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EMERY CELL] BRINCKERHOFF & ABADY LLP Page 2 Florida Bar that reference information that was developed during discovery in this case. In keeping with plaintiff's enduring practice of insisting on selective confidentiality to bolster her own accusations while concealing evidence that undermines her claims, the materials provided to the Post include cherry-picked and misleading characterizations of evidence that is sealed and/or designated confidential under the protective order governing this action—to say nothing of the fact that it is simply false. In several instances, the materials plaintiff's counsel provided to the Post directly reproduce exhibits that were marked confidential in this case by plaintiff, and which plaintiff filed under seal before the district court. These disclosures violate both the spirit and the letter of the district court’s orders, and appear calculated to hamstring Professor Dershowitz—who respects and will abide by the court’s orders—in responding to the accusations against him. Most notably, the materials provided to the Washington Post repeat the outrageous claim that [MY “came forward” and “corroborated” Ms. Giuffre’s accusations against Dershowitz when she “testified under oath that she had been trafficked by Mr. Epstein and had had sex with Mr. Dershowitz.” As plaintiff's counsel are well aware, Ms. MEE testimony is marked confidential and remains under seal; indeed, plaintiff herself filed the relevant deposition transcript under seal before the district court. See ECF No. 701-1. Yet the materials provided to the Washington Post repeat specific details from M$. = sealed deposition, including specific sex acts she claims occurred with specific individuals. Plaintiffs counsel’s selective characterization of this sealed evidence to a national newspaper is an outrageous violation of the district court’s orders. See ECF No. 62 9 4 (“CONFIDENTIAL information shall not be disclosed or used for any purpose except the preparation and trial of this case.””); see also, e.g., Taylor v. Teledyne Techs., Inc., 338 F. Supp. 2d 1323, 1343 (N.D. Ga. 2004) (publicly summarizing and paraphrasing confidential documents violated protective order even without verbatim disclosure). This is especially so given that the totality of this individual’s testimony and other documents produced confidentially in discovery (none of which plaintiffs counsel elected to describe to reporters) demonstrate that her claims are utterly unworthy of belief.! Among other things, in emails sent in 2016, Ms. HMMIclaimed that she received help from “the Russians” and the hacker network Anonymous in responding to a hack of her email by the CIA; that Hillary Clinton sent “Special Agents Forces Men” to “intimidate[]” and “ruff[] (sic) ... up” her friend in an effort to “to protect [Ms. Clinton’s] presidential campaign”; that she possessed video and photographic evidence against both Ms. Clinton and Donald Trump that she would release to Wikileaks and Russian media by Sunday, October 23, 2016; that she possessed video footage of Bill Clinton, Prince Andrew, and Richard Branson having sex with her friend which was backed up on “several USB sticks” that she had “securely sent .. . to various different locations throughout Europe”; and that another friend had—while the two “were showering together”— showed her physical evidence that “Donald Trump liked flicking and sucking her nipples until ' As you know, on June 21, 2017, we, on behalf of Professor Dershowitz ,wrote to Judge Sweet asking that, in the event that Ms. I deposition were unsealed (or its designation as “confidential” by the parties withdrawn), the Court permit public disclosure of her emails. HOUSE_OVERSIGHT_019298

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Filename HOUSE_OVERSIGHT_019298.jpg
File Size 0.0 KB
OCR Confidence 85.0%
Has Readable Text Yes
Text Length 3,733 characters
Indexed 2026-02-04T16:37:48.911901