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Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 1 of 91
Plaintiff,
No. 15 Civ. 7433 (LAP)
-against-
ORDER
Defendant.
LORETTA A. PRESKA, Senior United States District Judge:
The Court has reviewed and approved the parties’ joint proposed
redacted Decided Motions List that was submitted to the Court on
April 3, 2020.
(See dkt. no. 1045.)
That redacted Decided
Motions List is attached hereto.
SO ORDERED.
Dated:
New York, New York
April 14, 2020
__________________________________
Senior United States District Judge
1
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 2 of 91
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
14
15
16
16‐1
MOTION
Defendant's Motion to Dismiss
DATE
FILED
15, 16, 16‐
1, 23, 24,
12.1.15
25, 26, 26‐
1, 29, 30
Defendant's Memorandum of
Law in Support of Motion to
12.1.15
Dismiss
Declaration of Laura
12.1.15
Menninger in support of
Defendant's Motion to Dismiss
Exhibit A‐E
12.1.15
23
Plaintiff's Memorandum of
Law in Opposition of
12.17.15
Defendant's Motion to Dismiss
24
Declaration of Sigrid McCawley
in Support of Plaintiff's
Memorandum of Law in
12.17.15
Opposition of Defendant's
Motion to Dismiss
25
26
26‐1
29
30
DOCKET # DOCKET #
DATE
Defendant's Reply in Support
of Memorandum of Law in
12.28.15
Support of Motion to Dismiss
Plaintiff's Notice of
1.8.16
Supplemental Authority
Exhibit A
Defendant's Notice of
Supplemental Authority re.
Defendant's Memorandum of 1.22.16
Law in Support of Motion to
Dismiss. Exhibit A
Plaintiff's Response to Notice
of Supplemental Authority re.
Defendant's Memorandum of 1.25.16
Law in Support of Motion to
Dismiss
1
37
2.29.16
SEALED
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 3 of 91
DOCKET
#
17
17‐1
18
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
Defendant's Motion to Stay
Discovery Pending Decision on
Defendant's Motion to Dismiss
Exhibit A
Defendant's Memorandum of
Law in Support of Motion to
Stay Discovery Pending
Decision on Defendant's
Motion to Dismiss
DATE
FILED
17‐1, 18,
12.1.15 20, 21, 21‐
1:11, 22
12.1.15
20
21
Declaration of Sigrid McCawley
in Support of Plaintiff's
Response in Opposition to
12.10.15
Defendant's Motion to Stay
Discovery Pending Decision on
Defendant's Motion to Dismiss
22
27
33
28
1.20.16
28
1.20.16
3.14.16
12.1.15
Plaintiff's Response in
Opposition to Defendant's
12.10.15
Motion to Stay Discovery
Pending Decision on
Defendant's Motion to Dismiss
21‐1:11
DOCKET # DOCKET #
DATE
Exhibits 1‐9
Defendant's Reply in Support
of Motion to Stay Discovery
12.15.15
Pending Decision on
Defendant's Motion to Dismiss
Plaintiff's Motion for Leave to
Bring Personal Electronic Device
and General Purpose Computing
Device
1.8.16
51
Plaintiff's Motion to Compel
Ghislaine Maxwell to Produce
Documents Subject to Improper
Claim of Privilege
34, 34‐1,
42, 43, 44,
44‐1, 46,
2.26.16
47, 47‐1,
56, 57, 57‐
1, 77
73 3.24.16
135
5.2.16
2
SEALED
PREVIOUSLY
UNSEALED
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DOCKET
#
34
34‐1:2
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
Declaration of Sigrid McCawley
in Support of Plaintiff's Motion
to Compel Ghislaine Maxwell 2.26.16
to Produce Documents Subject
to Improper Claim of Privilege
Exhibit 1 and 2
42
Defendant's Response in
Opposition to Plaintiff's
Motion to Compel Ghislaine
Maxwell to Produce
Documents Subject To
3.4.16
Improper Objections and
Plaintiff's Motion to Compel
Defendant Ghislaine Maxwell
to Produce Documents Subject
to Improper Claim of Privilege
43
Plaintiff's Reply in Support of
Plaintiff's Motion to Compel
Ghislaine Maxwell to Produce
Documents Subject To
3.7.16
Improper Objections and
Plaintiff's Motion to Compel
Defendant Ghislaine Maxwell
to Produce Documents Subject
to Improper Claim of Privilege
44
Declaration of Sigrid McCawley
in Support of Plaintiff's Motion
to Compel Ghislaine Maxwell
to Produce Documents Subject
3.7.16
To Improper Objections and
Plaintiff's Motion to Compel
Defendant Ghislaine Maxwell
to Produce Documents Subject
to Improper Claim of Privilege
44‐1:3
DOCKET # DOCKET #
DATE
Exhibits 1‐3
3.7.16
3
SEALED
PREVIOUSLY
UNSEALED
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Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
MOTION
DATE
FILED
46
Defendant's Supplemental
Memorandum of Law in
Opposition to Plaintiff's
Motion to Compel Ghislaine
Maxwell to Produce
Documents Subject to
Improper Claim of Privilege
3.7.16
47
Declaration of Laura
Menninger in Opposition to
Plaintiff's Motion to Compel
Ghislaine Maxwell to Produce
Documents Subject to
Improper Claim of Privilege
3.7.16
Exhibits A‐E
3.7.16
56
Plaintiff's Reply in Support of
Plaintiff's Motion to Compel
Ghislaine Maxwell to Produce
Documents Subject to
Improper Claim of Privilege
3.14.16
57
Declaration of Sigrid McCawley
in Support Plaintiff's Reply in
Support of Plaintiff's Motion to
3.14.16
Compel Ghislaine Maxwell to
Produce Documents Subject to
Improper Claim of Privilege
47‐1:5
57‐1:3
77
Exhibits 1‐3
DOCKET # DOCKET #
DATE
3.14.16
Defendant's Notice of
Submission of Declaration in
Support of Defendant's In
Camera Submission in
3.31.16
Opposition to Plaintiffs Motion
to Compel the Production of
Documents Subject to
Improper Claim of Privilege.
4
SEALED
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 6 of 91
DOCKET
#
35
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
Plaintiff's Motion to Compel
Ghislaine Maxwell to Produce
Documents Subject to Improper
Objections
DATE
FILED
35‐1, 36,
36‐1, 42,
43,44, 44‐
2.26.16
1, 45, 53,
55, 55‐1,
73
35‐1
Appendix to Plaintiff's Motion
to Compel Ghislaine Maxwell
2.26.16
to Produce Documents Subject
to Improper Objections
36
Declaration of Sigrid McCawley
in Support of Plaintiff's Motion
to Compel Ghislaine Maxwell 2.26.16
to Produce Documents Subject
to Improper Objections
36‐1:11
Exhibits 1‐11
DOCKET # DOCKET #
DATE
2.26.16
42
Defendant's Response in
Opposition to Plaintiff's
Motion to Compel Ghislaine
Maxwell to Produce
Documents Subject To
3.4.16
Improper Objections and
Plaintiff's Motion to Compel
Defendant Ghislaine Maxwell
to Produce Documents Subject
to Improper Claim of Privilege
43
Plaintiff's Reply in Support of
Plaintiff's Motion to Compel
Ghislaine Maxwell to Produce
Documents Subject To
3.7.16
Improper Objections and
Plaintiff's Motion to Compel
Defendant Ghislaine Maxwell
to Produce Documents Subject
to Improper Claim of Privilege
5
73 3.24.16
106
4.19.16
SEALED
PREVIOUSLY
UNSEALED
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DOCKET
#
44
44‐1:3
45
53
55
55‐1:23
38
39
39‐1
40
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Declaration of Sigrid McCawley
in Support of Plaintiff's Motion
to Compel Ghislaine Maxwell
to Produce Documents Subject
3.7.16
To Improper Objections and
Plaintiff's Motion to Compel
Defendant Ghislaine Maxwell
to Produce Documents Subject
to Improper Claim of Privilege
Exhibits 1‐3
Defendant's Supplemental
Memorandum of Law in
Opposition to Plaintiff's
Motion to Compel Ghislaine
Maxwell to Produce
Documents Subject to
Improper Objections
Plaintiff's Reply in Support of
Plaintiff's Motion to Compel
Ghislaine Maxwell to Produce
Documents Subject to
Improper Objections
3.7.16
3.7.16
3.14.16
Declaration of Sigrid McCawley
in Support Plaintiff's Reply in
Support of Plaintiff's Motion to
3.14.16
Compel Ghislaine Maxwell to
Produce Documents Subject to
Improper Objections
Exhibits 1‐13
3.14.16
39, 39‐1,
Defendant's Motion for Protective
3.2.16 40, 41, 41‐
Order
1, 49
Declaration of Laura
Menninger in support of
3.2.16
Defendant's Motion for
Protective Order
Exhibit A
3.2.16
Plaintiff's Response to
Defendant's Motion for
3.4.16
Protective Order
6
62
3.17.16
SEALED
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 8 of 91
DOCKET
#
41
41‐1:5
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Declaration of Sigrid McCawley
in Opposition to Defendant's
3.4.16
Motion for Protective Order
Exhibits 1‐5
Defendant's Reply in Support
49
of Defendant's Motion for
Protective Order
Defendant's Motion for Protective
63
Order Regarding Deposition of
Defendant
Declaration of Laura A.
Menninger in Support
Defendant's Motion for
65
Protective Order Regarding
Deposition of Defendant
65‐1:9
Exhibits A‐I
Plaintiff's Response in
Opposition to Defendant's
70
Motion for Protective Order
Regarding Deposition of
Defendant
DECLARATION of Sigrid S.
McCawley in Opposition to
Plaintiff's Response in
Opposition to Defendant's
71
Motion for Protective Order
Regarding Deposition of
Defendant
Exhibits 1‐6
71‐1:6
Defendant's Motion to Compel
64
Plaintiff to Disclose Pursuant to
Fed. R. Civ. P Rule 26
Plaintiff's Response in
Opposition to Defendant's
68
Motion to Compel Plaintiff to
Disclose Pursuant to Fed. R.
Civ. P Rule 26
69
Declaration of Sigrid S.
69‐1:3
Exhibits 1‐3
3.4.16
3.9.16
65, 65‐1,
3.22.16 70, 71, 71‐
1
106
4.19.16
106
4.19.16
3.22.16
3.22.16
3.23.16
3.23.16
3.23.16
3.22.16
68, 69, 69‐
1
3.23.16
3.23.16
3.23.16
7
SEALED
PREVIOUSLY
UNSEALED
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DOCKET
#
75
76
76‐1:3
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
76, 76‐1,
Oral
Defendant's Motion to Compel
78, 79, 79‐
Argument,
4.21.16
Responses to Defendant's First Set 3.31.16 1, 91, 92,
Minute
of Discovery Requests to Plaintiff
93, 94, 94‐
Entry
1, 99
Declaration of Laura
Menninger in Support of
Defendant's Motion to Compel
3.31.16
Responses to Defendant's First
Set of Discovery Requests to
Plaintiff
Exhibits A‐C
3.31.16
78
Plaintiff's Response in
Opposition to Defendant's
Motion to Compel Responses
to Defendant's First Set of
Discovery Requests to Plaintiff
4.4.16
79
Declaration of Sigrid S.
McCawley to Plaintiff's
Response in Opposition to
Defendant's Motion to Compel 4.4.16
Responses to Defendant's First
Set of Discovery Requests to
Plaintiff
Exhibit 4:
79‐1:6
(GIUFFRE003714)
4.4.16
91
Defendant's Motion for Leave
to File Excess Pages For Reply
4.11.16
In Support Of Defendants
Motion To Compel
92
Defendant's Reply in Support
of Defendant's Motion to
Compel Responses to
Defendant's First Set of
Discovery Requests to Plaintiff
Sealed
re‐filed as
DE 99
4.11.16
w/edits to
pg 9
8
Page 9
sealed by
DE 100
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 10 of 91
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
MOTION
DATE
FILED
93‐94
Declaration of Laura A.
Menninger in Support
Defendant's Reply in Support
of Defendant's Motion to
Compel Responses to
Defendant's First Set of
Discovery Requests to Plaintiff
4.11.16
94‐1
Exhibit D
4.13.16
99
Defendant's Revised Page 9 to
Defendant's Reply In Support
of Motion to Compel
4.15.16
Responses to Defendant's First
Set of Discovery Requests to
Plaintiff
100
Letter brief from Laura
Menninger, HMF re redacting
page 9 of DOC. 92
80
89
107
108
108‐1:2
Plaintiff's Motion for Paul G.
Cassell to Appear Pro Hac Vice
DOCKET # DOCKET #
DATE
4.15.16
Oral
Defts Obj
Ltr. 4.6.16, Argument,
4.21.16
4.5.16
89, 107, Minute
Entry
108, 108‐1
Plaintiff's Reply in Support of
Plaintiff's Motion for Paul G.
4.10.16
Cassell to Appear Pro Hac Vice
Defendant's Objection to
Plaintiff's Motion for Paul G.
Cassell to Appear Pro Hac Vice
4.20.16
and Plaintiff's Motion for
Bradley James Edwards to
Appear Pro Hac Vice
Declaration of Jeffrey S.
Pagliuca in Support of
Defendant's Objection to
Plaintiff's Motion for Paul G.
