Count
location 29 mentions 60% confidence
Also known as: COUNT
Document Mentions (29)
| Document | Volume | Page | Context |
|---|---|---|---|
| 059.pdf | - | 706 | it. But I want to give you whatever opportunity you want to take to convince me that it is in -- as to Count 2, again. Not the dee action whether thes... |
| 074.pdf | - | 2 | e the Requested Materials. [Def.Ex.A-4]. 5. On January 24, 2020, the State Attorney filed an Answer to Count I of the First Amended Complaint and a Mo... |
| 074.pdf | - | 8 | as he lacks the legal authority to obtain and deliver the Requested Materials demanded by Plaintiff in Count I of the First Amended Complaint. Even if... |
| 074.pdf | - | 9 | ts during the June 3, 2020 hearing, Plaintiff and Plaintiff's attorneys knew or should have known that Count I of the Amended Complaint was not suppor... |
| 074.pdf | - | 10 | NOT A CERTIFIED COPY Additionally, Plaintiff's argument for novelty and complexity fails as to Count I, regardless of Plaintiff's reliance on "Constit... |
| 074.pdf | - | 238 | it. But I want to give you whatever opportunity you want to take to convince me that it is in -- as to Count 2, again. Not the dee action whether thes... |
| 166.pdf | - | 2 | e the Requested Materials. [Def.Ex.A-4]. 5. On January 24, 2020, the State Attorney filed an Answer to Count I of the First Amended Complaint and a Mo... |
| 166.pdf | - | 8 | as he lacks the legal authority to obtain and deliver the Requested Materials demanded by Plaintiff in Count I of the First Amended Complaint Even if ... |
| 166.pdf | - | 9 | ts during the June 3, 2020 hearing, Plaintiff and Plaintiff s attorneys knew or should have known that Count I of the Amended Complaint was not suppor... |
| 166.pdf | - | 10 | • e Additionally, Plaintiffs argument for novelty and complexity fails as to Count I, regardless ofPlaintiff’s reliance on “Constitutional provisions ... |
| 171.pdf | - | 171 | t. But I want to give, you whatever opportunity you want to take to convince me that it is in -- as to Count 2, again. Not the dec action -- whether t... |
| 702.pdf | - | 11 | l. The defendant agrees to plead guilty to the five count Infonnation, which charges the defendant in Count 1 with a Racketeering Conspiracy, in viola... |
| 702.pdf | - | 12 | ses set forth in Counts I, 3, 4, and S, and may impose a fine with respect to the offense set forth in Count 2 of the greater ofSS00,000.00 or twice t... |
| 745.pdf | - | 114 | 1. The defendant agrees to plead guilty to the five count Information, which charges the defendant in Count 1 with a Racketeering Conspiracy, in viola... |
| 745.pdf | - | 115 | ses set forth in Counts 1, 3, 4, and 5, and may impose a fine with respect to the offense set forth in Count 2 of the greater of $500,000.00 or twice ... |
| 795 (1).pdf | - | 273 | eviewed the authorities they have cited, and is otherwise fully advised in the prernises. First, as to Count I, t..h.e claim for abuse of process, the... |
| 795.pdf | - | 273 | eviewed the authorities they have cited, and is otherwise fully advised in the prernises. First, as to Count I, t..h.e claim for abuse of process, the... |
| EFTA00009512.pdf | VOL00007 | 8 | een the numbers belonging to and 3 as well as statements. 4 Q Now, if I could direct your attention to Count 5 number 7 which appears on page 26 of th... |
| EFTA00009512.pdf | VOL00007 | 10 | of travel, we also have the sexual 8 conduct between Jeffrey Epstein and as we 9 described earlier in Count 7. 10 Q And just to refresh the recollecti... |
| EFTA00009512.pdf | VOL00007 | 11 | 5 A That was the Gulfstream which was owned by 6 Hyperion Air, Inc. 7 Q okay. If I could direct you to Count 36 and 8 again if you could summarize tha... |
| EFTA00009512.pdf | VOL00007 | 12 | ravel and we have 4 the sexual conduct between Epstein and 5 Q And if I could direct your attention to Count 6 number 38. 7 'A In count number 38 we h... |
| EFTA00009512.pdf | VOL00007 | 13 | 13 1 (Thereupon, there was a brief pause.) 2 A In Count 38, flight records indicate on 3 February 10th, 2005 that Mr. Epstein, IIIII 4 IIIIIII and IME... |
| EFTA00009512.pdf | VOL00007 | 14 | 14 1 there was sexual conduct between Jeffrey Epstein and 2 as we described earlier in Count 7. 3 Q And if you could do Count 42. 4 A We have evidence... |
| EFTA00009512.pdf | VOL00007 | 15 | the day of travel, 4 we also have the sexual conduct between Epstein as 5 IIIIIII described earlier in Count 7. 6 Q Again, in Count 44, what is the ev... |
| EFTA00009512.pdf | VOL00007 | 16 | er the day before or the 2 day of travel and we have the sexual conduct between 3 Epstein and , and in Count 47 on May 19th, 2005 4 we have flight rec... |
| EFTA00009512.pdf | VOL00007 | 28 | the day of travel and we 10 have the sexual conduct between Epstein and as we 11 described earlier in Count 8. 12 Q And if you could go through Counts... |
| EFTA00009512.pdf | VOL00007 | 29 | 29 1 as we described earlier in Count 8. 2 Q Could you do the same for counts 22 and 23, 3 please. 4 A Count 22 we have flight records th |
| EFTA00009512.pdf | VOL00007 | 30 | day before. 14 Q All right. Between who and who? 15 A Between and 16 Q okay. And if you could look at Count 43, you 17 also had testified previously a... |
| EFTA00009512.pdf | VOL00007 | 31 | 31 1 2 3 4 to that. A we discussed in Count 8 the sexual conduct that occurred between and Epstein during the massages that took place, we talk |