DOJ-OGR-00008255.jpg

584 KB

Extraction Summary

3
People
4
Organizations
1
Locations
1
Events
2
Relationships
4
Quotes

Document Information

Type: Court transcript
File Size: 584 KB
Summary

This document is a page from a court transcript (filed Dec 8, 2021) discussing pre-trial motions in limine. The Court discusses the schedule for ruling on the Government's motion to exclude the testimony of defense expert witnesses Drs. Loftus and Dietz (likely Elizabeth Loftus and Park Dietz). The text also mentions disputes regarding Government Exhibit 52 and the introduction of co-conspirator statements, with a final pretrial conference scheduled for November 23.

People (3)

Name Role Context
Dr. Loftus Defense Expert Witness
Subject of government motion to exclude testimony pursuant to 702 and Daubert.
Dr. Dietz Defense Expert Witness
Subject of government motion to exclude testimony pursuant to 702 and Daubert.
The Court Judge/Speaker
Presiding over the hearing, setting schedules for rulings and briefings.

Organizations (4)

Name Type Context
Southern District Reporters, P.C.
Footer information.
Government
Filed motions to exclude testimony.
Defense
Responsible for filing responses and motion in limine.
DOJ
Indicated by Bates stamp DOJ-OGR.

Timeline (1 events)

November 23
Final Pretrial Conference
Court

Locations (1)

Location Context
Implied by court reporter name (likely SDNY).

Relationships (2)

Dr. Loftus Expert Witness Defense
Referred to as 'defense witnesses that have been noticed as potential experts'.
Dr. Dietz Expert Witness Defense
Referred to as 'defense witnesses that have been noticed as potential experts'.

Key Quotes (4)

"we have the government's motion to exclude the testimony, or some of the testimony at least, of Drs. Loftus and Dietz pursuant to 702 and Daubert."
Source
DOJ-OGR-00008255.jpg
Quote #1
"We also have not yet fully briefed the defendant's seventh motion in limine which relates to Government Exhibit 52"
Source
DOJ-OGR-00008255.jpg
Quote #2
"the defendant's first motion in limine related to introduction of co-conspirator statements."
Source
DOJ-OGR-00008255.jpg
Quote #3
"I will either rule by written order or address those at the November 23 final pretrial conference."
Source
DOJ-OGR-00008255.jpg
Quote #4

Full Extracted Text

Complete text extracted from the document (1,480 characters)

Case 1:20-cr-00330-PAE Document 529 Filed 12/08/21 Page 11 of 18 11
LBF3MAXC
1 flag what I understand to be remaining, we have two issues that
2 are now fully briefed. That's the supplemental briefing on the
3 defendant's fourth motion in limine, and we have the
4 government's motion to exclude the testimony, or some of the
5 testimony at least, of Drs. Loftus and Dietz pursuant to 702
6 and Daubert.
7 I'm working my way through that. I will either rule
8 by written order or address those at the November 23 final
9 pretrial conference.
10 We also have not yet fully briefed the defendant's
11 seventh motion in limine which relates to Government Exhibit
12 52, the defendant's first motion in limine related to
13 introduction of co-conspirator statements.
14 Let me say the Court appreciates some effort to find
15 places on which agreement was necessary and to come to it.
16 Thank you.
17 Those matters will be fully briefed tonight when I
18 receive the defense's response. And again, I will either put
19 out written orders on those or address them at the November 23
20 final pretrial conference.
21 If the government does move to exclude any of the
22 other defense witnesses that have been noticed as potential
23 experts, that briefing is due tonight, response by Friday.
24 I'll either put out a written order, address it at the final
25 pretrial conference on the 23rd if I can, or some time after
SOUTHERN DISTRICT REPORTERS, P.C.
(212) 805-0300
DOJ-OGR-00008255

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