4.20.16
Cassell to Appear Pro Hac Vice
and Plaintiff's Motion for
Bradley James Edwards to
Appear Pro Hac Vice
Exhibits A‐B
4.20.16
9
SEALED
PREVIOUSLY
UNSEALED
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DOCKET
#
86
88
89
107
108
108‐1:2
113
114
114‐1
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
Plaintiff's Motion for Bradley
James Edwards to Appear Pro Hac 4.7.16
Vice
Defendant's RESPONSE in
Opposition Plaintiff's Motion
for Bradley James Edwards to
Appear Pro Hac Vice
Plaintiff's Reply in Support of
Plaintiff's Motion for Bradley
James Edwards to Appear Pro
Hac Vice
Defendant's Objection to
Plaintiff's Motion for Paul G.
Cassell to Appear Pro Hac Vice
and Plaintiff's Motion for
Bradley James Edwards to
Appear Pro Hac Vice
Declaration of Jeffrey S.
Pagliuca in Support of
Defendant's Objection to
Plaintiff's Motion for Paul G.
Cassell to Appear Pro Hac Vice
and Plaintiff's Motion for
Bradley James Edwards to
Appear Pro Hac Vice
Exhibits A‐B
Plaintiff's Letter Response re:
Plaintiff's Motion for Bradley
James Edwards to Appear Pro
Hac Vice
DECLARATION of Bradley
Edwards in Support Plaintiff's
Motion for Bradley James
Edwards to Appear Pro Hac
Vice
Exhibits 1‐3
DOCKET # DOCKET #
DATE
88, 89,
107, 108,
Oral
108‐1,
Argument
113, 114,
114‐1
4.8.16
4.10.16
4.20.16
4.20.16
4.20.16
4.21.16
4.21.16
4.21.16
10
4.21.16
SEALED
PREVIOUSLY
UNSEALED
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DOCKET
#
96
97
97‐1:8
110
111
111‐1:2
120
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
Plaintiff's Motion for Clarification
of Court's Order and For Forensic
Examination
DATE
FILED
DOCKET # DOCKET #
DATE
97, 97‐1,
110, 111,
111‐1,
4.13.16
120, 121,
122, 122‐
1, 126
SEALED
98
4.15.16
Sealed
6.20.16
Order
Declaration of Sigrid McCawley
in Support Plaintiff's Motion
for Clarification of Court's
4.13.16
Order and For Forensic
Examination
Exhibit 1‐8
4.13.16
Defendant's Response in
Opposition to Plaintiff's
Motion for Clarification of
4.21.16
Court's Order and For Forensic
Examination
DECLARATION of Laura A.
Menninger in Support of
Defendant's Response to
Plaintiff's Motion for
Clarification of Court's Order
and For Forensic Examination
4.21.16
Exhibits A‐B
4.21.16
Plaintiff's Letter Motion to Seal
Reply in Support of Plaintiff's
Motion for Clarification of
4.25.16
Court's Order and Forensic
Examination
125
4.26.16
121
Plaintiff's Reply in Support of
Plaintiff's Motion for
Clarification of Court's Order
and For Forensic Examination
4.25.16
Redacted
122
DECLARATION of Sigrid
McCawley in Support Plaintiff's
Reply in Support of Plaintiff's
4.25.16
Motion for Clarification of
Court's Order and For Forensic
Examination
Redacted
11
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 13 of 91
DOCKET
#
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
Exhibit 4:
122‐4
4.25.16
Redacted
122‐7
Exhibit 7: Maxwell depo
4.22.16
4.25.16
Sealed
122‐8
Exhibit 8: Maxwell depo
4.22.16
4.25.16
Sealed
126
Erika Perez Affidavit re.
Plaintiff's Reply in Support of
Plaintiff's Motion for
Clarification of Court's Order
and For Forensic Examination
4.28.16
101
Defendant's Motion to Compel
Plaintiff to Disclose Alleged "On‐
going Criminal Investigations by
Law Enforcement [sic]" or, In the
Alternative, to Stay Proceedings
4.18.16
102
Plaintiff's Response in
Opposition to Defendant's
Motion to Compel Plaintiff to
Disclose Alleged "On‐going
4.19.16
Criminal Investigations by Law
Enforcement [sic]" or, In the
Alternative, to Stay
Proceedings
103
Declaration of Sigrid McCawley
to Plaintiff's Response in
Opposition to Defendant's
Motion to Compel Plaintiff to
Disclose Alleged "On‐going
4.19.16
Criminal Investigations by Law
Enforcement [sic]" or, In the
Alternative, to Stay
Proceedings
103‐1:3
112
Exhibits 1‐3
Plaintiff's Motion for Paul G.
Cassell to Appear Pro Hac Vice .
4.22.16
102, 103,
103‐1
Sealed
Order
6.20.16
116, 117,
117‐1
119
4.22.16
12
PREVIOUSLY
UNSEALED
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DOCKET
#
116
117
117‐1:2
115
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Defendant's Memorandum of
Law in Opposition to Plaintiff's
Motion for Paul G. Cassell to
4.21.16
Appear Pro Hac Vice and
Plaintiff's Motion for Bradley
James Edwards to Appear Pro
Hac Vice
DECLARATION of Menninger in
Support of Defendant's
Memorandum of Law in
Opposition to Plaintiff's
Motion for Paul G. Cassell to
4.21.16
Appear Pro Hac Vice and
Plaintiff's Motion for Bradley
James Edwards to Appear Pro
Hac Vice
Exhibits A‐B
4.21.16
Plaintiff's Motion for Bradley J.
Edwards to Appear Pro Hac Vice .
Defendant's Memorandum of
Law in Opposition to Plaintiff's
Motion for Paul G. Cassell to
116
Appear Pro Hac Vice and
Plaintiff's Motion for Bradley
James Edwards to Appear Pro
Hac Vice
DECLARATION of Menninger in
Support of Defendant's
Memorandum of Law in
Opposition to Plaintiff's
Motion for Paul G. Cassell to
117
Appear Pro Hac Vice and
Plaintiff's Motion for Bradley
James Edwards to Appear Pro
Hac Vice
117‐1:2
Exhibits A‐B
Defendant's Unopposed Motion
for Adjournment of Hearing on
124
Plaintiff's Motion for Forensic
Examination
4.21.16
116, 117,
117‐1
118
4.22.16
127
4.28.16
4.21.16
4.21.16
4.21.16
4.27.16
13
SEALED
PREVIOUSLY
UNSEALED
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Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
128
No
Docket
MOTION
DATE
FILED
Plaintiff's Notice of Submission of
130, 131,
Law Enforcement Materials for In 4.28.16
132, 132‐1
Camera Review
In Camera Submission of Law
Enforcement Materials
130
131
Plaintiff's Response to
Defendant's Objection to
Plaintiff's Notice of Submission 5.1.16
of Law Enforcement Materials
for In Camera Review
132
Declaration of Sigrid McCawley
in Support of Plaintiff's
Response to Defendant's
Objection to Plaintiff's Notice 5.1.16
of Submission of Law
Enforcement Materials for In
Camera Review
138
139
140
140‐1
Exhibit 1
SEALED
5.2.16
Sealed
5.1.16
Plaintiff's Letter Motion to Seal
Brief in Support of the Privilege
5.4.16
Claimed for In Camera Submission
146
Plaintiff's Brief in Support of the
140,140‐1,
Privilege Claimed for In Camera
5.4.16
141
Submission
Declaration of Sigrid McCawley
in Support of Plaintiff's Brief in
Support of the Privilege
5.4.16
Claimed for In Camera
Submission
Exhibit 1
134
4.28.16
Defendant's Objection to
Plaintiff's Notice of Submission
4.29.16
of Law Enforcement Materials
for In Camera Review
132‐1
DOCKET # DOCKET #
DATE
5.6.16
Redacted
Sealed‐In
Camera
5.4.16
14
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DOCKET
#
141
No
Docket
143
144
144‐1
144‐2
144‐4
144‐5
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
Plaintiff's Notice of In Camera
Submission Log of Law
Enforcement Materials
5.4.16
Plaintiff's In Camera Log
5.4.16
Plaintiff's Motion to Compel
Defendant to Answer Deposition
Questions
DOCKET # DOCKET #
DATE
Sealed‐In
Camera
142, 144,
144‐1,
149, 150,
5.5.16
150‐1,
151, 152,
153, 153‐1
Sealed
Order
6.20.16
Declaration of Sigrid McCawley
in Support Plaintiff's Motion to
5.5.16
Compel Defendant to Answer
Deposition Questions
Exhibit 1:
Exhibit 2:
Exhibit 4:
Exhibit 5:
SEALED
Redacted
Redacted
5.5.16
Sealed
5.5.16
Sealed
5.5.16
Sealed
5.5.16
Sealed
5.5.16
Sealed
5.5.16
Sealed
Exhibit 6:
144‐6
144‐7
142
149
Exhibit 7:
Plaintiff's Letter Motion to Seal
Motion to Compel Defendant
5.5.16
to Answer Deposition
Questions
Defendant's Response in
Opposition to Plaintiff's
Motion to Compel Defendant 5.10.16
to Answer Deposition
Questions
145
5.6.16
Redacted
15
PREVIOUSLY
UNSEALED
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DOCKET
#
150
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DECLARATION of Jeffrey S.
Pagliuca in Support of
Defendant's Response in
Opposition to Plaintiff's
Motion to Compel Defendant
to Answer Deposition
Questions
DATE
FILED
DOCKET # DOCKET #
DATE
5.10.16
SEALED
Redacted
Exhibit A:
150‐1
151
152
153
Sealed
5.10.16
Plaintiff's Letter Motion to Seal
Plaintiff's Reply In Support of
her Motion to Compel
5.11.16
Defendant Ghislaine Maxwell
to Answer Deposition
Questions
Plaintiff's Reply In Support of
her Motion to Compel
Defendant Ghislaine Maxwell 5.11.16
to Answer Deposition
Questions
163
5.26.16
Redacted
Declaration of Sigrid McCawley
in Support Plaintiff's Reply In
Support of her Motion to
5.11.16
Compel Defendant Ghislaine
Maxwell to Answer Deposition
Questions
Redacted
Exhibit 1:
153‐1
5.11.16
Sealed
16
PREVIOUSLY
UNSEALED
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Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
155
156
156‐5
156‐10
MOTION
Defendant's Motion to Compel
Non‐Privileged Documents
DATE
FILED
DOCKET # DOCKET #
DATE
156, 156‐
1, 158,
177, 179,
5.20.16
180, 180‐
1, 191,
192, 192‐1
Sealed
Order
6.20.16
Declaration of Laura A.
Menninger in Support
5.20.16
Defendant's Motion to Compel
Non‐Privileged Documents
Exhibit E:
Exhibit J:
SEALED
Redacted
Redacted
5.20.16
158
5.23.16
Sealed
5.20.16
158
5.23.16
Sealed
183
5.31.16
158
Endorsed Letter addressed to
Judge Robert W. Sweet from
Laura A. Menninger dated
5/20/2016 re: Request to file
Confidential information
Under Seal
177
Plaintiff's Letter Motion to Seal
Response in Opposition to
5.31.16
Defendant's Motion to Compel
Non‐Privileged Documents
179
Plaintiff's Response in
Opposition to Defendant's
Motion to Compel Non‐
Privileged Documents
5.31.16
Redacted
180
Declaration of Meredith L.
Schultz in Support of Response
in Opposition to Defendant's 5.31.16
Motion to Compel Non‐
Privileged Documents
Redacted
5.23.16
Exhibit 1:
180‐1
5.31.16
Sealed
17
PREVIOUSLY
UNSEALED
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Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
Exhibit 2:
180‐2
180‐3
180‐5
Exhibit 3:
Exhibit 5:
5.31.16
Sealed
5.31.16
Sealed
5.31.16
Sealed
5.31.16
Sealed
6.6.16
Redacted
6.6.16
Redacted
6.6.16
Sealed
6.6.16
Sealed
6.6.16
Sealed
Exhibit 6:
180‐6
191
192
Defendant's Reply In Support
of Defendant's Motion to
Compel Non‐Privileged
Documents
Declaration of Laura A.
Menninger in Support
Defendant's Reply In Support
of Defendant's Motion to
Compel Non‐Privileged
Documents
Exhibit K:
192‐1
Exhibit L:
192‐2
Exhibit M:
192‐3
160
Plaintiff's Motion for Leave to
Serve Three Deposition
Subpoenas by Means Other than
Personal Service
5.25.16
159, 161,
161‐1, 175
18
Sealed
Order
6.20.16
Redacted
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 20 of 91
DOCKET
#
161
161‐2
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
Declaration of Sigrid McCawley
in Support of Plaintiff's Motion
for Leave to Serve Three
5.25.16
Deposition Subpoenas by
Means Other than Personal
Service
Exhibit 2:
159
Plaintiff's Letter Motion to Seal
Plaintiff's Motion for Leave to
Serve Three Deposition
5.25.16
Subpoenas by Means Other
than Personal Service
175
Plaintiff's Notice of
Acceptance of Service re:
Plaintiff's Motion for Leave to
Serve Three Deposition
Subpoenas by Means Other
Than Personal Service
164
165
DOCKET # DOCKET #
DATE
Redacted
Sealed
168
5.27.16
Sealed
Order
6.20.16
5.27.16
165, 165‐
1, 176,
Defendant's Motion to Compel all
181, 182,
Attorney‐Client Communications
5.26.16 184, 185,
and Work Product Put At Issue by
185‐1,
Plaintiff and Her Attorneys
193, 194,
194‐1
Declaration of Laura A.
