EFTA00613892.pdf
dataset_9 pdf 103.0 KB • Feb 3, 2026 • 1 pages
Case 1:15-cv-07433-RWS Document 688 Filed 03/03/17 Page 1 of 1
BOIES, SCHILLER & FLEXNER LLP
2C- LAUDERDALE. FL 33301.221 • P • rAX
401 EAST LAS OLAS 601.;LEvASC • S_
Sigrid S. McCawley, Esq.
E-mail:
March 3, 2017
VIA ECF
Honorable Judge Robert W. Sweet
District Court Judge
United States District Court
500 Pearl Street
New York, NY 10007
Re: Giuffre v. Maxwell,
Case No.: 15-cv-07433-RWS
Dear Judge Sweet:
This is a letter motion to exceed the page limits for two motions. • 's
• " ine and Ms. Giuffre's Motion to Present Testimony from an
for Purposes of Obtaining an Adverse Inference.
Regarding the Omnibus Motion in Limine, in an attempt to combine as many motions in
limine as practical into one motion, pursuant to this Court's suggestion, Ms. Giuffre's Omnibus
Motion in Limine exceeds the allowable page limits. Accordingly, Ms. Giuffre seeks leave of
Court to exceed the page limits for that combined, omnibus motion.
Additionally, Ms. Giuffre respectfully requests the Cou uest to exceed the
e limits for Ms. Giuffre's Motion to Present Testimony from and..
or Purposes of Obtaining an Adverse Inference. This motion exceeds page limits
due to the inclusion of a demonstrative chart that Ms. Giuffre believes will assist the Court in
assessing the issues presented. Accordingly, Ms. Giuffre seeks leave of Court to exceed the page
limit for that motion.
Respectfully submitted,
Sigrid S. eCawley, Esq.
SSM:akc
cc: Jeff Pagliuca, Esq. (via e-mail)
Laura Menninger, Esq. (via e-mail)
WWW.EISFLLP.COM
EFTA00613892
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