Ryan Hall, M.D., is identified in several court documents related to legal proceedings, where he was retained as a psychiatrist by the defendant's counsel to perform a mental examination of the plaintiff.
Ryan Hall's appearances are primarily within court filings, where he is listed as a retained psychiatrist. He, along with Richard Hall, M.D., is associated with C.W. Hall, M.D., P.A. in Lake Mary, FL. These documents indicate that Ryan Hall, M.D., was scheduled to perform a psychiatric examination of the plaintiff in September 2009.
ho may have or may ultimately see the Plaintiff and testify in court. 10. Defendant's counsel has retained the services of Richard Hall, M.D. and Ryan Hall, M.D., of C.W. Hall, M.D., P.A. located at 2500 West Lake Mary Blvd., #219 Lake Mary, FL 32746. Ryan Hall, M.D., will be performing the examination.
l. Page 7 561-684-6500 Fax: 561-515-2610 Counsel for Plaintiff in Related Case No. 08-08804 [email protected] [email protected] cc. Dr. Ryan Hall
izes late in his "emergency"1 motion in that he seeks to have Plaintiff submit to a 6-8 hour compulsory examination with his retained psychiatrist, Ryan Hall, M.D. 3. Defendant has unilaterally selected August 20, 2009 for this examination. 4. Plaintiff has been hospitalized for the last two weeks suff
ant’s Reply to Plaintiff’s Motion for Protective Order regarding Defendant’s proposed mental examination of Plaintiff by his retained psychiatrist, Ryan Hall, M.D. 5. One of the grounds originally cited in Plaintiff’s Motion for Protective Order which sought to prevent the mental examination of Plaintiff
ho may have or may ultimately see the Plaintiff and testify in court. 11. Defendant's counsel has retained the services of Richard Hall, M.D. and Ryan Hall, M.D., of C.W. Hall, M.D., P.A. located at 2500 West Lake Mary Blvd., #219 Lake Mary, FL 32746. Ryan Hall, M.D., will be performing the examination.
ho may have or may ultimately see the Plaintiff and testify in court. 13. Defendant's counsel has retained the services of Richard Hall, M.D. and Ryan Hall, M.D., of C.W. Hall, M.D., P.A. located at 2500 West Lake Mary Blvd., #219 Lake Mary, FL 32746. Ryan Hall, M.D., will be performing the examination.
ho may have or may ultimately see the Plaintiff and testify in court. 14. Defendant's counsel has retained the services of Richard Hall, M.D. and Ryan Hall, M.D., of C.W. Hall, M.D., P.A. located at 2500 West Lake Mary Blvd., #219 Lake Mary, FL 32746. Ryan Hall, M.D., will be performing the examination.
ho may have or may ultimately see the Plaintiff and testify in court. 14. Defendant's counsel has retained the services of Richard Hall, M.D. and Ryan Hall, M.D., of C.W. Hall, M.D., P.A. located at 2500 West Lake Mary Blvd., #219 Lake Mary, FL 32746. Ryan Hall, M.D., will be performing the examination.
cular, the examiner proposes to ask Jane Doe about her previous “medical, . . . legal, social, criminal, [and] academic” background.” Affidavit of Ryan Hall, Attachment “D” to Defendant Epstein’s Motion to Compel Independent Medical Examination, [DE 301-4] Case 9:08-CV-80119- KAM. In addition, the exami
edacted].pdf Chambers, Attached please find a letter motion to file a reply in support of the Government's motion to preclude the testimony of Dr. Ryan Hall. Attached also are the proposed reply brief and exhibit. The Government submits these documents temporarily under seal. Respectfully submitted, As
Page: EFTA00014696 →Government respectfully requests permission to file the attached reply brief in support of the Government's motion to preclude the testimony of Dr. Ryan Hall. Among other issues, the defendant's opposition brief raises new arguments about hearsay exceptions that the defendant argues apply to information
Page: EFTA00014697 →reclude the testimony of the remaining six experts. The Defense filed a response on November 19, 2021. The Court addressed the admissibility of Dr. Ryan Hall in a separate written opinion. In this opinion, the Court addresses the preliminary admissibility of Bennett Gershman based on the parties' current
Page: EFTA00014701 →le 16 Disclosures] Date: Mon, 08 Nov 2021 19:04:22 +0000 Attachments: Maxwell's_Rule_16(b)(1)(C)_Disclosures.zip Inline-Images: image001.jpg #3 — Ryan Hall — brief due Monday 11/15 From: (USANYS) Sent: Monday, November 1, 2021 10:25 PM To: (USANYS) Cc: >; (USANYS) >; Subject: FW: U.S. v. Maxwel
Page: EFTA00014984 →xual assault event, any of which would be expected to elicit intense distress. EFTA00016278 --- PAGE BREAK --- November 1, 2021 Page 12 C. Dr. Ryan Hall Dr. Ryan Hall performed an independent medical and psychiatric evaluation of in 2009. Dr. Hall's curriculum vitae is attached as Exhibit D. His rep
Page: EFTA00016279 →30 (AJN) GHISLAINE MAXWELL, Defendant. THE GOVERNMENT'S MEMORANDUM OF LAW IN SUPPORT OF ITS MOTION IN LIMINE TO PRECLUDE EXPERT TESTIMONY OF DR. RYAN HALL, BENNETT GERSHMAN, ROBERT KELSO, GERALD LAPORTE. AND JENNIFER NASO DAMIAN WILLIAMS United States Attorney for the Southern District of New York
Page: EFTA00024954 →
Paul Ryan
PersonSpeaker of the United States House of Representatives from 2015 to 2019

Jeffrey Epstein
PersonAmerican sex offender and financier (1953–2019)
Jack Goldberger
PersonFamily name
Jane Doe
Person2001 album by Converge
Jack Scarola
PersonFamily name

Paul Cassell
PersonUnited States federal judge

Lake Worth
LocationCity in Palm Beach County, Florida, United States
Bruce E. Reinhart
PersonRobert C. Josefsberg
PersonBradley Edwards
PersonWikimedia disambiguation page

Salt Lake City
LocationCity in and county seat of Salt Lake County, Utah, United States and the capital of Utah
Scott Rothstein
PersonAmerican criminal
Sarah Kellen
PersonIsidro M. Garcia
PersonMermelstein & Horowitz
OrganizationJack P. Hill
PersonKatherine W. Ezell
Person
Adam D. Horowitz
PersonHalls
Person
Richard H. Willits
Person