Menninger in Support of
Defendant's Motion to Compel
all Attorney‐Client
5.26.16
Communications and Work
Product Put At Issue by
Plaintiff and Her Attorneys
Exhibit C:
165‐3
SEALED
Redacted
Redacted
5.26.16
Sealed
5.26.16
Sealed
Exhibit H:
165‐8
19
PREVIOUSLY
UNSEALED
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Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
PREVIOUSLY
UNSEALED
Exhibit J:
165‐10
165‐11
176
181
182
Exhibit K:
5.26.16
Sealed
5.26.16
Sealed
Plaintiff's Motion for Extension
of Time to Respond to 24‐Page
5.27.16
Motion on Attorney‐Client
Waiver Issues
Plaintiff's Letter Motion to Seal
Plaintiff's Response to
Defendant's Motion to Compel
all Attorney‐Client
6.1.16
Communications and Work
Product Put At Issue by
Plaintiff and Her Attorneys
Plaintiff's Motion for Leave to
6.1.16
File Excess Pages
188
6.6.16
186
6.1.16
184
Plaintiff's Response In
Opposition to Defendant's
Motion to Compel all Attorney‐
6.1.16
Client Communications and
Work Product Put At Issue by
Plaintiff and Her Attorneys
Redacted
185
Declaration of Sigrid S.
McCawley in Support of
Plaintiff's Response In
Opposition to Defendant's
6.1.16
Motion to Compel all Attorney‐
Client Communications and
Work Product Put At Issue by
Plaintiff and Her Attorneys
Redacted
Exhibit 2:
185‐2
Sealed
6.1.16
20
Redacted
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 22 of 91
DOCKET
#
185‐3
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
Exhibit 3:
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
6.1.16
Sealed
6.1.16
Sealed
6.1.16
Sealed
6.1.16
Sealed
Exhibit 11:
185‐11
185‐13
185‐14
Exhibit 13:
Exhibit 14:
21
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 23 of 91
DOCKET
#
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
Exhibit 15:
185‐15
6.1.16
Sealed
6.1.16
Sealed
Exhibit 16:
185‐16
193
194
194‐3
172
Defendant's Reply In Support
of Defendant's Motion to
Compel all Attorney‐Client
Communications and Work
Product Put At Issue by
Plaintiff and Her Attorneys
Declaration of Laura A.
Menninger in Support
Defendant's Reply In Support
of Defendant's Motion to
Compel all Attorney‐Client
Communications and Work
Product Put At Issue by
Plaintiff and Her Attorneys
Exhibit S:
6.6.16
6.6.16
Redacted
6.6.16
Sealed by
Doc. #196
171, 173,
173‐1,
189, 190,
Plaintiff's Motion to Exceed
190‐1,
5.27.16
Presumptive Ten Deposition Limit
202, 203,
204‐1,
211, 212,
212‐1, 224
22
Sealed
Order
6.20.16
Redacted
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 24 of 91
DOCKET
#
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
171
Plaintiff's Letter Motion to Seal
Plaintiffs Motion to Exceed
5.27.16
Presumptive Ten Deposition
Limit
173
Declaration of Sigrid McCawley
in Support of Plaintiffs Motion
5.27.16
to Exceed Presumptive Ten
Deposition Limit
173‐5
Exhibit 5:
DOCKET # DOCKET #
DATE
178
SEALED
PREVIOUSLY
UNSEALED
5.31.16
Redacted
Sealed
5.27.16
173‐6
189
190
190‐1
202
203
Exhibit 6:
Sealed
5.27.16
Defendant Response In
Opposition to Plaintiff's
6.6.16
Motion to Exceed Presumptive
Ten Deposition Limit
Declaration of Laura A.
Menninger in Defendant
Response In Opposition to
Plaintiff's Motion to Exceed
Presumptive Ten Deposition
Limit
Exhibit A:
Redacted
6.6.16
Redacted
Sealed
6.6.16
Plaintiff's Letter Motion to Seal
Plaintiff's Reply In Support of
Plaintiff's Motion to Exceed
6.13.16
Presumptive Ten Deposition
Limit
Plaintiff's Reply In Support of
Plaintiff's Motion to Exceed
6.13.16
Presumptive Ten Deposition
Limit
209
6.13.16
Redacted
23
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 25 of 91
DOCKET
#
204
204‐1
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Declaration of Sigrid S.
McCawley in Support Plaintiff's
Reply In Support of Plaintiff's 6.13.16
Motion to Exceed Presumptive
Ten Deposition Limit
Exhibit 1:
204‐3
Sealed
6.13.16
211
212
212‐1
Sealed
6.13.16
Exhibit 3:
6.13.16
Sealed
Plaintiff's Corrected Reply In
Support of Plaintiff's Motion to
6.14.16
Exceed Presumptive Ten
Deposition Limit
DECLARATION of Meredith L
Schultz in Support of Plaintiff's
Corrected Reply In Support of
6.14.16
Plaintiff's Motion to Exceed
Presumptive Ten Deposition
Limit
Exhibit 1:
6.14.16
Redacted
Redacted
Sealed
Exhibit 2:
212‐2
212‐3
Sealed
6.14.16
Exhibit 3:
PREVIOUSLY
UNSEALED
redacted
Exhibit 2:
204‐2
SEALED
6.14.16
Sealed
24
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 26 of 91
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
224
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Plaintiff's Amended Reply In
Support of Plaintiff's Motion to
6.17.16
Exceed Presumptive Ten
Deposition Limit
Redacted
200, 200‐
1, 228,
Oral
Plaintiff's Motion for Extension of
199
6.10.16 229, 229‐
Argument
Time to Complete Depositions
1, 248,
249, 249‐1
Declaration of Sigrid S.
McCawley in Support of
200
Plaintiff's Motion for Extension 6.10.16
of Time to Complete
Depositions
200‐1:2
Exhibits 1‐2
6.10.16
Defendant's Response In
Opposition to Plaintiff's
228
6.20.16
Motion for Extension of Time
to Complete Depositions
Declaration of Laura
Menninger In Support of
Defendant's Response In
229
6.20.16
Opposition to Plaintiff's
Motion for Extension of Time
to Complete Depositions
Exhibit A:
229‐1
6.20.16
Exhibit B:
229‐2
6.20.16
229‐4
Exhibit D:
SEALED
6.23.16
Redacted
Redacted
Sealed
Sealed
Sealed
6.20.16
Exhibit J:
229‐10
6.20.16
Sealed
6.20.16
Sealed
Exhibit K:
229‐11
248
Plaintiff's Reply In Support of
Plaintiff's Motion for Extension
6.22.16
of Time to Complete
Depositions
Redacted
25
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 27 of 91
DOCKET
#
249
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Declaration of Sigrid McCawley
In Support of Plaintiff's Reply
In Support of Plaintiff's Motion 6.22.16
for Extension of Time to
Complete Depositions
SEALED
Redacted
Exhibit 4:
249‐4
249‐13
Exhibit 13:
6.22.16
Sealed
6.22.16
Sealed
6.22.16
Sealed
6.22.16
Sealed
Exhibit 14:
249‐14
Exhibit 15:
249‐15
Plaintiff's Motion to Maintain
Confidentiality Designation
Plaintiff's Motion for Protective
Order re Subpoena to Apple, Inc.
205 Seeking Production of All of Ms.
Giuffre's Sent and Received Emails
and Relevant Data
Declaration of Meredith L.
Schultz in Support Plaintiff's
Motion for Protective Order re
Subpoena to Apple, Inc.
206
Seeking Production of All of
Ms. Giuffre's Sent and
Received Emails and Relevant
Data
206‐1:2
Exhibits 1‐2
Plaintiff's Motion for Protective
Order re the Subpoena to
Microsoft Corporation Seeking
207
Production of All of Ms. Giuffre's
Sent and Received Emails and
Related Data
201
6.13.16
Minute
Entry
6.23.16
6.13.16 206, 206‐1
Minute
Entry
6.23.16
Minute
Entry
6.23.16
6.13.16
6.13.16
6.13.16 208, 208‐1
26
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 28 of 91
DOCKET
#
208
208‐1:2
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
Declaration of Meredith L
Schultz in Support of Plaintiff's
Motion for Protective Order re
the Subpoena to Microsoft
6.13.16
Corporation Seeking
Production of All of Ms.
Giuffre's Sent and Received
Emails and Related Data
Exhibits 1‐2
6.13.16
216, 216‐
1, 217,
503
217‐1,
Sealed/
Sharon Churcher Motion to Quash
215
6.15.16 218, 246,
Redacted
subpoena
247, 247‐
Opinion
1, 262,
263
Declaration of Sharon
Churcher in Support of Sharon
6.15.16
216
Churcher Motion to Quash
Subpoena
216‐1:8
Exhibits 1‐8
6.15.16
DECLARATION of Laura R.
Handman in Support of Sharon
6.15.16
217
Churcher Motion to Quash
Subpoena
217‐1
Exhibit A
6.15.16
Churcher Memorandum of
Law In Support of Sharon
218
6.15.16
Churcher Motion to Quash
Subpoena
9.6.16
246
Defendant's Response In
Opposition to Sharon Churcher 6.22.16
Motion to Quash subpoena
Sealed
247
Declaration of Laura
Menninger In Support of
Defendant's Response In
6.22.16
Opposition to Sharon Churcher
Motion to Quash subpoena
Redacted
247‐2
Exhibit B:
Sealed
6.22.16
27
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 29 of 91
DOCKET
#
247‐3
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
Exhibit C:
DATE
FILED
6.22.16
262
Churcher Letter Motion for
Leave to File Reply Brief in
Further Support of Motion to
Quash
263
Churcher Reply Brief in Further
7.5.16
Support of Motion to Quash
221
222
223
223‐1:7
Epstein Motion to Quash
Subpoena or in the Alternative
Modify Subpoena and for a
Protective Order
Epstein Memorandum of Law
In Support of Epstein Motion
to Quash Subpoena or in the
Alternative Modify Subpoena
and for a Protective Order
Declaration of Gregory L. Poe
in Support of Epstein Motion
to Quash Subpoena or in the
Alternative Modify Subpoena
and for a Protective Order
Exhibits 1‐7
222, 223,
223‐1,
233, 234,
6.16.16
234‐1,
238, 239,
239‐1
6.16.16
6.16.16
6.16.16
233
234
Declaration of Sigrid McCawley
In Support of Plaintiff's
Response In Opposition to
Epstein Motion to Quash
6.20.16
Subpoena or in the Alternative
Modify Subpoena and for a
Protective Order
SEALED
Sealed
7.5.16
Plaintiff's Response In
Opposition to Epstein Motion
to Quash Subpoena or in the
Alternative Modify Subpoena
and for a Protective Order
234‐1:7
DOCKET # DOCKET #
DATE
6.20.16
Exhibits 1‐5
28
275
7.11.16
252
6.24.16
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 30 of 91
DOCKET
#
238
239
239‐1
230
235
235‐4
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
Epstein Reply In Support of
Epstein Motion to Quash
Subpoena or in the Alternative 6.21.16
Modify Subpoena and for a
Protective Order
DECLARATION of Gregory L.
