EFTA01126074Dataset 9
36p6,755w
…correct? 19 A That's correct. 20 Q Did Mr. Adler on many occasions in that 21 deposition invoke a work product privilege? 22 A His deposition has been filed. And 23 basically, at the beginning of the deposition he said I 24 am going to invoke privilege on all communications and 25 everything else. So it was basically a standing PALM BEACH REPORTING SERVICE, INC. (561)471-2995 EFTA01126104 31 1 objection, and additionally, throughout the deposition 2 he…
https://www.justice.gov/epstein/files/DataSet%209/EFTA01126074.pdf
EFTA01116468Dataset 9
2015-09-1091p29,281w
…Hamilton v. Hamilton Steel Corp., 409 So. 2d 1111, 1114 (Fla. 4th DCA 1982) (where the attorney who represented multiple defendants publicly announced the details of a settlement at a court hearing, the attorney-client privilege had been waived as to all matters relating to the negotiation of the settlement, even though some of the attorney's clients later attempted to invoke privilege); Stevenson v. Stevenson, 661 So. 2d 367, 369-70 (Fla. 4th DCA 1995 (wife could not claim…
https://www.justice.gov/epstein/files/DataSet%209/EFTA01116468.pdf