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9 results for “
"Pre-Filing Conference"
”
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EFTA00209273
Dataset 9
2013-07-10
2p
354w
Subject:
RE: Epstein's Request for Prospective Intervention -- no conference among the parties
From:
Jackie Perczek <
[email protected]
>
To:
Paul Cassell <cassell law.utah.edu>
…Edwards (
[email protected]
); Marvin Simeon Subject: Epstein's Request for Prospective Intervention -- no conference among the parties Dear Jackie, We read with interest Epstein's recent motion for "Prospective Limited Intervention at the Remedy Stage of These Proceedings," DE 207. However, in reviewing the motion, we did not see the statement of
Pre-Filing Conference
, required by the Court's Local Rules. See Local Rule 7.1(A)(3). This requirement cannot be ignored, and we would like the…
https://www.justice.gov/epstein/files/DataSet%209/EFTA00209273.pdf
EFTA00208569
Dataset 9
2013-07-10
1p
286w
Subject:
Epstein's Request for Prospective Intervention -- no conference among the parties
From:
Paul Cassell <
[email protected]
>
To:
Jackie Perczek CIPerczek black.com>
…no conference among the parties Date: Wed, 10 Jul 2013 21:39:58 +0000 Importance: Normal Dear Jackie, We read with interest Epstein's recent motion for "Prospective Limited Intervention at the Remedy Stage of These Proceedings," DE 207. However, in reviewing the motion, we did not see the statement of
Pre-Filing Conference
, required by the Court's Local Rules. See Local Rule 7.1(A)(3). This requirement cannot be ignored, and we would like the opportunity to…
https://www.justice.gov/epstein/files/DataSet%209/EFTA00208569.pdf
EFTA00599373
Dataset 9
2009-08-21
6p
744w
…2009, to file Responses to Plaintiff Jane Doe's Motions to Compel Responses to Request to Produce. Answers to Request for Admissions, and Answers to Interrogatories. Rule 7.1 A. 3. Certification of
Pre-Filing Conference
Counsel for Defendant conferred with Counsel for Plaintiff's counsel, by telephone, and Counsel for Plaintiff is in agreement with the requested extension. Robert D. tton, Esq. Attorney or Defendant Certificate of Service I HEREBY CERTIFY that a true copy of the foregoing was…
https://www.justice.gov/epstein/files/DataSet%209/EFTA00599373.pdf
EFTA00730588
Dataset 9
2009-08-21
6p
697w
…2009, to file Responses to Plaintiff Jane Doe's Motions to Compel Responses to Request to Produce. Answers to Request for Admissions, and Answers to Interrogatories. Rule 7.1 A. 3. Certification of
Pre-Filing Conference
Counsel for Defendant conferred with Counsel for Plaintiff's counsel, by telephone, and Counsel for Plaintiff is in agreement with the requested extension. Robert D. tton, Esq. Attorney or Defendant Certificate of Service I HEREBY CERTIFY that a true copy of the foregoing was…
https://www.justice.gov/epstein/files/DataSet%209/EFTA00730588.pdf
EFTA00209825
Dataset 9
2013-07-11
3p
561w
Subject:
FW: complete email list
From:
Paul Cassell [mallto:
[email protected]
]
To:
"Paul Cassell (
[email protected]
)" <
[email protected]
>, "Brad Edwards
…Edwards (brad(4athtojustice.com); Marvin Simeon Subject: Epstein's Request for Prospective Intervention -- no conference among the parties Dear Jackie, We read with interest Epstein's recent motion for "Prospective Limited Intervention at the Remedy Stage of These Proceedings," DE 207. However, in reviewing the motion, we did not see the statement of
Pre-Filing Conference
, required by the Court's Local Rules. See Local Rule 7.1(A)(3). This requirement cannot be ignored, and we would like the…
https://www.justice.gov/epstein/files/DataSet%209/EFTA00209825.pdf
EFTA00730594
Dataset 9
2009-08-31
4p
598w
…2009, to file Responses to Plaintiff Jane Doe's Motions to Compel Responses to Request to Produce, Answers to Request for Admissions, and Answers to Interrogatories. EFTA00730594 Rule 7.1 A.3 Certification of
Pre-Filing Conference
Counsel for Defendant conferred with Counsel for Plaintiff by telephone and/or electronic mail, and Counsel for Plaintiff is in agreement with the requested extension. By: MICHAEL J. PIKE,`ESQ Florida Bar #617296 Certificate of Service I HEREBY CERTIFY that a true copy…
https://www.justice.gov/epstein/files/DataSet%209/EFTA00730594.pdf
EFTA01660091
Dataset 10
2010-03-10
20p
4,367w
…JOHNSON contempt, the Court should also impose appropriate sanctions, including attorney's fees for Jane Doe in connection with filing this motion. The Court should also compel Mr. Brunel to appear for a deposition within 14 days of the Court's order and grant any additional relief the Court deems just and proper.
PRE-FILING CONFERENCE
Counsel for Jane Doe has attempted to confer with Ms. Kudman about this motion, but she declined to make Brunel available for deposition, and…
https://www.justice.gov/epstein/files/DataSet%2010/EFTA01660091.pdf
EFTA00209337
Dataset 9
2013-07-10
3p
955w
Subject:
RE: complete email list
From:
(USAFLS)"
To:
USAFLS
…Edwards ); Marvin Simeon Subject: Epstein's Request for Prospective Intervention -- no conference among the parties Dear Jackie, We read with interest Epstein's recent motion for "Prospective Limited Intervention at the Remedy Stage of These Proceedings," DE 207. However, in reviewing the motion, we did not see the statement of
Pre-Filing Conference
, required by the Court's Local Rules. See Local Rule 7.1(A)(3). This requirement cannot be ignored, and we would like the opportunity to confer…
https://www.justice.gov/epstein/files/DataSet%209/EFTA00209337.pdf
EFTA00726092
Dataset 9
2009-11-12
33p
8,061w
…evidence relevant to the investment scheme as described herein and to further prohibit the persons and RRA from tampering, destroying or altering any such evidence and to grant any additional relief the Court deems just and proper. Rule 7.1 A. 3. Certification of
Pre-Filing Conference
Counsel for Defendant in good faith conferred with Plaintiffs counsel, Bradley Edwards, by telephone and Mr. Edwards does not oppose the entry of an order. Counsel for Defendant wrote and enclosed copies of…
https://www.justice.gov/epstein/files/DataSet%209/EFTA00726092.pdf
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