Poe in Support in of Reply to
Epstein's Motion to Quash
6.21.16
Subpoena or in the Alternative
Modify Subpoena and for a
Protective Order
6.21.16
Exhibit 1
Defendant's Motion to Reopen
Deposition of Plaintiff Virginia
Giuffre
235, 235‐
1, 256,
259, 260,
6.20.16
260‐1,
267, 268,
268‐1
Declaration of Laura
Menninger In Support of
Defendant's Motion to Reopen 6.20.16
Deposition of Plaintiff Virginia
Giuffre
Exhibit D:
Sealed
Opinion
8.30.16
Redacted
Redacted
Sealed
6.20.16
Exhibit E:
235‐5
Sealed
6.20.16
29
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 31 of 91
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
Exhibit F:
235‐6
235‐7
Exhibit G:
6.20.16
Sealed
6.20.16
Sealed
6.20.16
Sealed
6.20.16
Sealed
6.20.16
Sealed
6.20.16
Sealed
6.20.16
Sealed
Exhibit H:
235‐8
235‐9
Exhibit I:
Exhibit K:
235‐11
235‐13
235‐14
Exhibit M:
Exhibit N:
256
Plaintiff's Letter Motion to Seal
Plaintiff's Response In
Opposition to Defendant's
6.28.16
Motion to Reopen Deposition
of Plaintiff Virginia Giuffre
259
Plaintiff's Response In
Opposition to Defendant's
Motion to Reopen Deposition
of Plaintiff Virginia Giuffre
260
Declaration of Sigrid McCawley
In Support of Plaintiff's
Response In Opposition to
6.28.16
Defendant's Motion to Reopen
Deposition of Plaintiff Virginia
Giuffre
260‐1
Exhibits 1:
273 7.13.16
421
9.6.16
6.28.16
Redacted
6.28.16
Sealed
30
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 32 of 91
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
Exhibit 2:
6.28.16
260‐2
267
268
Sealed
Defendant's Reply In Support
of Defendant's Motion to
7.8.16
Reopen Deposition of Plaintiff
Virginia Giuffre
Declaration of Laura
Menninger In Support of Reply
to Defendant's Motion to
7.8.16
Reopen Deposition of Plaintiff
Virginia Giuffre
Redacted
Redacted
Exhibit O:
268‐1
268‐2
7.8.16
Exhibit P:
Sealed
Sealed
7.8.16
232, 232‐
1, 255,
257, 258,
Defendant's Motion for Rule 37(b)
258‐1,
& (c) for Failure to Comply with
261, 269,
6.20.16
231
Court Order and Sanctions for
270, 270‐
Failure to Comply with Rule 26(a)
1, 272,
272‐1,
303, 304,
304‐1, 313
Declaration of Laura
Menninger In Support of
Defendant's Motion for
232
Sanctions 37(b) & (c) for
6.20.16
Failure to Comply with Court
Order and Failure to Comply
with Rule 26(a)
Exhibit G:
232‐7
6.20.16
31
Sealed
8.30.16
Opinion
Redacted
Redacted
Sealed
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 33 of 91
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
232‐8
232‐9
232‐10
232‐11
255
257
258
258‐1
MOTION
Exhibit H:
Exhibit I:
Exhibit J:
Exhibit K:
DATE
FILED
DOCKET # DOCKET #
DATE
6.20.16
Sealed
6.20.16
Sealed
6.20.16
Sealed
6.20.16
Sealed
Plaintiff's Letter Motion to Seal
Plaintiff's Response In
Opposition to Defendant's
Motion for Sanctions 37(b) & 6.28.16
(c) for Failure to Comply with
Court Order and Failure to
Comply with Rule 26(a)
Plaintiff's Response In
Opposition to Defendant's
Motion for Sanctions 37(b) &
6.28.16
(c) for Failure to Comply with
Court Order and Failure to
Comply with Rule 26(a)
Declaration of Sigrid McCawley
In Support of Plaintiff's
Response In Opposition to
Defendant's Motion for
6.28.16
Sanctions 37(b) & (c) for
Failure to Comply with Court
Order and Failure to Comply
with Rule 26(a)
Exhibit 1:
6.28.16
266
7.7.16
Redacted
Redacted
Sealed
Exhibit 2:
258‐2
SEALED
Sealed
6.28.16
32
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 34 of 91
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
258‐3
MOTION
Exhibit 3:
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
PREVIOUSLY
UNSEALED
Sealed
6.28.16
Exhibit 4:
258‐4
6.28.16
Sealed
6.28.16
Sealed
6.28.16
Sealed
6.28.16
Sealed
6.28.16
Sealed
Exhibit 5:
258‐5
258‐6
258‐7
Exhibit 6:
Exhibit 7:
Exhibit 8:
258‐8
Exhibit 9:
258‐9
Sealed
6.28.16
258‐10
Exhibit 10:
6.28.16
Sealed
261
Plaintiff's Corrected Response
In Opposition to Defendant's
Motion for Sanctions 37(b) &
(c) for Failure to Comply with
Court Order and Failure to
Comply with Rule 26(a)
7.1.16
Redacted
269
Defendant's Reply In Support
of Defendant's Motion for
Sanctions 37(b) & (c) for
Failure to Comply with Court
Order and Failure to Comply
with Rule 26(a)
7.8.16
Redacted
33
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 35 of 91
DOCKET
#
270
270‐1
270‐2
270‐3
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Declaration of Laura
Menninger In Support of Reply
to Defendant's Motion for
Sanctions 37(b) & (c) for
7.8.16
Failure to Comply with Court
Order and Failure to Comply
with Rule 26(a)
Exhibit O:
7.8.16
Exhibit P:
Exhibit Q:
SEALED
Redacted
Sealed
7.8.16
Sealed
7.8.16
Sealed
7.8.16
Sealed
7.8.16
Sealed
Exhibit R:
270‐4
Exhibit T:
270‐6
272‐1
Plaintiff's Sur‐Reply to
Defendant's Motion for
Sanctions 37(b) & (c) for
Failure to Comply with Court
Order and Failure to Comply
with Rule 26(a)
7.12.16
Redacted
272‐2
Declaration of Sigrid McCawley
in Sur‐reply in Response to
7.12.16
Defendant's Reply in Support
of Motion for Sanctions
Redacted
272‐3
272‐4
Exhibit 1:
Exhibit 2:
7.12.16
Sealed
7.12.16
Sealed
7.12.16
Sealed
Exhibit 3:
272‐5
34
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 36 of 91
DOCKET
#
272‐6
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
Exhibit 4:
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
7.12.16
Sealed
7.12.16
Sealed
7.12.16
Sealed
7.12.16
Sealed
7.12.16
Sealed
7.25.16
Redacted
7.25.16
Redacted
7.25.16
Sealed
7.25.16
Sealed
7.25.16
Sealed
Exhibit X: 7.14.16 ltr to Schultz
from Menninger re medical
7.25.16
records
Sealed
Exhibit 5:
272‐7
272‐8
Exhibit 6:
Exhibit 7:
272‐9
272‐10
303
304
Exhibit 8:
Defendant's Sur Sur‐Reply to
Defendant's Reply In Support
of Defendant's Motion for
Sanctions 37(b) & (c) for
Failure to Comply with Court
Order and Failure to Comply
with Rule 26(a)
Declaration of Laura
Menninger In Support of
Defendant's Sur Sur‐Reply to
Defendant's Reply In Support
of Defendant's Motion for
Sanctions 37(b) & (c) for
Failure to Comply with Court
Order and Failure to Comply
with Rule 26(a)
Exhibit U:
304‐1
304‐2
304‐3
304‐4
Exhibit V:
Exhibit W:
35
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 37 of 91
DOCKET
#
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
313
Plaintiff's Notice of
Supplemental Authority In
Support of Plaintiff's Response
In Opposition to Defendant's
7.29.16
Motion for Sanctions 37(b) &
(c) for Failure to Comply with
Court Order and Failure to
Comply with Rule 26(a)
313‐1
Exhibit 1: Plaintiff's
Supplemental Resonses (sic) to
7.29.16
Defendant's Interrogatories 12
and 13 dated 7.29.16
279
Plaintiff's Motion for Adverse
Inference Instruction
DOCKET # DOCKET #
DATE
SEALED
Sealed
280, 280‐
1, 287,
288‐1,
289, 290,
291, 291‐
7.13.16
1, 300,
300‐1,
337, 338,
338‐1,
353, 375
36
496
Sealed
11.2.16
Opinion
Redacted
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 38 of 91
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
280
280‐1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Declaration of Meredith
Schultz in Support of Plaintiff's
7.13.16
Motion for Adverse Inference
Instruction
Exhibit 1: 6.30.16 Schultz ltr re
7.13.16
ESI search
SEALED
Sealed
Exhibit 2:
280‐2
7.13.16
Sealed
288
288‐1
288‐2
289
290
Defendant's Motion to Strike
Plaintiff Virginia Giuffre's
Motion for an Adverse
Inference Instruction Pursuant
to Rule 37(b), (e), and (f),
Fed.R.Civ.P
Exhibit 1: 7.14.16 Pagliuca
email to Edwards
Exhibit 2: 7.14.16 Menninger
email to Schultz
Plaintiff's Letter Motion to Seal
Response In Opposition to
Defendant's Motion to Strike
Plaintiff Virginia Giuffre's
Motion for an Adverse
Inference Instruction Pursuant
to Rule 37(b), (e), and (f),
Fed.R.Civ.P
Plaintiff's Letter Motion
Response In Opposition to
Defendant's Motion to Strike
Plaintiff Virginia Giuffre's
Motion for an Adverse
Inference Instruction Pursuant
to Rule 37(b), (e), and (f),
Fed.R.Civ.P
288‐1,
289, 290,
7.15.16 291, 291‐
1, 300,
300‐1
301
7.22.16
7.15.16
Redacted
7.15.16
Redacted
7.18.16
297
7.18.16
7.19.16
Redacted
37
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 39 of 91
DOCKET
#
291
291‐1
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
Exhibit 1: 7.13.16 email
from Menninger
291‐2
300
300‐1:2
337
338
338‐2
DOCKET # DOCKET #
DATE
Declaration of Meredith
Schultz In Support of Plaintiff's
Letter Motion Response In
Opposition to Defendant's
Motion to Strike Plaintiff
7.18.16
Virginia Giuffre's Motion for an
Adverse Inference Instruction
Pursuant to Rule 37(b), (e), and
(f), Fed.R.Civ.P
Exhibit 2: 6.8.16 Ltr
from Schultz
291‐3
DATE
FILED
MOTION
Exhibit 3: 6.13.16 ltr
from Schultz
SEALED
Sealed
7.18.16
Sealed
7.18.16
Sealed
7.18.16
Sealed
Defendant's Letter Motion to
Strike Plaintiff Virginia Giuffre's
Motion for an Adverse Inference 7.22.16
Instruction Pursuant to Rule 37(b),
(e), and (f), Fed.R.Civ.P
300‐1
Exhibits 1‐2
7.22.16
Plaintiff's Letter Motion to Seal
Plaintiff's Supplement to
Motion for Adverse Inference 8.8.16
Instruction Based on New
Information
Plaintiff's Supplement to
Motion for Adverse Inference
8.8.16
Instruction Based on New
Information
Exhibit 1:
8.8.16
Sealed
Opinion
11.2.16
Redacted
Sealed
38
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 40 of 91
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
Exhibit 2:
338‐3
8.8.16
Sealed
8.8.16
Sealed
338‐4
338‐5
338‐6
338‐7
338‐8
338‐9
338‐10
Exhibit 3:
Exhibit 4:
Exhibit 5:
Exhibit 6:
Exhibit 7:
Exhibit 8:
Exhibit 9:
8.8.16
Sealed
8.8.16
Sealed
8.8.16
Sealed
8.8.16
Sealed
8.8.16
Sealed
353
Defendant's Motion to Strike
Plaintiff's Supplement to
Motion for Adverse Inference
Instruction Based on New
Information
8.10.16
375
Plaintiff's Response In
Opposition to Defendant's
Motion to Strike Plaintiff's
Supplement to Motion for
Adverse Inference Instruction
Based on New Information
8.17.16
306
Sealed
8.8.16
305, 307,
Plaintiff's Motion for Extension of
307‐1,
Time to Complete Discovery to
7.25.16
333, 343,
Serve and Depose Ross Gow
443, 443‐1
39
301
7.22.16
Redacted
446
9.27.16
Redacted
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 41 of 91
DOCKET
#
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
305
Plaintiff's Letter to Seal
Plaintiff's Motion for Extension
7.25.16
of Time to Serve Process Upon
Ross Gow
307
Declaration of Meredith
Schultz In Support of Plaintiff's
Motion for Extension of Time 7.25.16
to Complete Discovery to
Serve and Depose Ross Gow
307‐7
Exhibit 7: Defendant's
Response to Plaintiff's First Set 7.25.16
of Requests for Admission
307‐8
333
343
DOCKET # DOCKET #
DATE
319
7.30.16
Redacted
Exhibit 8: Maxwell's initial Rule
7.25.16
26 disclosures
Defendant's Response In
Opposition to Plaintiff's
Motion for Extension of Time 8.4.16
to Complete Discovery to
Serve and Depose Ross Gow
Sealed
Sealed
Plaintiff's Reply In Support of
Plaintiff's Motion for Extension
8.9.16
of Time to Complete Discovery
