Giuffre v. Maxwell, No. 115-cv-07433 (S.D.N.Y. 2015)/1000.pdf
giuffre-v-maxwell Court Filing 83.1 KB • Feb 12, 2026
Case 1:15-cv-07433-LAP Document 1000 Filed 10/30/19 Page 1 of 2
Case 1:15-cv-07433-LAP Document 999 Filed 10/30/19 Page 1 of 2
KRIEGER KIM & LEWIN LLP
500 Fifth Avenue
New York, NY JOl 10
ByECF
The Honorable Loretta A. Preska
United States District Judge
Southern District
of New York
500 Pearl Street, Room 2220
New York,
NY 10007-1312
October 30, 2019
USDC'SDNY
Tdt:phont:: (212) 390.9s50
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DOCUMENT
ELECTRONIC.ALLY FILED
DOC H:
----------
D~fE FILEh: j o -30 -I j
Re: Giuffre v. Maxwell, 15 Civ. 07433 (LAP)
Dear Judge Preska:
We write on behalf
of a non-party, John Doe, regarding the letter filed by Alan
Dershowitz on October 24, 2019, in the case
of Giuffre v. Dershowitz, 19 Civ. 3377 (LAP). See
19 Civ. 3377 (LAP) Docket Entry ("DE") 71. By that letter, Dershowitz-the defendant in that
case, and an intervenor seeking categorical unsealing
of all sealed filings here - requests that this
Court order the plaintiff there ( and here) Virginia Giuffre
to "immediately produce" two
documents that he styles
as "pre-Answer discovery." Id. On the following day, October 25,
2019, this Court directed counsel in that case to confer regarding Dershowitz' s request and,
if
Giuffre disagrees with Dershowitz's request, to so inform the Court by November 4, 2019. See
DE 72. The Court should not permit Dershowitz to engage in an end run around the unsealing
process Your Honor
is conducting in this matter.
Dershowitz seeks the "immediate" production
of two non-public documents, including
Giuffre's partially sealed deposition taken in this case. DE 71. This request effectively
proposes
to by-pass the sealing-review process this Court has initiated here. And Dershowitz
does not even attempt to address how his request can be aligned with the sealing-review process
in this case. Nor does he articulate why pre-answer access to sealed documents - which he
presumably intends
to unilaterally unseal and use in potential counterclaims and his answer -
would be necessary to satisfy notice-pleading requirements.
Case 1:15-cv-07433-LAP Document 1000 Filed 10/30/19 Page 2 of 2
Case 1:15-cv-07433-LAP Document 999 Filed 10/30/19 Page 2 of 2
October 30, 2019
Page2 of2
We respectfully submit that the documents to which Dershowitz requests immediate
access be subject to the same unsealing procedure that the Court envisions for the rest
of the
documents subject to the Court
of Appeals' remand. See Brown v. Maxwell, 929 F.3d 41 (2d Cir.
2019).
By:
Respectfully Submitted,
KRIEGER KIM & LEWIN LLP
cc (by ECF): Counsel ofrecord (15 Civ. 7433 (LAP))
cc (by email): Counsel
of record (19 Civ. 3377 (LAP))
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- Feb 12, 2026