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Court filing · May 27, 2016

Plaintiff's counsel declaration supporting motion to exceed deposition limit, May 27, 2016

Declaration by plaintiff's counsel supporting the motion to exceed the ten-deposition limit in the civil case against Ghislaine Maxwell.Machine-written summary

EFTA00076390

Case 15-c007433-DAPunDocument0812090010, Filed 0730/20e9Page 1 of 4

App.-0783

United States District Court Southern District of New York

Plaintiff,

Case No.: 15-cv-07433-RWS

V.

Ghislaine Maxwell,

Defendant.

NON-REDACTED DECLARATION OF SIGRID S. McCAWLEY IN SUPPORT OF PLAINTIFF’S MOTION TO EXCEED PRESUMPTIVE TEN DEPOSITION LIMIT IN FEDERAL RULE OF CIVIL PROCEDURE 30(A)(2)(a)(ii), FILED UNDER SEAL

I, Sigrid S. McCawley, declare that the below is true and correct to the best of my knowledge as follows:

  1. I am a partner with the law firm of Boies, Schiller & Flexner LLP and duly licensed to practice in Florida and before this Court pursuant to this Court’s September 29, 2015 Order granting my Application to Appear Pro Hac Vice.

  2. I respectfully submit this Declaration in support of Plaintiff’s Motion to Exceed Presumptive Ten Deposition Limit In Federal Rule of Civil Procedure 30(A)(2)(a)(ii), Filed Under Seal.

  3. Attached hereto as Composite Exhibit 1, is a true and correct copy of the May 17, 2016 Email Correspondence from Sigrid McCawley.

  4. Attached hereto as Exhibit 2, is a true and correct copy of the May 27, 2016 Email Correspondence from Laura Menninger.

  5. Attached hereto as Exhibit 3, is a true and correct copy of the Notice of Service

EFTA00076391

CaseCla15-20-07433DARumDocument08/209020, 291le3567/30/201Page78 of 4

App.-0784

and Subpoena to

  1. Attached hereto as Exhibit 4, is a true and correct copy of the May 26, 2016 Correspondence from Sigrid McCawley.

  2. Attached hereto as Exhibit 5, is a true and correct copy of the

  3. Attached hereto as Composite Exhibit 6, is a true and correct copy of the April 22, 2016 Deposition Transcript of Ghislaine Maxwell.

  4. Attached hereto as Exhibit 7, is a true and correct copy of the Palm Beach Police Report.

  5. Attached hereto as Exhibit 8, is a true and correct copy of the November 21, 2005 Sworn Statement of

  6. Attached hereto as Exhibit 9, is a true and correct copy of the May 4, 2016 Email Correspondence from Laura Menninger.

I declare under penalty of perjury that the foregoing is true and correct.

/s/ Sigrid S. McCawley

Sigrid S. McCawley, Esq.

EFTA00076392

CaseCla15-20-07433.DAPumDocument08/209020, 29le3567/30/201Page78 of 4

App.-0785

Dated: May 27, 2016.

Respectfully Submitted,

BOIES, SCHILLER & FLEXNER LLP

By: /s/ Sigrid McCawley

Sigrid McCawley (Pro Hac Vice)

Meredith Schultz (Pro Hac Vice)

Boies, Schiller & Flexner LLP 401 E.

David Boies

Boies, Schiller & Flexner LLP

Bradley J. Edwards (Pro Hac Vice)

FARMER, JAFFE, WEISSING,

EDWARDS, FISTOS & LEHRMAN, P.L.

Paul G. Cassell (Pro Hac Vice)

S.J. Quinney College of Law

University of Utah

1 This daytime business address is provided for identification and correspondence purposes only and is not intended to imply institutional endorsement by the University of Utah for this private representation.

EFTA00076393

Case 15-20-07433 Document 48/209020, File 3567/30/2012 Page 4 of 4

App.-0786

CERTIFICATE OF SERVICE

I HEREBY CERTIFY that on May 27, 2016, I electronically filed the foregoing document with the Clerk of Court by using the CM/ECF system. I also certify that the foregoing document is being served this day on the individuals identified below via transmission of Notices of Electronic Filing generated by CM/ECF.

Laura A. Menninger, Esq.

Jeffrey Paliuca, Esq.

HADDON, MORGAN & FOREMAN, P.C.

/s/ Sigrid S. McCawley
Sigrid S. McCawley, Esq.

Plaintiff's counsel declaration supporting motion to exceed deposition limit, May 27, 2016

Court filings

Declaration by plaintiff's counsel supporting the motion to exceed the ten-deposition limit in the civil case against Ghislaine Maxwell.

DOJ Epstein Files, Data Set 9 · May 27, 2016

EFTA00076390 Case 15-c007433-DAPunDocument0812090010, Filed 0730/20e9Page 1 of 4 App.-0783 United States District Court Southern District of New York Plaintiff, Case No.: 15-cv-07433-RWS V. Ghislaine Maxwell, Defendant. NON-REDACTED DECLARATION OF SIGRID S. McCAWLEY IN SUPPORT OF PLAINTIFF’S MOTION TO EXCEED PRESUMPTIVE TEN DEPOSITION LIMIT IN FEDERAL RULE OF CIVIL PROCEDURE 30(A)(2)(a)(ii), FILED UNDER SEAL I, Sigrid S. McCawley, declare that the below is true and correct to the best of my knowledge as follows: 1. I am a partner with the law firm of Boies, Schiller & Flexner LLP and duly lice…