to Serve and Depose Ross Gow
Plaintiff Notice of Related
Action in the United Kingdom
443
to Obtain the Deposition of
Defendant's Press Agent, Ross
Gow
443‐1:2
Exhibits 1‐2
Plaintiff's Motion for Sanctions
and finding Civil Contempt against
308
Sarah Kellen for Ignoring
Subpoena
Declaration of Meredith
Schultz In Support of Plaintiff's
Motion for Sanctions and
309
finding Civil Contempt against
Sarah Kellen for Ignoring
Subpoena
309‐1:5
Exhibits 1‐5
SEALED
9.22.16
9.22.16
7.25.16 309, 309‐1
7.25.16
7.25.16
40
433
9.15.16
PREVIOUSLY
UNSEALED
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DOCKET
#
310
311
311‐1:5
433
734
315
316
316‐1
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Plaintiff's Motion for Sanctions
311, 311‐
and finding Civil Contempt against
7.25.16 1, 433,
Nadia Marcinkova for Ignoring
734
Subpoena
433 9.15.16
757
3.20.17
Exhibits 1‐5
7.25.16
ENDORSED LETTER addressed
to Judge Robert W. Sweet
9.16.16
from Sigrid S. McCawley dated
9/13/2016
Nadia Marcinkova Consent
Motion to Vacate 433
endorsed letter Stipulation and
[Proposed] Order Vacating Civil 3.17.17
Contempt Finding and Order as
to Non‐Party Nadia
Marcinkova
316, 339,
Plaintiff's Motion to Enforce Court
340, 340‐
Order and Direct Defendant to
7.29.16
1, 368,
Answer Depo Questions
369, 369‐1
Declaration of Meredith
Schultz In Support of Plaintiff's
Motion to Enforce Court Order 7.29.16
and Direct Defendant to
Answer Depo Questions
Exhibit 1:
Exhibit 4:
Redacted
Sealed
7.29.16
Sealed
7.29.16
Exhibit 3:
496
Sealed
11.2.16
Opinion
Redacted
Exhibit 2:
316‐4
PREVIOUSLY
UNSEALED
Declaration of Meredith
Schultz In Support of Plaintiff's
Motion for Sanctions and
7.25.16
finding Civil Contempt against
Nadia Marcinkova for Ignoring
Subpoena
316‐2
316‐3
SEALED
Sealed
7.29.16
Sealed
7.29.16
41
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DOCKET
#
316‐5
316‐6
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
Exhibit 5:
Exhibit 6: 0.16 Order from
Judge Sweet
Exhibit 7:
316‐7
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
7.29.16
Sealed
7.29.16
Sealed
7.29.16
Sealed
7.29.16
Sealed
Exhibit 8:
316‐8
339
340
340‐1
Defendant's Response In
Opposition to Plaintiff's
Motion to Enforce Court Order 8.8.16
and Direct Defendant to
Answer Depo Questions
Declaration of Jeffrey Pagliuca
In Support of Defendant's
Response In Opposition to
Plaintiff's Motion to Enforce
8.8.16
Court Order and Direct
Defendant to Answer Depo
Questions
Exhibit A:
8.8.16
Redacted
Redacted
Sealed
Exhibit C:
340‐3
340‐4
8.8.16
Sealed
Exhibit D:
42
PREVIOUSLY
UNSEALED
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Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
PREVIOUSLY
UNSEALED
Exhibit E:
340‐5
Exhibit F:
340‐6
Exhibit G:
340‐7
Exhibit H:
340‐8
340‐9
Exhibit I:
8.8.16
Sealed
368
Plaintiff's Reply In Support of
Motion to Enforce Court Order
8.12.16
and Direct Defendant to
Answer Depo Questions
Redacted
369
Declaration of Sigrid McCawley
In Support of Plaintiff's Reply
to Motion to Enforce Court
8.12.16
Order and Direct Defendant to
Answer Depo Questions
Redacted
369‐1
369‐2
Exhibit 1:
Sealed
8.12.16
Exhibit 2:
8.12.16
Sealed
8.12.16
Sealed
Exhibit 3:
369‐3
43
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DOCKET
#
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Exhibit 4:
369‐4
SEALED
Sealed
8.12.16
Exhibit 5:
369‐6
369‐7
369‐8
Sealed
8.12.16
369‐5
Exhibit 6:
Exhibit 7:
Exhibit 8:
Sealed
8.12.16
Sealed
8.12.16
Sealed
8.12.16
Exhibit 9:
369‐9
369‐10
Sealed
8.12.16
Exhibit 10:
8.12.16
Sealed
Exhibit 11:
369‐11
Sealed
8.12.16
Exhibit 12:
369‐12
369‐13
369‐14
Sealed
8.12.16
Exhibit 13:
Exhibit 14:
Sealed
8.12.16
8.12.16
Sealed
8.12.16
Sealed
Exhibit 15:
369‐15
Exhibit 16:
369‐16
320
Sealed
8.12.16
Defendant's Submission Regarding
"Search Terms" And Notice Of
Compliance With Court Order
8.1.16
Concerning Forensic Examination
Of Devices
PREVIOUSLY
UNSEALED
321, 321‐
1, 322,
323, 329
44
301 7.22.16
352
8.10.16
Redacted
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 46 of 91
DOCKET
#
321
321‐1
321‐2
321‐3
321‐4
321‐5
321‐6
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
Declaration of Laura
Menninger In Support of
Defendant's Motion
Submission Regarding "Search
Terms" And Notice Of
Compliance With Court Order
Concerning Forensic
Examination Of Devices
Exhibit A: 6.30.16 Ltr from
Schultz re search terms
Exhibit B: 7.14.16 email to
Schultz from Menninger re
search terms
Exhibit C: 7.18.16 email to
Schultz from Menninger re
search terms
Exhibit D: 7.19.16 email to
Schultz from Menninger re
conferral regarding search
terms
Exhibit E: 7.20.16 email to
Schultz from Menninger re
conferral regarding forensic
search
Exhibit F: search terms
Defendant has already
searched
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
8.1.16
Redacted
8.1.16
Sealed
8.1.16
Sealed
8.1.16
Sealed
8.1.16
Sealed
8.1.16
Sealed
8.1.16
Sealed
322
Plaintiff's Letter Motion to Seal
Plaintiff's Notice of Submission 8.1.16
of Proposed Search Terms
323
Plaintiff's Notice of Submission
8.1.16
of Proposed Search Terms
329
Defendant's Letter motion to
file Ms. Maxwell's Submission
Regarding "Search Terms" and
Notice of Compliance with
Court Order Concerning
Forensic Examination of
Computer Device and
supporting exhibits under seal
8.2.16
45
PREVIOUSLY
UNSEALED
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Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
MOTION
335
Plaintiff's Motion for Protective
Order for Court to Direct
Defendant to Disclose Individuals
Whom Defendant Disseminated
Confidential Information
336
DATE
FILED
DOCKET # DOCKET #
DATE
336, 336‐
1, 380,
381, 392,
8.8.16
393, 393‐
1, 400,
401, 401‐1
Declaration of Sigrid McCawley
In Support of Plaintiff's Motion
for Protective Order for Court
to Direct Defendant to Disclose 8.8.16
Individuals to Whom
Defendant Disseminated
Confidential Information
496
Sealed
11.2.16
Opinion
SEALED
Redacted
Redacted
Exhibit 1:
8.8.16
Sealed
8.8.16
Sealed
8.8.16
Sealed
380
Defendant's Response In
Opposition to Plaintiff's
Motion for Protective Order
for Court to Direct Defendant
to Disclose Individuals Whom
Defendant Disseminated
Confidential Information
8.18.16
Redacted
381
Declaration of Laura
Menninger In Support of
Defendant's Response In
Opposition to Plaintiff's
Motion for Protective Order
for Court to Direct Defendant
to Disclose Individuals Whom
Defendant Disseminated
Confidential Information
8.18.16
Redacted
336‐1
336‐2
336‐3
Exhibit 2:
Exhibit 3:
46
PREVIOUSLY
UNSEALED
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DOCKET
#
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
Exhibit A:
381‐1
8.8.16
Sealed
Exhibit B:
381‐2
Sealed
8.8.16
Exhibit C:
381‐3
Sealed
8.8.16
Exhibit D:
381‐4
Sealed
8.8.16
47
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 49 of 91
DOCKET
#
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Exhibit E:
381‐5
SEALED
Sealed
8.8.16
Exhibit F:
381‐6
8.8.16
Sealed
Exhibit G:
381‐7
Sealed
8.8.16
Exhibit H:
381‐8
8.8.16
Sealed
48
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 50 of 91
DOCKET
#
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
392
Plaintiff's Reply In Support of
Plaintiff's Motion for
Protective Order for Court to
Direct Defendant to Disclose
Individuals Whom Defendant
Disseminated Confidential
Information
393
Declaration of Sigrid McCawley
In Support of Plaintiff's Reply
to Motion for Protective Order
for Court to Direct Defendant 8.23.16
to Disclose Individuals Whom
Defendant Disseminated
Confidential Information
DOCKET # DOCKET #
DATE
8.23.16
SEALED
Redacted
Exhibit 1:
393‐1
Sealed
8.23.16
Exhibit 2:
393‐2
393‐3
393‐4
400
Sealed
8.23.16
Exhibit 3:
Exhibit 4:
8.23.16
Sealed
Sealed
8.23.16
Defendant's Motion for Leave
to File Sur‐Reply or
Alternatively Strike Plaintiff's 8.25.16 401, 401‐1
Misrepresentations of Fact to
Court
49
411
8.30.16
Redacted
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 51 of 91
DOCKET
#
401
401‐1
401‐2
401‐3
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Declaration of Laura
Menninger In Support of
Defendant's Motion for Leave
to File Sur‐Reply or
8.25.16
Alternatively Strike Plaintiff's
Misrepresentations of Fact to
Court
Sealed
Exhibit A:
Sealed
Exhibit B:
Exhibit C:
8.25.16
8.25.16
Sealed
8.25.16
Sealed
8.25.16
Exhibit E:
8.25.16
Sealed
8.25.16
Sealed
Exhibit F:
401‐6
345
Plaintiff's Motion to Compel
Production of Documents Subject
to Improper Objection
8.9.16
344
Plaintiff's Letter Motion to Seal
Plaintiff's Motion to Compel
8.9.16
Production of Documents
Subject to Improper Objection
346
Declaration of Meredith
Schultz In Support of Plaintiff's
Motion to Compel Production 8.9.16
of Documents Subject to
Improper Objection
344, 346,
346‐1,
383, 384,
384‐1,
385, 386,
387, 397,
398
496
Sealed 11.2.16
Opinion
Redacted
Redacted
Exhibit 1:
346‐1
PREVIOUSLY
UNSEALED
Sealed
Exhibit D:
401‐4
401‐5
SEALED
8.9.16
Sealed
50
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DOCKET
#
346‐2
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
Exhibit 2:
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
8.9.16
Sealed
8.9.16
Sealed
PREVIOUSLY
UNSEALED
Exhibit 3:
346‐3
346‐4
346‐5
Exhibit 4:
Exhibit 5:
8.9.16
383
Defendant's Response In
Opposition to Plaintiff's
Motion to Compel Production 8.19.16
of Documents Subject to
Improper Objection
384
Declaration of Laura
Menninger In Support of
Defendant's Response In
Opposition to Plaintiff's
8.19.16
Motion to Compel Production
of Documents Subject to
Improper Objection
384‐1
Exhibit A: Maxwell's Privilege
Log Amended as of 8.1.16
Sealed
8.9.16
Sealed
Redacted
Sealed
8.19.16
385
Redacted Declaration In
Support of Defendant's
Response In Opposition to
8.19.16
Plaintiff's Motion to Compel
Production of Documents
Subject to Improper Objection
Redacted
386
Redacted Declaration In
Support of Defendant's
Response In Opposition to
8.19.16
Plaintiff's Motion to Compel
Production of Documents
Subject to Improper Objection
Redacted
51
Entire
Document
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 53 of 91
DOCKET
#
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
387
Redacted Declaration In
Support of Defendant's
Response In Opposition to
8.19.16
Plaintiff's Motion to Compel
Production of Documents
Subject to Improper Objection
Redacted
397
Plaintiff's Reply In Support of
Plaintiff's Motion to Compel
Production of Documents
Subject to Improper Objection
8.24.16
Redacted
398
Declaration of Sigrid McCawley
In Support of Plaintiff's Reply
to Motion to Compel
8.24.16
Production of Documents
Subject to Improper Objection
Redacted
Exhibit 1:
398‐1
398‐2
398‐3
398‐4
398‐5
354
Exhibit 2:
Exhibit 3:
Exhibit 4:
Exhibit 5:
8.24.16
Sealed
8.24.16
Sealed
8.24.16
Sealed
8.24.16
Sealed
8.24.16
Sealed
355, 355‐
