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ded). • When questioned about his unequivocal extra-judicial statement to ABC that he and Edwards represented , the woman "was sexually abused by Prince Andrew and Alan Dershowitz" in the same email that the lawyers were "exploring options to tell I ] side of the story," Cassell turned his own words on thei
ented , the woman "was sexually abused by Prince Andrew and Alan Dershowitz" in the same email that the
g had sexual relations with were Prince Andrew, Duke of York ("Prince Andrew"); Ghislaine Maxwell ("Maxwell")
Motion as having had sexual relations with were Prince Andrew, Duke of York ("Prince Andrew"); Ghislaine Maxwell ("Maxwell")
o was sexually abused by Prince Andrew and Alan Dershowitz. We are exploring options to tell her side of the story. Could you call me quickly about Nightline or related possibilities? Paul Cassell 801-xxx-xxxx Paul G. Cassell Ronald N. Boyce Presidential Professor of Criminal Law S.J. Quinney College of
At the -- okay. At the time that you filed the joinder motion -- A. Yes, Q. -- in the federal case, so December 30th of 2014, you knew that naming Prince Andrew would generate substantial publicity, correct? A. I knew it would attract a lot of attention. Yeah, I mean, “substantial” we could debate, but, sure
ecember 30th of 2014, you knew that naming Prince Andrew would generate substantial publicity, correct? A
25 On Oa kh OD = @ 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Page 308 to 311 of 335 310 know -- I can't recall sitting here today whether Nightline, is that an ABC program or NBC or -- or some other network. Q. If you look at the exhibit, the e-mail in the second -- the bottom half of the first
ls with Miss Jesco? ox2z04 16 A. Yes. 032204 17 Q. And Miss Jesko -- who is Miss Jesko? 032208 18 A. She works for -- which -- which -- oh, 032213 19 Nightline. She works for Nightline, yes. os221s 20 Q. So she’s with ABC News? 32217 21 A. I believe that's right, yes. oszt9 22 Q. And -- 032219 23 A. Imean,I-
D, ¶ 15. The first declaration actually included multiple photographs purportedly of Jane Doe No. 3 as a minor, including one of Jane Doe No. 3 and Prince Andrew. Id. ¶ 32. With respect to Dershowitz, Jane Doe No. 3's first declaration provided gratuitous (and false) details about six specific instances in wh
d the names of prominent people, including Prince Andrew. That the allegations were improper and irrespon
eneral public, even though such secrecy violated the Crime Vietims=Rights-26tetr Id. The Joinder Motion included similar public allegations against Prince Andrew. Edwards and Cassell filed the Joinder Motion on the public docket in the Federal Action, without any accompanying motion to seal. The Joinder Moti
usations and her interview would be aired on at least three broadcast platforms: Good Morning America, the ABC national and international news, and Nightline. (See Edwards Statement). Her lawyer urged people to watch these interviews, which were scheduled to be seen by tens of millions of people around th
al Sent Wed 11/24/2010 10:12:34 AM Subject Re: Andrew/Thurs, Dec. 2 Title: Re: Andrew/Thurs, Dec. 2 W
and invite him. If you get Woody...you can probably then build to Charlie Rose, Fareed Zalcaria, Rick Stengel (editor of Time), Cynthia McFadden (Nightline), George Stephanopulous, Chris Cuomo and Cristina Cuomo, she is beautiful and smart...Christiane Amanpour....Katie If Woody comes, we can ask other
Entities connected to both Prince Andrew and Nightline

Jeffrey Epstein
PERSON
Ghislaine Maxwell
PERSON
Marc Rich
PERSON
Alan Dershowitz
PERSON
United States
LOCATION
Woody Allen
PERSONthe Southern District
LOCATION
Martha Stewart
PERSON
Virginia Giuffre
PERSON
Bradley Edwards
PERSON
Stephen Hawking
PERSON
George Mitchell
PERSON
Julie K. Brown
PERSONMartin Weinberg
PERSON
Michael Jackson
PERSON
Harvey Weinstein
PERSON
Kenneth Marra
PERSONJane Doe
PERSON
Les Wexner
PERSON
Colorado
LOCATION