Search results for court deposition subpoena
1,756 results for "court deposition subpoena"
Page 12 of 71
EFTA01093175.PDF
Legal
...OBJECTION TO THE SUBPOENA DUCES TECUM FOR DEPOSITION
SERVED ON PRESIDENTIAL WOMEN'S CENTER
1.
Defendant Epstein served a Subpoena Duces Tecum for
Deposition (records only) on Presidential Women's Center on November 13,
2009 (Attached hereto as Exhibit "A").
2.
At the time when the subpoena was apparently served...
EFTA00594281.PDF
Legal
...RJCCI
;nag CONSUMER
JUSTICE COUNSEL
The court granted your client's Motion for Protective Order regarding his
deposition. The stay has expired and I would like now to take Mr. Edward's deposition
within the next ten (10) days. As you are aware, he was originally set for deposition on...
EFTA01250614.PDF
Legal
...Mellon moves the Court to quash a deposition subpoena served on her by the plaintiffs, with the deposition set to
occur on March 26, 2008, in Houston, Texas. I As grounds, Ms. Mellon states that the plaintiffs seek to depose Ms. Mellon
regarding a newspaper article 2 she authored in...
Giuffre_Maxwell_Batch3_p00259.png
Legal
...Giuffre has sent executed
releases to Microsoft for her inaccessible account, and even issued a Rule 45 Subpoena to
Microsoft for the production of her account data. See McCawley Decl. at Exhibit 9, Microsoft
Subpoena. At a minimum, the Court should direct the Defendant to take these steps to access...
Giuffre_Maxwell_Batch2_p00264.png
Legal
...she produced them after the deposition and only after
Ms. Maxwell issued a subpoena to the email providers. The emails were produced on June 10,
more than one month after Plaintiff's deposition. See Menninger Decl., Ex. K.
Similarly, following Ms. Maxwell’s subpoena to Hotmail, that company has now...
EFTA00207291.pdf
Legal
...In re Application to Quash Subpoena to Daily News, L.P. and
Rush,
No. 10-M8-85 (LMM)
Dear Judge McKenna:
I write as counsel to non-party Daily News, L.P. and journalist
Rush. They have
moved to quash subpoenas for deposition testimony and documents served in connection
with...
EFTA00604972.pdf
FBI Report
...DI:09)Subpoena to reatify at a Deposition or w Adduce Documents et a Civil ACI11011
UNITED STATES DISTRICT COURT
for the
Southern District of Florida
Jane Doe
Prang
v.
Jeffrey Epstein
Defendani
Civil Action No. 08-80893CW-MARRNJOHNSO
al the action is pending in another &Witt gate whom
SUBPOENA...
Giuffre_Maxwell_Batch2_p00104.png
Email
...Notice of Subpoena
Sigrid and Brad -
We had a conferral last week in which you promised to provide for conferral purposes a proposed schedule for depositions we
both had requested in various locations. Rather than provide any such schedule, you have instead sent us notices for
approximately 7 depositions in...
EFTA00606494.PDF
Legal
...12/13) Subpoena to Testi 6. at a Deposition in a Civil Action
UNITED STATES DISTRICT COURT
for the
Southern District of New
)
York
Plaintiff'
)
v.
)
Civil Action No. 15-CV-07433-RWS
Ghislaine Maxwell
) )
Defisidanr .
)
SUBPOENA TO TESTIFY AT A DEPOSITION IN A CIVIL ACTION
To:
JEFFREY EPSTEIN
(Name...
EFTA00728301.PDF
Legal
...such other purposes as are permitted under the applicable rules of the court. The deponent is
I
EFTA00728301
further directed to bring with him or her to the deposition documents described in Schedule "A"
to the attached subpoena.
Dated: April 1 , 2010
Respec
Ily su
itted,
By:
ar No. 947245...
EFTA00613718.pdf
Legal
IN THE CIRCUIT COURT OF THE
FIFTEENTH JUDICIAL CIRCUIT, IN
AND FOR PALM BEACH COUNTY,
FLORIDA
JEFFREY EPSTEIN,
Plaintiff(s),
vs.
SCOTT ROTEISTEIN, individually, BRADLEY
J. EDWARDS, individually, and L.M.,
individually,
Defendant(s).
CASE NO:
502009CA040800XXXXMBAG
SUBPOENA FOR DEPOSITION DUCES TECUM
THE STATE OF FLORIDA
TO:
Robert D. Critton...
Giuffre_Maxwell_Batch5_p00213.png
Legal
...should have provided this log at the time of his deposition so that he could be questioned
about it. He certainly should produce a log immediately, if he hopes to sustain his claim.
The “general rule” in this Court is that a “blanket refusal to produce records or to testify...
EFTA01205046.PDF
Legal
...The Utah Supreme Court adopted a reporter's privi-
lege in its court rules in 2008. as did the New Mexico high court
years before.