1, 378,
Defendant's Motion to Compel
379, 379‐
Responses to Defendant's Second
1, 402,
8.10.16
Set of Discovery Request and
403, 403‐
Sanctions
1, 496,
497, 804,
837
52
Sealed
Opinion
11.2.16
4.4.17
Sealed
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 54 of 91
DOCKET
#
355
355‐2
378
379
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Declaration to Laura
Menninger In Support of
Defendant's Motion to Compel
8.10.16
Responses to Defendant's
Second Set of Discovery
Request and Sanctions
SEALED
Redacted
Exhibit B: Plf's Responses and
Objections to Def's 2nd
Request for Production and
8.10.16
Def's Interrogatories, Plf's
Answers to Def's Requests for
Admission
Plaintiff's Response In
Opposition to Defendant's
Motion to Compel Responses
8.17.16
to Defendant's Second Set of
Discovery Request and
Sanctions
Sealed
Redacted
Declaration of Sigrid McCawley
In Support of Plaintiff's
Response to Defendant's
Motion to Compel Responses 8.17.16
to Defendant's Second Set of
Discovery Request and
Sanctions
Redacted
Exhibit 1:
379‐1
8.17.16
Sealed
8.17.16
Sealed
Exhibit 3:
379‐3
379‐4
Exhibit 4:
8.17.16
Sealed
379‐5
Exhibit 5:
8.17.16
Sealed
Exhibit 6:
379‐6
Sealed
8.17.16
53
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 55 of 91
DOCKET
#
402
403
403‐3
356
357
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Defendant's Reply In Support
of Defendant's Motion to
Compel Responses to
8.25.16
Defendant's Second Set of
Discovery Request and
Sanctions
Declaration of Laura
Menninger In Support of
Defendant's Reply In Support
of Defendant's Motion to
8.25.16
Compel Responses to
Defendant's Second Set of
Discovery Request and
Sanctions
Exhibit C: Plaintiff's
Supplemental Responses to
8.25.16
Defendant's Interrogatories 6,
12 & 13
Plaintiff's Motion to Direct
Defendant to Answer Deposition
Questions
Redacted
Sealed
357, 357‐
1, 367,
8.11.16
367‐1,
368, 369,
369‐1
357‐4
357‐5
Sealed
8.11.16
Exhibit 3:
Exhibit 4:
Exhibit 5:
Redacted
Sealed
8.11.16
Exhibit 2:
357‐3
496
Sealed
11.2.16
Opinion
Redacted
Exhibit 1:
357‐2
PREVIOUSLY
UNSEALED
Redacted
Declaration of Meredith
Schultz In Support of Plaintiff's
8.11.16
Motion to Direct Defendant to
Answer Deposition Questions
357‐1
SEALED
Sealed
8.11.16
Sealed
8.11.16
8.11.16
Sealed
54
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DOCKET
#
357‐6
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
Exhibit 6:
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
8.11.16
Sealed
8.11.16
Sealed
8.11.16
Sealed
PREVIOUSLY
UNSEALED
Exhibit 7:
357‐7
Exhibit 8:
357‐8
367
367‐1
Refiled Declaration of
Meredith Schultz In Support of
Plaintiff's Motion to Direct
8.12.16
Defendant to Answer
Deposition Questions
Exhibit 1:
8.12.16
Redacted
Sealed
Exhibit 2:
367‐2
367‐3
367‐4
367‐5
367‐6
Sealed
8.12.16
Exhibit 3:
Exhibit 4:
Exhibit 5:
Exhibit 6:
Sealed
8.12.16
Sealed
8.12.16
8.12.16
Sealed
8.12.16
Sealed
55
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DOCKET
#
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
PREVIOUSLY
UNSEALED
Exhibit 7:
367‐7
8.12.16
Sealed
8.12.16
Sealed
Exhibit 8:
367‐8
368
369
369‐1
Plaintiff's Reply In Support of
Plaintiff's Motion to Direct
8.12.16
Defendant to Answer
Deposition Questions
Declaration of Sigrid McCawley
In Support of Plaintiff's Reply
to Motion to Direct Defendant 8.12.16
to Answer Deposition
Questions
Exhibit 1:
Sealed
8.12.16
369‐2
Exhibit 2:
8.12.16
Sealed
8.12.16
Sealed
Exhibit 3:
369‐3
Exhibit 4:
369‐4
Sealed
8.12.16
56
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DOCKET
#
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
PREVIOUSLY
UNSEALED
Exhibit 5:
369‐6
369‐7
369‐8
369‐9
369‐10
Sealed
8.12.16
369‐5
Exhibit 6:
Exhibit 7:
Exhibit 8:
Exhibit 9: Flight logs
(GIUFFRE007055, 7095‐7102,
7111‐7112
Exhibit 10:
Sealed
8.12.16
Sealed
8.12.16
Sealed
8.12.16
8.12.16
Sealed
Exhibit 12:
369‐13
369‐14
Sealed
8.12.16
Exhibit 13:
Exhibit 14:
Sealed
8.12.16
8.12.16
Sealed
8.12.16
Sealed
Exhibit 15:
369‐15
Exhibit 16:
369‐16
362
Sealed
8.12.16
Alan Dershowitz Motion to
Intervene or Modify Protective
Order
Entire
Document
Sealed
8.12.16
369‐12
Sealed
8.12.16
Exhibit 11:
369‐11
363, 363‐
1, 364,
382, 406,
407, 407‐
8.11.16
1, 408,
408‐1,
435, 436,
444
57
Sealed
Opinion
11.2.16
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 59 of 91
DOCKET
#
363
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Declaration of Alan Dershowitz
In Support of Motion to
8.11.16
Intervene or Modify Protective
Order
SEALED
PREVIOUSLY
UNSEALED
Redacted
Exhibit A:
363‐2
363‐3
Sealed
8.11.16
363‐1
Exhibit B:
Exhibit G:
Sealed
8.11.16
Sealed
8.11.16
Exhibit M:
363‐4
364
382
8.11.16
Sealed
Alan Dershowitz
Memorandum of Law In
Support of his Motion to
8.11.16
Intervene or Modify Protective
Order
Declaration of Alan Dershowitz
In Support of Motion to
8.19.16
Intervene or Modify Protective
Order
Redacted
406
Plaintiff's Response In
Opposition to Alan Dershowitz
8.29.16
Motion to Intervene or Modify
Protective Order
Redacted
407
Declaration of Sigrid McCawley
In Support of Plaintiff's
Response In Opposition to
8.29.16
Alan Dershowitz Motion to
Intervene or Modify Protective
Order
Redacted
58
Redacted
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 60 of 91
DOCKET
#
407‐1
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
Exhibit 1:
DATE
FILED
DOCKET # DOCKET #
DATE
8.29.16
SEALED
PREVIOUSLY
UNSEALED
Sealed
Exhibit 2:
Sealed
8.29.16
407‐2
Exhibit 3:
407‐3
407‐4
407‐5
407‐6
407‐7
407‐8
Exhibit 4:
Exhibit 5:
Exhibit 6:
Exhibit 7:
Exhibit 8:
8.29.16
Sealed
8.29.16
Sealed
8.29.16
Sealed
Sealed
8.29.16
8.29.16
Sealed
8.29.16
Sealed
59
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DOCKET
#
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
Exhibit 9:
407‐9
8.29.16
Sealed
8.29.16
Sealed
8.29.16
Sealed
8.29.16
Sealed
8.29.16
Sealed
8.29.16
Sealed
8.29.16
Sealed
8.29.16
Sealed
8.29.16
Sealed
8.29.16
Sealed
8.29.16
Sealed
8.29.16
Sealed
Exhibit 10:
407‐10
407‐11
407‐12
407‐13
Exhibit 11:
Exhibit 12:
Exhibit 13:
Exhibit 14:
407‐14
407‐15
407‐16
407‐17
407‐18
407‐19
407‐20
Exhibit 15:
Exhibit 16:
Exhibit 17:
Exhibit 18:
Exhibit 19:
Exhibit 20:
60
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 62 of 91
DOCKET
#
407‐21
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
Exhibit 21:
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
8.29.16
Sealed
8.29.16
Sealed
8.29.16
Sealed
Exhibit 22:
407‐22
Exhibit 23:
407‐23
408
408‐1
Declaration of Paul Cassell In
Support of Plaintiff's Response
In Opposition to Alan
8.29.16
Dershowitz Motion to
Intervene or Modify Protective
Order
Exhibit 1:
8.29.16
Redacted
Sealed
Exhibit 2:
408‐2
8.29.16
Sealed
8.29.16
Sealed
8.29.16
Sealed
Exhibit 3:
408‐3
Exhibit 4:
408‐4
61
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 63 of 91
DOCKET
#
435
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Declaration of Alan Dershowitz
In Support of Reply to Motion
9.15.16
to Intervene or Modify
Protective Order
Exhibit O:
435‐3
435‐4
Sealed
Exhibit P:
Sealed
Exhibit Q: Affidavit of Juan P.
Alessi re knowledge of Alan
Dershowitz
Exhibit R:
Sealed
Sealed
Exhibit S:
435‐5
Sealed
Exhibit T:
435‐6
Sealed
Exhibit U:
435‐7
Sealed
Exhibit V:
435‐8
435‐9
Sealed
Exhibit W:
Sealed
Exhibit X:
435‐10
436
PREVIOUSLY
UNSEALED
Redacted
435‐1
435‐2
SEALED
Sealed
Dershowitz Reply
Memorandum of Law In
Support of Motion to
9.15.16
Intervene or Modify Protective
Order
Redacted
62
Entire
Document
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 64 of 91
DOCKET
#
444
447
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Dershowitz Letter Motion to
File Less Redacted Reply
Memorandum of Law In
9.26.16
Support of Motion to
Intervene or Modify Protective
Order
Plaintiff's Letter Response re:
Dershowitz Letter Motion to
File Less Redacted Reply
Memorandum of Law In
9.28.16
Support of Motion to
Intervene or Modify Protective
Order
461
SEALED
10.11.16
Redacted
371, 371‐
Defendant's Motion for Protective
1, 388,
370 Order regarding Financial
8.12.16 389, 389‐
Information
1, 404,
405, 405‐1
Declaration of Laura
Menninger In Support of
371
Defendant's Motion for
8.12.16
Protective Order regarding
Financial Information
Exhibit C:
371‐3
8.12.16
496
Sealed
11.2.16
Opinion
Redacted
Redacted
Sealed
388
Plaintiff's Response In
Opposition to Defendant's
Motion for Protective Order
regarding Financial
Information
8.22.16
Redacted
389
Declaration of Sigrid McCawley
In Support of Plaintiff's
Response In Opposition to
8.22.16
Defendant's Motion for
Protective Order regarding
Financial Information
Redacted
389‐1
389‐2
Exhibit 1:
Exhibit 2:
PREVIOUSLY
UNSEALED
Sealed
8.22.16
Sealed
8.22.16
63
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 65 of 91
DOCKET
#
389‐3
389‐4
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
Exhibit 3:
Exhibit 4:
DATE
FILED
DOCKET # DOCKET #
DATE
Sealed
8.22.16
Sealed
8.22.16
Exhibit 5:
389‐5
PREVIOUSLY
UNSEALED
SEALED
Sealed
8.22.16
389‐6
389‐7
Exhibit 6:
Exhibit 7:
Sealed
8.22.16
Sealed
8.22.16
Exhibit 8:
389‐8
389‐9
404
405
Exhibit 9:
Defendant's Reply In Support
of Defendant's Motion for
Protective Order regarding
Financial Information
Declaration of Laura
Menninger In Support of
Defendant's Reply In Support
of Defendant's Motion for
Protective Order regarding
Financial Information
Exhibit D:
405‐1
390
414
418
Plaintiff's Motion to Compel
Financial Info
Defendant's Response In
Opposition to Plaintiff's
Motion to Compel Financial
Info
Plaintiff's Reply In Support of
Plaintiff's Motion to Compel
Financial Info
8.22.16
Sealed
8.22.16
Sealed
8.29.16
Redacted
8.29.16
Redacted
8.29.16
Sealed
8.22.16
414, 418
9.1.16
9.6.16
64
496
Sealed
11.2.16
Opinion
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 66 of 91
DOCKET
#
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
Paul G. Cassell’s Motion to Quash
Subpoena or, in the Alternative,
for a Protective Order filed in case
no. 2:16‐mc‐00602‐DB‐EJF (D.
Utah)
Exhibits 1‐7
Defendant's Response In
Opposition to Paul G. Cassell’s
Motion to Quash Subpoena or,
in the Alternative, for a
Protective Order filed in case
no. 2:16‐mc‐00602‐DB‐EJF (D.
Utah)
Exhibit 1
Affidavit of Brent Hatch in
Support of Paul G. Cassell’s
Motion to Quash Subpoena or,
in the Alternative, for a
Protective Order filed in case
no. 2:16‐mc‐00602‐DB‐EJF (D.
Utah)
Exhibits 1‐8
DATE
FILED
6.13.16
DOCKET # DOCKET #
DATE
337
Sealed
Opinion
SEALED
8.30.16
6.13.16
6.24.16
6.27.16
6.27.16
Exs. 1, 3, 4,
5, 6 Sealed
6.27.16
MEMORANDUM DECISION and
Order Transferring Motion to
Quash Subpoena or, in the
Alternative, for a Protective
Order‐This Motion presents
exceptional circumstances that
warrant its transfer to the
6.30.16
Southern District of New York.
See Order for additional
details. Signed by Magistrate
Judge Evelyn J. Furse on
6/30/16.
