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ce and documents between Epstein's counsel and Federal prosecutors violates an Order entered in Jane Doe No. 2. v. Epstein, Case No. 08-80893-Marra/Johnson on January 5, 2011. (See D.E. 226) (Ex. A attached hereto). Pursuant to that Order, Edwards is required to seek leave of court before filing or mak
icated documentary evidence may not be relied on or considered in support of a motion for summary judgment. See, e.g., Hollywood Towers Condominium Ass'n, Inc. v. Hampton, 993 So. 2d 174, 175-176 (Fla. 4th DCA 2008) (unauthenticated photocopies of check, letter and bank statement attached to motion for sum
found to be insufficient on its face and not-compliant with the requirements of Florida Rule of Civil Procedure 1.280(b)(5)7 and TIG Ins. Corp. v. Johnson, 799 So. 2d 339 (Fla. 4th DCA 2001). Edwards has claimed that none of the documents on the disc that were listed on his privilege log had ever been
ion of legal services to the client. 2. Those reasonably necessary for the transmission of the communication. Las Olas River House Condo. Ass'n, Inc. v. Lorh, LLC, 181 So. 3d 556, 557-58 (Fla. 4th DCA 2015); § 90.502(1Xc), Fla. Stat. (2017); Witte v. Witte, 126 So. 3d 1076 (Fla. 4th DCA 2012)(sec
ted States District Judge cc. All counsel 4 EFTA00177810 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE No. 08-80736-CIV-MARRA/JOHNSON JANE DOE 1 AND JANE DOE 2, Plaintiffs v. UNITED STATES OF AMERICA, Defendant INTERN Liac, 14-1 \ftPPEAL , Intervenors Roy 1 Jeffrey Epstein
ding risk of irreparable harm because "a court cannot restore confidentiality to documents after they are disclosed"); Gill v. Guyitream Park Racing Ass'n, Inc., 399 F.3d 391, 398 (1st Cir. 2005)("once the documents are turned over to Gill with no clear limitation on what he may do with them, the cat is out
ication on appeal." Sou v. Gonzales, 450 F.3d 1, 6 n.11 (1st Cir. 2006) (internal quotation marks and citations omitted here and throughout); accord Johnson v. United States, 734 F.3d 352, 360 (4th Cir. 2013). For internal use only SDNY_GM_00056843 CONFIDENTIAL - PURSUANT TO FED. R.ctON(F IDENTIAL DB
one assumes the most dubious of conclusions: that the true measure of racial equality is always to be found in numeric proportionality." Md. Trooper Ass'n, Inc. v. Evans, 993 F.2d 1072, 1077 (4th Cir. 1993). 2. The majority observes that Plaintiffs' evidence is "statistically significant at 2.54 standard
. 1993) 11 Williams v. Burns, 463 F.Supp. 1278, 1282 (D. Colo. 1979) 9 Yuan v. Rivera, 1998 WL 63404, at *5 (S.D.N.Y. Feb. 17, 1998) 12 Zerr v. Johnson, 894 F. Supp. 374, 376 (D. Colo. 1995) 16 EFTA00595587 Case 1:15-cv-07433-RWS Document 15 Filed 12/01/15 Page 6 of 29 INTRODUCTION The Plaintif
Winslet, 218 A.D.2d 148, 153 (1st Dep't 1996) 13 Celle v. Filipino Reporter Enters, Inc., 209 F.3d 163 (2d Cir. 2000) 17 Club Valencia Homeowners Ass'n, Inc. v. Valencia Associates, 712 P.2d 1024 (Colo. App. 1985) 13 Cohen v. Stevanovich, 772 F.Supp.2d 416, 423 (S.D.N.Y. 2010) 7 Collier v. Possum Cere
UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE No. 08-80736-CIV-MARRA/JOHNSON JANE DOE 1 AND JANE DOE 2, Plaintiffs v. UNITED STATES OF AMERICA, Defendant INTERVENORS' MOTION FOR STAY PENDING APPEAL Intervenors Roy Black
ing risk of irreparable harm because "a court cannot restore confidentiality to documents after they are disclosed"); Gill v. Gulfstream Park Racing Ass'n, Inc., 399 F.3d 391, 398 (1st Cir. 2005)("once the documents are turned over to Gill with no clear limitation on what he may do with them, the cat is out
UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA CASE No. 08-80736-CIV-MARRA/JOHNSON JANE DOE I AND JANE DOE 2, Plaintiffs v. UNITED STATES OF AMERICA, Defendant INTERVENORS' REPLY TO JANE DOE #1 AND JANE DOES #2'S RESPONSE IN
Cir. 2007)(Perlman jurisdiction "does not depend on the validity of the appellant's underlying claims for relief'); Gill v. Gulfstream Park Racing Ass'n, Inc., 399 F.3d 391, 398, 402 (1st Cir. 2005)(asserting jurisdiction under Perlman, but concluding that informant privilege was not available to private
Entities connected to both Scarlett Johansson and Ass'n, Inc.

Jeffrey Epstein
PERSON
Kenneth Marra
PERSONJane Doe
PERSON
Bradley Edwards
PERSON
United States
LOCATION
George W. Bush
PERSONLeon Black
PERSONJack Goldberger
PERSON
Alan Dershowitz
PERSONMaria Farmer
PERSON
Paul Cassell
PERSONthe Southern District
LOCATION
Donald Trump
PERSON
Julie K. Brown
PERSON
Bill Clinton
PERSONEmmy Taylor
PERSON
Prince Charles
PERSON
Supreme Court
ORGANIZATION
Stephen Hawking
PERSON
Woody Allen
PERSON