Even in the absence of an applicable shield law or
court-recognized privilege, journalists occasionally have been suc-
cessful in persuading courts to quash subpoenas...
EFTA01103276.PDF
Legal
...PLAINTIFF'S MOTION TO OUASH SUBPOENA AND FOR PROTECTIVE ORDER
TO PREVENT DEPOSITION OF ALFRED SECKEL
Plaintiff Jeffrey Epstein moves the Court, pursuant to Rule 1.280 and Rule 1.410, Florida
Rules of Civil Procedure, for entry of a protective order and an order quashing a subpoena
commanding non...
EFTA00584062.pdf
Legal
...Pursuant to the stipulated order entered by this Court on March 20, 2015 that appointed a
Commissioner in the State of Colorado, Dershowitz served a subpoena for the production of
documents and a videotaped deposition on Jane Doe No. 3. See Exhibit G.2 The subpoena
seeks, among other things...
EFTA00586566.pdf
Legal
...ST-10-CIV-443
Superior Court of the Virgin Islands, Division of St. Thomas-St. John
To Whom It May Concern:
I, Juan Pablo Molyneux, hereby agree to appear as a witness in the
above-referenced matter, for a deposition and/or for trial, to the extent
deemed necessary by...
DOJ-OGR-00003548.jpg
Legal
...In the first instance, unlike in Subpoena Duces Tecum, the posture
of the Application does not involve a motion to quash. Of course, should this Court permit Boies
Schiller to respond, Boies Schiller would have the right to move to quash—including, for example,
if a grand jury subpoena made...
DOJ-OGR-00003554.jpg
Legal
...In the first instance, unlike in Subpoena Duces Tecum, the posture
of the Application does not involve a motion to quash. Of course, should this Court permit Boies
Schiller to respond, Boies Schiller would have the right to move to quash—including, for example,
if a grand jury subpoena made...
EFTA00729278.pdf
Legal
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF FLORIDA
CASE NO.: 08-CV-80119-MARRA-JOHNSON
JANE DOE NO. 2,
Plaintiff,
v.
JEFFREY EPSTEIN,
Defendant.
DEFENDANT EPSTEIN'S RESPONSE TO PLAINTIFF'S MOTION FOR
PROTECTIVE ORDER AND TO_QUASH SUBPOENA FOR
DEPOSITION OF JANE DOE NO.3, MOTION TO CONSOLIDATE
CASES...
Giuffre_Maxwell_Batch1_p00617.png
Legal
...25, 2015) (“I would suggest that rather than repeated emails on the topic of
scheduling the various depositions in this case, or the unilateral issuance of deposition notices and subpoenas, you
and I have a phone conference wherein we discuss which depositions are going to be taken, where, and a...
EFTA00729285.pdf
Legal
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF FLORIDA
CASE NO.: 08-CV-80119-MARRA-JOHNSON
JANE DOE NO. 2,
Plaintiff,
v.
JEFFREY EPSTEIN,
Defendant.
DEFENDANT EPSTEIN'S RESPONSE TO PLAINTIFF'S MOTION FOR
PROTECTIVE ORDER AND TO_QUASH SUBPOENA FOR
DEPOSITION OF JANE DOE NO.3, MOTION TO CONSOLIDATE
CASES...
Giuffre_Maxwell_Batch4_p00415.png
Legal
...Maxwell’s removal and apparent concealment of assets takes place against a backdrop of
disregard of court orders by Maxwell and others involved in the Epstein sex trafficking
organization. In 2009, before suit was ever filed in this case, Maxwell was served with a
subpoena for a deposition in a...
EFTA00077888.pdf
Email
...IM is willing to provide us with a copy of the
agreement, but he indicated that he believes he needs a subpoena before he can do so. His firm has already provided us
with copies of all other court filings and deposition transcripts from the civil case voluntarily. The settlement...
EFTA00600877.pdf
Legal
...Emails re notices of depositions (General)- .125 hrs-
.125 hours
August 18- No calls. Emails include additional forwarded emails from prior week:
Emails rem,;
Emails rcillimio; Emails re
andel= (SOS);
Emails re tolling agreement, Critton correspondence, subpoenas, Epstein deposition,
Riley subpoena duces tecum, notices of depositions, experts, notices to enter...
EFTA00186839.PDF
FBI Report
o r oc
As
C
EFTA00186839
United States District Court
SOUTHERN DISTRICT OF FLORIDA
TO: Chase Bank USA, N.A.
National Subpoena Processing
7610 W. Washington Street
IN1-4054
Indianapolis, IN 46231
SUBPOENA TO TESTIFY
BEFORE GRAND JURY
FGJ 07-103(WPB)-Tues./No. OLY-40
SUBPOENA FOR:
[I PERSON...
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