*from case no. 2:16‐mc‐00602‐
DB‐EJF (D. Utah)
Bradley Edwards’ Motion to
Quash Subpoena filed in case no. 6.13.16
16‐cv‐61262 (USDCFL)
Declaration of Bradley
Edwards in Support of Motion 6.13.16
to Quash Subpoena
Sealed
Opinion
65
4.4.17
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 67 of 91
DOCKET
#
413
422
423
423‐1
423‐2
423‐3
423‐4
437
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
Exhibits 1‐6
Plaintiff's Motion to Modify
Scheduling Order
Defendant's Motion to Compel
Settlement Agreement
DATE
FILED
DOCKET # DOCKET #
DATE
6.13.16
8.31.16
9.6.16
423, 423‐
1, 437
420
9.6.16
438
9.16.16
Declaration of Laura
Menninger In Support of
9.6.16
Defendant's Motion to Compel
Settlement Agreement
Exhibit A: 3.16.16 Plaintiff's
Response and Objections to
Defendant's 1st Set of
Discovery Requests to Plaintiff
SEALED
Redacted
9.6.16
Sealed
Exhibit B: 8.16.16 email
correspondence re Epstein
9.6.16
settlement agreement
Exhibit C: Complaint and
Demand for Jury Trial (Jane
9.6.16
Doe No. 102)
Exhibit D: Giuffre's 4th Revised
9.6.16
Disclosures
Sealed
Sealed
Sealed
Notice of Parties Joint
Stipulation regarding
9.16.16
Defendant's Motion to Compel
Settlement Agreement
Sealed
Opinion
9.20.16
9.20.16
2.3.17
Sealed
Sealed
66
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 68 of 91
DOCKET
#
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
9.20.16
Sealed
9.20.16
Ex. 1
Sealed
10.11.16
10.13.16
Sealed
10.21.16
Sealed
10.21.16
Sealed
Exs. 1‐11
Sealed
441
442
Plaintiff's Motion for Court
9.30.16
Approval of Plaintiff's Certification 9.30.16 letter, 442,
of Production
442‐1
Declaration of Sigrid McCawley
In Support of Plaintiff's Motion
9.30.16
for Court Approval of Plaintiff's
Certification of Production
453
10.3.16
Redacted
Redacted
Exhibit 2:
442‐1:5
442‐1
Exhibit 3:
9.30.16
Sealed
9.30.16
Sealed
67
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 69 of 91
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
PREVIOUSLY
UNSEALED
Exhibit 4:
442‐1
442‐1
449
450
450‐1
Exhibit 5:
Defendant's Motion to Compel
Testimony of Jeffrey Epstein
9.30.16
Sealed
9.30.16
Sealed
450, 450‐
1, 470,
9.30.16
471, 473,
474, 483
Declaration of Jeffrey Pagliuca
In Support of Defendant's
9.30.16
Motion to Compel Testimony
of Jeffrey Epstein
Exhibit A:
Sealed
Opinion
2.3.17
Redacted
Redacted
9.30.16
Sealed
9.30.16
Sealed
9.30.16
Sealed
9.30.16
Sealed
Exhibit B:
450‐2
Exhibit C:
450‐3
Exhibit E:
450‐5
Exhibit F:
450‐6
Sealed
9.30.16
470
Plaintiff's Response to
Defendant's Motion to Compel 10.17.16
Testimony of Jeffrey Epstein
Redacted
471
Declaration of Sigrid McCawley
In Support of Plaintiff's
Response to Defendant's
10.17.16
Motion to Compel Testimony
of Jeffrey Epstein
Redacted
471‐1
Exhibit 1
10.17.16
Sealed
68
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DOCKET
#
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
473
Epstein's Response to
Defendant's Motion to Compel 10.17.16
Testimony of Jeffrey Epstein
Redacted
474
Declaration of Jack Goldberger
In Support of Epstein's
Response to Defendant's
10.17.16
Motion to Compel Testimony
of Jeffrey Epstein
Redacted
483
Defendant's Reply In Support
of Defendant's Motion to
Compel Testimony of Jeffrey
Epstein
Redacted
10.24.16
467, 467‐
Plaintiff's Motion to Reopen
1, 481,
Defendant's Deposition Based on
10.14.16 482, 482‐
466
Late Production of New Key
1, 492,
Documents
493, 493‐1
Declaration of Sigrid McCawley
In Support of Plaintiff's Motion
to Reopen Defendant's
467
10.14.16
Deposition Based on Late
Production of New Key
Documents
Exhibit 1:
467‐1
10.14.16
467‐2
Exhibit 2:
Hearing
11.10.16
Redacted
Redacted
Sealed
10.14.16
Sealed
10.14.16
Sealed
Exhibit 3:
467‐3
481
Defendant's Response In
Opposition to Plaintiff's
Motion to Reopen Defendant's
10.24.16
Deposition Based on Late
Production of New Key
Documents
Redacted
69
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 71 of 91
DOCKET
#
482
482‐1
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Declaration of Laura
Menninger In Support of
Defendant's Response In
Opposition to Plaintiff's
10.24.16
Motion to Reopen Defendant's
Deposition Based on Late
Production of New Key
Documents
Exhibit A:
10.24.16
SEALED
Redacted
Sealed
Exhibit B:
482‐2
10.24.16
Sealed
10.24.16
Sealed
10.24.16
Sealed
10.24.16
Sealed
Exhibit C:
482‐3
Exhibit D:
482‐4
Exhibit E:
482‐5
492
Plaintiff's Reply In Support of
Plaintiff's Motion to Reopen
Defendant's Deposition Based 10.28.16
on Late Production of New Key
Documents
Redacted
493
Declaration of Meredith
Schultz In Support of Plaintiff's
Reply to Motion to Reopen
10.28.16
Defendant's Deposition Based
on Late Production of New Key
Documents
Redacted
493‐1
Exhibit 1:
10.28.16
Sealed
70
PREVIOUSLY
UNSEALED
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Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
476
MOTION
Churcher Letter Request to
Publish Redacted Opinion
DATE
FILED
DOCKET # DOCKET #
DATE
10.20.16
469, 469‐
1:3, 479,
Motion to Compel Ghislaine
Maxwell to Produce Data from
480, 480‐
Oral
10.14.16
468
Undisclosed Email Account and for
1:4, 490, Argument
an Adverse Inference Instruction
491, 491‐
1:4
Declaration of Sigrid Mccawley
in Support of Motion to
Compel Ghislaine Maxwell to
469
Produce Data from
10.14.16
Undisclosed Email Account and
for an Adverse inference
Instruction
Ex. 1:
469‐1
10.14.16
469‐2
469‐3
479
480
480‐1
480‐2
480‐3
Ex. 2:
Ex. 3:
SEALED
11.10.16
Redacted
Redacted
Sealed
10.14.16
Sealed
10.14.16
Sealed
Response in Opposition to
Motion to Compel Ghislaine
Maxwell to Produce Data from
10.24.16 10.24.16
Undisclosed Email Account and
for an Adverse Inference
Instruction
Declaration of Laura
Menninger in Spport of Motion
to Compel Ghislaine Maxwell
to Produce Data from
10.24.16
Undisclosed Email Account and
for an Adverse Inference
Instruction
Ex. A: Correspondence dated
5.17.16 betweeb Schultz,
10.24.16
Pagliuca and Menninger
Ex. B: Correspondence dated
6.13.16 between Menninger 10.24.16
and McCawley
Ex. C:
10.24.16
71
Redacted
Redacted
Sealed
Sealed
Sealed
PREVIOUSLY
UNSEALED
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Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
480‐4
490
491
491‐1
491‐2
491‐3
MOTION
Ex. D:
DATE
FILED
DOCKET # DOCKET #
DATE
10.24.16
Sealed
Reply Response inopposition
to Motion to Compel Ghislaine
Maxwell to Prudce Data from
10.28.16
Undisclosed Email Account and
for an Adverse Inference
Instruction
Declaration of Meredith
Schultz in Support of Reply
Response in Oppoition to
Motion to Compel Ghislaine
10.28.16
Maxwell to Produce Data from
Undisclosed Email Account and
for an Adverse Inference
Instruction
Ex. 1: Judge Sweet Order dated
10.28.16
8.9.16
Ex. 2:
10.28.16
Ex. 3:
SEALED
Redacted
Redacted
Sealed
Sealed
10.28.16
Sealed
10.28.16
Sealed
Ex. 4:
491‐4
502
502
509
Defendant's Motion for
Reconsideration or Clarification of
501, 502,
Portions of Court's Sealed
11.16.16
506
November 2, 2016 Order and
Exhibit A
Defendant's Notice of Filing
Under Seal Defendant's
Motion for Reconsideration or
11.21.16
Clarification of Portions of
Court's Sealed November 2,
2016 Order
510, 510‐
Defendant's Motion for Sanctions
1, 513,
Based on Plaintiff's Intentional
12.9.16 514, 514‐
Destruction of Evidence
1, 515,
516, 516‐1
72
Sealed
Opinion
3.23.17
Sealed
555
1.19.17
Redacted
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 74 of 91
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
510
510‐1
510‐2
510‐3
510‐4
513
514
MOTION
Declaration of Laura
Menninger In Support of
Defendant's Motion for
Sanctions Based on Plaintiff's
Intentional Destruction of
Evidence
Exhibit A: Plf's Supplemental
2nd Amended Response and
Objections to Def's 1st Set of
Disocvery Requests 4.29.16
Exhibit B:
Exhibit C:
DATE
FILED
DOCKET # DOCKET #
DATE
12.9.16
Redacted
12.9.16
Sealed
514‐3
514‐4
514‐5
PREVIOUSLY
UNSEALED
Sealed
12.9.16
Sealed
12.9.16
Exhibit D: Plf's 2nd Amended
Supplemental Response and
12.9.16
Objection s to Def's 1st Set of
Discovery Requests 4.29.16
Plaintiff's Response In
Opposition to Defendant's
Motion for Sanctions Based on 12.16.16
Plaintiff's Intentional
Destruction of Evidence
Declaration of Meredith
Schultz In Support of Plaintiff's
Response In Opposition to
Defendant's Motion for
12.16.16
Sanctions Based on Plaintiff's
Intentional Destruction of
Evidence
Exhibit 1:
Sealed
Redacted
Redacted
514‐1
514‐2
SEALED
Sealed
Exhibit 2:
Sealed
Exhibit 3:
Sealed
Exhibit 4:
Sealed
Exhibit 5:
Sealed
73
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DOCKET
#
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
Exhibit 6:
Sealed
514‐6
515
516
Defendant's Reply In Support
of Defendant's Motion for
Sanctions Based on Plaintiff's
Intentional Destruction of
Evidence
Declaration of Laura
Menninger In Support of
Defendant's Reply In Support
of Defendant's Motion for
Sanctions Based on Plaintiff's
Intentional Destruction of
Evidence
Exhibits E:
516‐1
516‐2
516‐3
Exhibit F:
Exhibit G:
537
Defendant's Motion for Summary
Judgment
538
Defendant's Memorandum of
Law In Support of Defendant's
Motion for Summary
Judgment
12.20.16
Redacted
12.20.16
Redacted
12.20.16
Sealed
12.20.16
Sealed
Sealed
12.20.16
538, 839,
540, 541,
542, 542‐
1, 586,
586‐1, 586‐
Sealed
1.6.17 2, 586‐3,
Opinion
620, 621,
621‐1,
813, 813‐
1, 833,
858
1.6.17
3.27.17
Unsealed
Unsealed
74
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 76 of 91
DOCKET
#
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
Declaration of Laura
Menninger In Support of
539
Defendant's Motion for
Summary Judgment
539‐1:9
Exhibits A‐MM
Refiled Defendant's Motion for
540
Summary Judgment
541
542
542‐1:9
586
586‐1
586‐2
586‐3
620
621
621‐1:4
813
813‐1
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
1.6.17
Unsealed
1.6.17
Unsealed
Refiled Defendant's
Memorandum of Law In
1.9.17
Support of Defendant's Motion
for Summary Judgment
Unsealed
Refiled Declaration of Laura
Menninger In Support of
Defendant's Motion for
Summary Judgment
Refiled Exhibits A‐MM
Plaintiff's Response In
Opposition to Defendant's
Motion for Summary
Judgment
Plaintiff's Statement of Facts
1.9.17
Unsealed
1.9.17
Unsealed
1.31.17
Unsealed
1.31.17
Unsealed
Declaration of Sigrid McCawley
In Support of Plaintiff's
Response In Opposition to
1.31.17
Defendant's Motion for
Summary Judgment
Unsealed
Exhibits 1‐50
Defendant's Reply In Support
of Defendant's Motion for
Summary Judgment
Declaration of Laura
Menninger In Support of
Defendant's Reply In Support
of Defendant's Motion for
Summary Judgment
Exhibits NN‐RR
Plaintiff's Notice of Proposed
Redactions to This Court's
Order Denying Summary
Judgment
Exhibit 1
Unsealed
2.10.17
Unsealed
2.10.17
Unsealed
2.10.17
Unsealed
3.29.17
Unsealed
3.29.17
Unsealed
75
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 77 of 91
DOCKET
#
833
858
550
551
552
589
590
590‐1:2
604
605
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
Cernovich Opposition Brief to
Plaintiff's Notice of Proposed
Redactions to This Court's
Order Denying Summary
Judgment
Plaintiff's Response to
Cernovich Opposition Brief to
Plaintiff's Notice of Proposed
Redactions to This Court's
Order Denying Summary
Judgment
Cernovich Motion to Intervene
and Unseal
Cernovich Memorandum of
Law In Support of Cernovich
Motion to Intervene and
Unseal
Declaration of Michael
Cernovich In Support of His
Motion to Intervene and
Unseal
Plaintiff's Response in
Opposition to Cernovich
Motion to Intervene and
Unseal
DATE
FILED
DOCKET # DOCKET #
DATE
4.5.17
4.18.17
551, 552,
589, 590,
1.19.17
590‐1,
604, 605,
605‐1, 610
1.19.17
1.19.17
2.2.17
Declaration of Sigrid McCawley
In Support of Plaintiff's
Response in Opposition to
2.2.17
Cernovich Motion to Intervene
and Unseal
Exhibits 1‐2
Cernovich Reply In Support of
His Motion to Intervene and
Unseal
Declaration of Jay Wolman In
Support of Cernovich Reply In
Support of His Motion to
Intervene and Unseal
2.2.17
2.9.17
2.9.17
76
892
5.3.17
SEALED
PREVIOUSLY
UNSEALED
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Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
605‐1:3
610
558
576
MOTION
Exhibits 1‐3
Dershowitz Memorandum of
Law In Support of Cernovich
Motion to Intervene and
Unseal
Plaintiff's Letter Motion to Add
New Witness
Plaintiff's Letter Reply In
Support of Plaintiff's Letter
Motion to Add New Witness
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
PREVIOUSLY
UNSEALED
2.9.17
2.10.17
1.20.17
576
Hearing,
Minute
Order
2.3.17
1.30.17
Redacted
Redacted
Plaintiff's Letter Motion o
2.3.17
Repon Discovery
Defendant's Motion in Limine to
568, 568‐
Exclude in Toto Certain
Oral
1:5, 606,
Argument,
Depositions Designated by
567
1.27.17 607, 607‐
Minute
Plaintiff for Use at Trial.
1:3, 631,
Entry.
Document filed by Ghislaine
632
Maxwell
Declaration of Laura A.
