excluded.
Defendant only seeks to use these records to confuse
the issues before the jury. Defendant offers no reason for
addressing the relevance of such documents one by one at trial,
and I think these can be safely excluded at this juncture.
MS. McCAWLEY: Your Honor, next is number 17, which we
addressed in our papers, as well, about the prior settlement
agreement. You've heard about it in this case, and we have
said that that should not come into evidence.
I think they'd like to use it to propose that that
SOUTHERN DISTRICT REPORTERS, P.C.
(212) 805-0300
HOUSE_OVERSIGHT_011336
Extracted Information
Phone Numbers
Document Details
| Filename | HOUSE_OVERSIGHT_011336.jpg |
| File Size | 0.0 KB |
| OCR Confidence | 85.0% |
| Has Readable Text | Yes |
| Text Length | 1,521 characters |
| Indexed | 2026-02-04T16:13:31.225189 |