Epstein Project

285-07.pdf

Type
pdf
Source set
house-oversight-doj
Pages
2
Text status
Searchable text available
OCR confidence
0.8822126022126022

Original source

Extracted text

Case 1:20-cr-00330-PAE Document 285-7 Filed 05/20/21 Page1of2 EXHIBIT P DOJ-OGR-00004200 

Case 1:20-cr-00330-PAE Document 285-7 Filed 05/20/21 Page 2of2 Log Privilege Doc ID Email Sent Date Email From Email To CC Address Subject Matter Type of Privilege [Action Page Count | Type Plaintiff has objected that Defendant’s requests are overly broad and unduly burdensome, as individually logging all privileged responsive documents would be overly burdensome. Plaintiff contends that requests targeting such privileged information are not reasonably calculated to lead to the discovery of admissible evidence, are not important to resolving the issues, are not relevant to any party’s claim or defense, are not proportional to the needs of the case, and creates a heavy burden on Plaintiff that The law enforcement outweighs its benefit. Therefore, Plaintiff has employed entity, Virginia Giuffre, |The law enforcement entity, categorical logging pursuant to Local Civil Rule 26.2(c). Email and letter David Boies, Stan Virginia Giuffre, David Boies, This categorical entry is regarding correspondence re the communications re law |Pottinger, Sigrid Stan Pottinger, Sigrid enforcement McCawley, Paul Cassell, |McCawley, Paul Cassell, Brad currently ongoing criminal investigation of Defendant and rs. investigation Brad Edwards Edwards arias Public Interest [Withheld documents approx. 57   DOJ-OGR- 00004201 

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