Menninger in Support of
Motion in Limine to Exclude in
568
1.27.17
Toto Certain Depositions
Designated by Plaintiff for Use
at Trial
Ex. A:
568‐1
1.27.17
591
Redacted
4.5.17
Redacted
Redacted
Sealed
Ex. B:
568‐2
568‐3
568‐4
Ex. C:
Ex. D:
1.27.17
Sealed
1.27.17
Sealed
1.27.17
Sealed
1.27.17
Sealed
Ex. E:
568‐5
77
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Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
606
607
607‐1
607‐2
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Response in Opposition to
Motion in Limine to Exclude in
Toto Certain Depositions
2.10.17
Designated by Plaintiff for Use
at Trial
Declaration of Sigrid McCawley
in Opposition to Motion in
Limine to Exclude in Toto
2.10.17
Certain Depositions
Designated by Plaintiff for Use
at Trial
Ex. 1:
2.10.17
Ex. 2:
SEALED
Redacted
Redacted
Sealed
2.10.17
Sealed
2.10.17
Sealed
Ex. 3:
607‐3
631
632
632‐1
637
Reply to Response to Motion
in Limine to Exclude in Toto
Certain Depositions
2.17.17
Designated by Plaintiff for Use
at Trial
Declaration of Laura
Menninger in Support re: 567
Motion in Limine to Exclude in
2.17.17
Toto Certain Depositions
Designated by Plaintiff for Use
at Trial
Ex. F:
2.17.17
Redacted
Redacted
Sealed
638, 638‐
1, 653,
Plaintiff's Motion to Compel Work
654, 654‐
Product and Attorney Client
2.22.17
1, 697,
Communications with Barden
698, 698‐
1, 754
78
Sealed
Opinion
4.17.17
Redacted
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 80 of 91
DOCKET
#
638
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Declaration of Meredith
Schultz In Support of Plaintiff's
Motion to Compel Work
2.22.17
Product and Attorney Client
Communications with Barden
SEALED
PREVIOUSLY
UNSEALED
Redacted
Exhibit 1:
638‐1
638‐2
638‐3
Sealed
Exhibit 2:
Exhibit 3:
Sealed
2.22.17
2.22.17
Sealed
Exhibit 4:
638‐4
638‐5
Sealed
2.22.17
Exhibit 5:
2.22.17
Sealed
653
Defendant's Response In
Opposition to Plaintiff's
Motion to Compel Work
Product and Attorney Client
Communications with Barden
3.2.17
Redacted
654
Declaration of Laura
Menninger In Support of
Defendant's Response In
Opposition to Plaintiff's
Motion to Compel Work
Product and Attorney Client
Communications with Barden
3.2.17
Redacted
3.2.17
Redacted
3.7.17
Redacted
654‐1
697
Exhibit A:
Plaintiff's Reply In Support of
Plaintiff's Motion to Compel
Work Product and Attorney
Client Communications with
Barden
79
Redacted
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 81 of 91
DOCKET
#
698
698‐1:2
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Declaration of Meredith
Schultz In Support of Plaintiff's
Reply to Motion to Compel
3.7.17
Work Product and Attorney
Client Communications with
Barden
Exhibit 1:
Redacted
Sealed
3.7.17
Exhibit 2:
698‐1
754
640
641
641‐1
Sealed
3.7.17
Defendant's Sur‐Reply to
Plaintiff's Motion to Compel
Work Product and Attorney
Client Communications with
Barden
Motion for
Protective Order
Declaration of Stanley
Pottinger In Support of
Motion for
Protective Order
Exhibits 1:
SEALED
3.17.17
Redacted
641, 641‐
1, 655,
656, 656‐
1, 700,
2.22.17
701, 701‐
1, 707,
709, 714,
715, 715‐1
Hearing
3.23.17
Redacted
2.22.17
Redacted
2.22.17
Sealed
2.22.17
Sealed
Exhibit 2:
641‐2
655
Defendant's Motion to Compel
Non‐Party Witness to Produce
Documents, Respond to
3.2.17
Deposition Questions, and
Response to Motion for
Protective Order
Redacted
80
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 82 of 91
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
656
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Declaration of Laura
Menninger In Support of
Defendant's Motion to Compel
Non‐Party Witness to Produce
3.2.17
Documents, Respond to
Deposition Questions, and
Response to Motion for
Protective Order
Exhibit A:
656‐1
SEALED
Redacted
3.2.17
Sealed
3.2.17
Sealed
3.2.17
Sealed
3.2.17
Sealed
3.2.17
Sealed
3.2.17
Sealed
3.2.17
Sealed
3.2.17
Sealed
3.2.17
Sealed
Exhibit B:
656‐2
Exhibit C:
656‐3
Exhibit D:
656‐4
Exhibit E:
656‐5
656‐6
656‐7
656‐8
Exhibit F:
Exhibit G:
Exhibit H:
Exhibit I:
656‐9
700
Reply In
Support of Her Motion for
Protective Order
3.15.17
Stricken
81
Redacted
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 83 of 91
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
701
701‐1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Declaration of Stanley
Pottinger In Support of
Reply In Support of 3.15.17
Her Motion for Protective
Order
Exhibit 1:
SEALED
Redacted
Sealed
Exhibit 2:
701‐2
707
709
714
715
715‐1
Sealed
Refiled S
Reply
In Support of Her Motion for 3.13.17
Protective Order
Refiled w/ Additional
Redaction
3.13.17
Reply In Support of Her Motion
for Protective Order
Defendant's Reply In Support
of Defendant's Motion to
Compel Non‐Party Witness to
Produce Documents, Respond 3.14.17
to Deposition Questions, and
Response to Motion for
Protective Order
Declaration of Laura
Menninger In Support of
Defendant's Reply to Motion
to Compel Non‐Party Witness
to Produce Documents,
Respond to Deposition
Questions, and Response to
Motion for Protective Order
Exhibits J:
Redacted
Redacted
Redacted
3.14.17
Redacted
3.14.17
Sealed
3.14.17
Sealed
Exhibit K:
715‐2
82
PREVIOUSLY
UNSEALED
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Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
655
656
MOTION
DATE
FILED
Defendant's Motion to Compel
Non‐Party Witness to Produce
Documents, Respond to
3.2.17
Deposition Questions, and
Response to Motion for Protective
Order
Declaration of Laura
Menninger In Support of
Defendant's Motion to Compel
Non‐Party Witness to Produce
3.2.17
Documents, Respond to
Deposition Questions, and
Response to Motion for
Protective Order
Exhibit A:
656‐1
DOCKET # DOCKET #
DATE
SEALED
656, 656‐
1, 700,
701, 707,
709,
Redacted
Hearing
3.23.17
Redacted
3.2.17
Sealed
3.2.17
Sealed
3.2.17
Sealed
3.2.17
Sealed
3.2.17
Sealed
3.2.17
Sealed
3.2.17
Sealed
3.2.17
Sealed
Exhibit B:
656‐2
Exhibit C:
656‐3
Exhibit D:
656‐4
Exhibit E:
656‐5
656‐6
656‐7
656‐8
Exhibit F:
Exhibit G:
Exhibit H:
83
PREVIOUSLY
UNSEALED
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Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
DOCKET
#
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
Exhibit I:
656‐9
700
701
701‐1
3.2.17
Sealed
Reply In
Support of Her Motion for
3.15.17
Protective Order
Declaration of Stanley
Pottinger In Support of
Reply In Support of 3.15.17
Her Motion for Protective
Order
Exhibit 1:
Stricken
Redacted
Redacted
Sealed
Exhibit 2:
701‐2
709
714
715
715‐1
Sealed
Refiled w/ Additional
Redaction
3.13.17
Reply In Support of Her Motion
for Protective Order
Defendant's Reply In Support
of Defendant's Motion to
Compel Non‐Party Witness to
Produce Documents, Respond 3.14.17
to Deposition Questions, and
Response to Motion for
Protective Order
Declaration of Laura
Menninger In Support of
Defendant's Reply to Motion
to Compel Non‐Party Witness
to Produce Documents,
Respond to Deposition
Questions, and Response to
Motion for Protective Order
Exhibits J:
Redacted
Redacted
3.14.17
Redacted
3.14.17
Sealed
3.14.17
Sealed
Exhibit K:
715‐2
84
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 86 of 91
DOCKET
#
657
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
Motion to Quash
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
3.3.17
712, 713,
713‐1, 761
Redacted
Minute
Entry
4.7.17
712
Plaintiff's Response In
Opposition to Epstein's Motion 3.14.17
to Quash Trial Subpoena
Redacted
713
Declaration of Sigrid McCawley
In Support of Plaintiff's
Response In Opposition to
3.14.17
Epstein's Motion to Quash
Trial Subpoena
Redacted
713:1
713‐2
761
659
660
Exhibit 1:
3.14.17
Sealed
Exhibit 2:
3.14.17
Sealed
Reply In Support of
Motion to Quash
Trial Subpoena
3.21.17
Plaintiff's Second Motion to
Compel
3.3.17 660, 660‐1
Declaration of Sigrid McCawley
In Support of Plaintiff's Second 3.3.17
Motion to Compel
854
4.3.17
Redacted
Redacted
Exhibit 1:
660‐1
660‐2
Exhibit 2:
3.3.17
Sealed
3.3.17
Sealed
85
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 87 of 91
DOCKET
#
660‐3
660‐4
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
Exhibit 3:
Exhibit 4:
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
3.3.17
Sealed
3.3.17
Sealed
711 Plaintiff's Notice of Supplemental
752, 753,
3.14.17
Stricken Authority
753‐1
Defendant's Motion to Strike
752
Plaintiff's Notice of
3.17.17
Supplemental Authority
Declaration of Laura
Menninger In Support of
753
Defendant's Motion to Strike 3.17.17
Plaintiff's Notice of
Supplemental Authority
753‐1
Exhibit A
3.17.17
Plaintiff's Notice of Intent to
725, 763,
721 Request Redaction of February 16, 3.15.17
810
2017 Hearing Transcript
Exhibit 1: 2.16.17 hearing
721‐1
3.15.17
transcript
725
Cernovich Brief In Opposition
to Plaintiff's Notice of Intent to
3.17.17
Request Redaction of February
16, 2017 Hearing Transcript
763
Plaintiff's Motion to Strike
Cernovich Brief In Opposition
to Plaintiff's Notice of Intent to 3.21.17
Request Redaction of February
16, 2017 Hearing Transcript
765
3.22.17
892
5.3.17
Sealed
892
86
5.3.17
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 88 of 91
DOCKET
#
810
793
811
829
804
841
842
842‐1
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
Cernovich Memorandum of
Law In Opposition to Plaintiff's
Motion to Strike Cernovich
Brief In Opposition to Plaintiff's 3.29.17
Notice of Intent to Request
Redaction of February 16,
2017 Hearing Transcript
Plaintiff's Letter Motion to Seal
Portions of February 16, 2017
Hearing Transcript
Cernovich Letter Response in
Opposition to Plaintiff's
Motion to Seal Portions of
February 16, 2017 Hearing
Transcript
Defendant's Letter Response
to Plaintiff's Letter Motion to
Seal Portions of February 16,
2017 Hearing Transcript
Defendant's Motion Requesting
Rulings on Her Outstanding
Motions
Defendant's Reply In Support
of Defendant's Motion
Requesting Rulings on Her
Outstanding Motions
Declaration of Laura
Menninger In Support of
Defendant's Reply In Support
of Defendant's Motion
Requesting Rulings on Her
Outstanding Motions
Exhibit A:
3.27.17
811, 829
892
5.3.17
841, 842,
842‐1,
844, 844‐1
837
4.7.17
3.29.17
4.3.17
3.28.17
4.11.17
Redacted
4.11.17
Redacted
4.11.17
Sealed
Defendant's Motion for
Reconsideration of Order
844 Regarding Defendant's Motion
4.11.17
Requesting Ruling on her
Outstanding Motions
Exhibit A: 8.30.16 Judge Sweet
844‐1
4.11.17
Opinion
853
4.12.17
Redacted
Sealed
87
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 89 of 91
DOCKET
#
844‐2
845
846
846‐1
856
863
924
928
935
936
941
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
Exhibit B: 8.3.16 Judge Sweet
Opinion
Defendant's Motion to Appoint
Special Master to Preside Over
Third Deposition of Defendant
DATE
FILED
DOCKET # DOCKET #
DATE
4.11.17
Sealed
846, 846‐
4.11.17 1, 856,
863
869
4.26.17
Declaration of Laura
Menninger In Support of
Defendant's Motion to Appoint 4.11.17
Special Master to Preside Over
Third Deposition of Defendant
Exhibit A:
Plaintiff's Response In
Opposition to Defendant's
Motion to Appoint Special
Master to Preside Over Third
Deposition of Defendant
Defendant's Reply In Support
of Defendant's Motion to
Appoint Special Master to
Preside Over Third Deposition
of Defendant
Epstein Motion to Intervene and
Modify the Protective Order
Plaintiff's Response In
Opposition to Epstein Motion
to Intervene and Modify the
Protective Order
SEALED
Redacted
Redacted
4.11.17
Sealed
4.18.17
Redacted
4.20.17
Redacted
10.3.17
928
Sealed
Opinion
11.14.17
10.19.17
Miami Herald Motion to Intervene
4.9.18
and Unseal
Redacted
936, 941,
944, 945,
946, 947,
947‐1
Miami Herald Memorandum of
Law In Support of Miami
4.9.18
Herald Motion to Intervene
and Unseal
Cernovich Memorandum of
Law In Support of Miami
4.20.18
Herald Motion to Intervene
and Unseal
88
953
8.27.18
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 90 of 91
DOCKET
#
944
945
946
947
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
Defendant's Response In
Opposition to Miami Herald
Motion to Intervene and
Unseal
Plaintiff's Response to Miami
Herald Motion to Intervene
and Unseal
Miami Herald's Reply In
Support of Miami Herald
Motion to Intervene and
Unseal
Dershowitz Letter Response to
Miami Herald Motion to
Intervene and Unseal
DATE
FILED
DOCKET # DOCKET #
DATE
SEALED
4.27.18
4.27.18
5.4.18
5.8.18
Redacted
5.8.18
Redacted
letter and
Exs. 1‐6
sealed
Exhibit A: 6.21.17 ltr to
Honorable Robert W. Sweet
947‐1
957
958
958‐1:4
958, 958‐
Defendant's Motion for and Order
1, 961,
12.4.18
to Show Cause re Protective Order
962, 963,
963‐1
Declaration of Ty Gee In
Support of Defendant's Motion
12.4.18
for and Order to Show Cause
re Protective Order
Exhibits A‐D
12.4.18
961
Plaintiff's Response In
Opposition to Defendant's
12.12.18
Motion for and Order to Show
Cause re Protective Order
962
Defendant's Reply In Support
of Defendant's Motion for and
12.18.18
Order to Show Cause re
Protective Order
89
967
Sealed
2.26.19
Opinion
Redacted
PREVIOUSLY
UNSEALED
Case 1:15-cv-07433-LAP Document 1049 Filed 04/14/20 Page 91 of 91
DOCKET
#
963
963‐1
Giuffre v. Maxwell, 15‐cv‐07433
Pursuant to Order of October 28, 2019, Paragraph 1
MOTION
DATE
FILED
DOCKET # DOCKET #
DATE
Declaration of Ty Gee In
Support of Defendant's Reply
to Motion for and Order to
12.18.18
Show Cause re Protective
Order
Exhibit E
12.18.18
90
SEALED
PREVIOUSLY
UNSEALED