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edacted, with the 21 exception of Does 1 and 2, Professor Dershowitz, and in 22 deposition testimony already unseale
1 and 2 should 8 be unsealed. 9 Additionally, Alan Dershowitz's name and information 10 identifyin
eir names in this case's documents. Accordingly, 7 the names and identifying information for Does 1 and 2 should 8 be unsealed. 9 Additionally, Alan Dershowitz's name and information 10 identifying him may be unsealed. By his letter at docket entry 11 1138, he has requested that redactions of his name in t
specific comment, personal identifying 20 information for all nonparty Does should be redacted, with the 21 exception of Does 1 and 2, Professor Dershowitz, and in 22 deposition testimony already unsealed by the Court of Appeals. 23 The other names of Does and identifying information 2.1 will remai
10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 304-3. Same. Keep sealed. Medical records. 304-4. Letter from Ms. Menninger to Ms. Schultz. Unsealed but redact the medical information. 313. Supplemental authority. That has already been publicly filed. 313-1. Plaintiff's supplemental
.php?option=com content&view=category&layout=blog&id=22 • http://www.talkleft.corn/story/2015/1/22/21188/0959/crimenews/Jane-Doe-3-Strikes- Back-at-Dershowitz • http://www.talkleft.corn/legal/denialsummaryjmtred.pdf • http://www.palmbeachdailynews.com/news/locallepstein-victims-complicit-not-truly- vict
names/ • http://www.gossipextra.corn/2015/01/07/alan-dershowitz-50871 • https://tabublog.com/2015/0 I /07/part-
• https://www.slideshare.net/hypnoticwarning27/alan-dershowitzs-recurring-nightmare- accusations-of-i
eviewer for the journal Internet Research (http://info.emeraldinsight.com/authors/literati/index.htm) 2008 Best Paper, Jansen, B.J., Zhang, M., and Schultz, C. (2008) The Effect of Brand on the Evaluation of IT System Performance. Proceedings of the Southern Association for Information Systems Conferen
LY IONTALVO. RPR. CLR Phipps Reporting. Inc. 1551 Forum Place Bulldog/200k Suite E West Palm Beach. Honda 33401 I do hereby waive my signature. ALAN M. DERSIIDWITZ 780 34 (Pages 777 to 780) www.phippsreporting.com (888)811-3408 EFTA00602472 781 ERRATA SHEET DO NOT WRITE ON IRANSCRIIT - EATER CHANGES HER
is lawyers. 6 together and contrived and made this up? 6 No other individuals: for example. 7 A. That will require a "no- answer and an 7 Mr. Dershowitis wife or anybody else can be 8 explanation. Okay. The explanation is that before 8 present at that deposition. It's a deposition 9 you made your f
664) www.phippsreporting.com (888)811-3408 EFTA00602443 665 667 1 please elaborate on that. You say you had sex with 1 MR. INDYKE: Instruct Alan not to answer 2 him. Was it one time? Was it two times? Could it 2 to the extent it would disclose communications 3 have been six times? Could
:15 687:11 689:3 722:10,19 726:6 School (i) 703:14 722:9 707:20,20 695:12,16 Satz (1) 751:11 724:7 731:16 716:8 717:2 696:12,13,16 710:17 Schultz (1) 736:17 739:6 718:15 720:15 696:19,22 saw (2) 652:20 740:13 724:3 725:3,13 697:11,13,23 746:21 771:7 scope (2) secondary (1) 726:13 72
tion. Dated this 14th day of January. 2016. 461 ERRATA SHEET IX/ NOT WRITE. ON IRANSCRIIT - ENTER CHANGES HERE In Re. BRADLEY EDWARDS. ET AL. V. ALAN M. DERSHOIMTZ Cain No.: ALAN M. DERSHOWITZ January 12. 2016 PAGE UNE CHANGE REASON Lida isarahrts of gentry. I declare that I have read the foregoing docum
is is the videotaped deposition of 19 20 Alan Dershowitz in the matter of Bradley J. 20 21 Edwards and Paul G. Cassell versus Alan 21 22 22 Dershowitz. 23 23 This deposition is being held at= 24 24 25 25 My nano is 2 (Pages 335 to 338) www.phi sre orting.com EFTA00615805 EFTA00615806 E
me amend that. Let me amend that. Over the years since I first met Jeffrey Epstein. he has sought advice front me. 414 1 MR. INDYKE: Objection. Alan. this is 2 Darren Indyke. If you're going to discuss 3 statements that Jeffrey's made to you in 4 connection with requesting legal advice, then
