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. No. 397, and Defendant filed a reply, Dkt. No. 398. The Court conducted a Daubert hearing on November 10, 2021, at which both parties examined Dr. Rocchio. Dkt. No. 431. The Court stated its oral opinion at that hearing that it would deny and grant in part Defendant's motion, to be followed by this op
t offer "testimony regarding any specific victim." Dkt. No. 386 at 3. The Defense has the law backwards on this point. As explained above regarding the Second Circuit's Nimely decision, an expert may not testify as to a specific witness's credibility. 414 F.3d at 398. And as other courts have explained in admitting
prevent disclosure. (Id. 18 EFTA00088820 (emphasis added)). Dr. testimony will also include discussion of techniques used by perpetrators. Dr. Rocchio's testimony regarding such techniques is supported by Dr. review of the relevant literature, see Exhibit A, and through her clinical work. By virtue
nment to identify the co-conspirator statements it plans to use at trial in its initial round of pretrial motions. There, the defendant argued that the Second Circuit's practice of conditional admission of co-conspirator statements at trial would prejudice her because "any cautionary instruction would be of doubtful
. No. 397, and Defendant filed a reply, Dkt. No. 398. The Court conducted a Daubert hearing on November 10, 2021, at which both parties examined Dr. Rocchio. Dkt. No. 431. The Court stated its oral opinion at that hearing that it would deny and grant in part Defendant's motion, to be followed by this op
t offer "testimony regarding any specific victim." Dkt. No. 386 at 3. The Defense has the law backwards on this point. As explained above regarding the Second Circuit's Nimely decision, an expert may not testify as to a specific witness's credibility. 414 F.3d at 398. And as other courts have explained in admitting
. No. 397, and Defendant filed a reply, Dkt. No. 398. The Court conducted a Daubert hearing on November 10, 2021, at which both parties examined Dr. Rocchio. Dkt. No. 431. The Court stated its oral opinion at that hearing that it would deny and grant in part Defendant's motion, to be followed by this op
t offer "testimony regarding any specific victim." Dkt. No. 386 at 3. The Defense has the law backwards on this point. As explained above regarding the Second Circuit's Nimely decision, an expert may not testify as to a specific witness's credibility. 414 F.3d at 398. And as other courts have explained in admitting
Entities connected to both Rocchio and the Second Circuit's

Jeffrey Epstein
PERSON
Ghislaine Maxwell
PERSON
United States
LOCATION
Julie K. Brown
PERSON
Prince Andrew
PERSON
Supreme Court
ORGANIZATION
Scarlett Johansson
PERSON
Colorado
LOCATIONSouthern District
LOCATION
Torres
PERSON
Department of Justice
ORGANIZATION
George W. Bush
PERSONMulder
PERSONDaubert
PERSONDietz
PERSONJeffrey Pagliuca
PERSON
Virginia Giuffre
PERSON
Denver
LOCATION
ALISON J. NATHAN
ORGANIZATION
New Haven
LOCATION