Giuffre v. Maxwell, No. 115-cv-07433 (S.D.N.Y. 2015)/350.pdf
giuffre-v-maxwell Court Filing 81.5 KB • Feb 12, 2026
Case 1:15-cv-07433-LAP Document 350 Filed 08/09/16 Page 1 of 1
Case l:15-cv-07433-RWS Document 337 Filed 08/08/16 Page 1 of 1
401 EAST LAS OLAS BOULEVARD
9
SUITE 1200 • FORT LAUDERDALE, FL 33301 -22, I• PH. 954.356.00 I~ FAX 954.356,0022
Via CM/ECF
Honorable Judge Robert W. Sweet
District Court Judge
United States District Court
500 Pearl Street
New York,
NY 10007
Re:
Dear Judge Sweet,
August
8, 2016
This is a letter motion to file Plaintiff's Supplement to Motion For Adverse Inference Instruction
Based on
New Information and certain accompanying exhibits under seal pursuant to this Court's
Protective Order (DE 62).
The Protective Order states:
Whenever a party seeks
to file any document or material containing CONFIDENTIAL
INFORMATION with the Court in this matter, it shall be accompanied by a Motion to
Seal pursuant
to Section 6.2 of the Electronic Case Filing Rules & Instructions for the
Southern District
ofNew York.
See Protective Order (DE 62) signed on March 17, 2016, at p. 4.
Numerous materials have been marked as confidential in this case. As Plaintiff's Supplement to
Motion For Adverse Inference Instruction Based On New Information and certain accompanying
exhibits contain material that the parties have designated as confidential, she seeks leave to file it under
seal.
Meredith Schultz, Esq.
cc: Laura Menninger and Jeffrey Pagliuca via CM/ECF
WWW.BSFLLP.COM
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- 2a120880-0016-43ca-8189-487724164abb
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- Created
- Feb 12, 2026