335:14 388:24 390:7 389:10,14 426:6 434:21 429:12 430:20 rough (1) 402:15 403:6,6 391:17 435:21 436:21 431:8,9 432:1 438:18 403:23 408:4,5 Schultz (1) 438:3 440:10 432:13 433:15 Roy (1) 408:7,10 412:1 339:10 441:10 442:5 sell (3) 444:10 425:10,11 scientists (1) 442:19 444:25 353:1 37
elke, —against— GHISLA1NE MAXWELL, Defendant-Appellant, SHARON CHURCHER, JEFFREY EPSTEIN, Respondents, JULIE BROWN, MIAMI HERALD MEDIA COMPANY, ALAN M. DERSHOWITZ, MICHAEL CERNOVICH, DBA CERNOVICH MEDIA Intervenors. ON APPEAL FROM THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF NEW YORK, 15-CV-
access to all filings and discovery materials, including third-party discovery, from that case." App. p 514. The district court rightly rejected Mr. Dershowitz's motion, explaining that this Court "has held that where there has been reasonable reliance by a party or non-party in providing discovery pursuan
dents, JULIE BROWN, MIAMI HERALD MEDIA COMPANY, ALAN M. DERSHOWITZ, MICHAEL CERNOVICH, DBA CERNOVICH M
al in full. 211. That's the reply to the motion. The portions mentioning Does 1 and 2 which appear at pages 2, 5, and 6 may be unsealed. 212. Ms. Schultz's declaration in support of the motion. The portions mentioning John Does 1 and 2 which appear at page 2 may be unsealed. 212-1. Doe no. 162's dep
LAINE MAXWELL, SHARON CHURCHER, JEFFREY EPSTEIN, PlaintiffiAppellee, Defendant-Appellant, Respondents, JULIE BROWN, MIAMI HERALD MEDIA COMPANY, ALAN M. DERSHOWITZ, MICHAEL CERNOVICH, DBA CERNOVICH MEDIA Intervenors. ON APPEAL FROM THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF NEW YORK, 15-CV-
the nature of this case. 9 I think it's more like listing witnesses. So I would say that 10 the plaintiff should supply all residences. 11 The Dershowitz deposition will be produced under the 12 confidentiality provision. As I read what I've been given, 13 it's to be held in confidence and it will
dents, JULIE BROWN, MIAMI HERALD MEDIA COMPANY, ALAN M. DERSHOWITZ, MICHAEL CERNOVICH, DBA CERNOVICH M
al in full. 211. That's the reply to the motion. The portions mentioning Does 1 and 2 which appear at pages 2, 5, and 6 may be unsealed. 212. Ms. Schultz's declaration in support of the motion. The portions mentioning John Does 1 and 2 which appear at page 2 may be unsealed. 212-1. Doe no. 162's dep
7 Case 20-2413, Document 10-9,07/30/2020, 2896538, Page8 of 17 K7N9GIUD 4 5 already public. 165-8. Excerpts from Ms. deposition taken in the Dershowitz matter on January 16, 2016. Unseal. 165-10. Copy of e-mail correspondence. Unseal. 165-11. Excerpts from Ms. deposition, 6 May 3, 2016. Unseal.
al in full. 211. That's the reply to the motion. The portions mentioning Does 1 and 2 which appear at pages 2, 5, and 6 may be unsealed. 212. Ms. Schultz's declaration in support of the motion. The portions mentioning John Does 1 and 2 which appear at page 2 may be unsealed. 212-1. Doe no. 162's dep
complaint against IMDS, CEO Linda Grable, and CFO Alan Schwartz for among other things: making false an
ments for 0001140361-21-019019 (sec.gov) Northern Data/Bitcoin Frankfurt came into existence in 2015. The founder is a guy named Mathis Schultz. Mr Schultz previously was a Private Banker at Julius Baer, LGT, and Elan Capital Management Mining Like a Viking: How the Fjords of Norway Offer a Greener Alt
ok an interest in evolutionary biology. My friend Alan Rogers, a population geneticist | didn’t know all
zero just as buildings do. Yoram Ben-Porath combined these ideas and more in a masterly life- cycle model published in 1967. We'll get to it soon. Schultz called the part of consumption exhausted in taste satisfaction “pure consumption”. The part invested in human capital was “pure investment”. I change
ed journal, and remains uncited as far as I know. Alan Rogers, a biologist at University of Utah, publis
realized, as it were, in his person. The conversion of some consumption into human capital was a favorite theme of Frank Knight a generation before Schultz. Only the rest is what Schultz called pure consumption eliminated from the economy in satisfying tastes. Becker added in 1964 that this investment mu
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