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Case 9:09-cv-81092-KAM Document 8 Entered on FLSD Docket 11/09/2009 Page 1 of 26
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF FLORIDA
CASE NO.: 08-CIV-80119-MARRA/JOHNSON
JANE DOE NO. 2,
Plaintiff,
vs.
JEFFREY EPSTEIN,
Defendant.
______________ _;/
Related cases:
08-80232, 08-083 80, 08-803 81, 08-80994,
08-80993, 08-80811, 08-80893, 09-80469,
______________
09-80591,09-80656,09-80802,09-81092
_;/
THIRD PARTY WITNESS, IGOR ZINOVIEW'S,
MOTION FOR PROTECTIVE ORDER AND
INCORPORATED MEMORANDUM OF LA,v
Third Paiiy Witness, Igor Zinoview's, ("Mr. Zinoview") by and through his
undersigned attorney, moves this Court pursuant to Fed. R. Civ. P. 26(c) for a protective
order regarding his deposition and as grounds therefore would state:
1. As reflected on the affidavit of Igor Zinoview, attached as Exhibit A, he
works for Defendant, Jeffrey Epstein ("Mr. Epstein") as a driver and bodyguard. He did
not know Mr. Epstein before November of 2005. He first became employed by Mr.
Epstein in November of 2005.
2. Additionally, Mr. Zinoview would testify as set forth on his affidavit, that
at no time has he discussed with Mr. Epstein any issues involving Mr. Epstein's criminal
case nor any of the cases or issues involved with civil plaintiffs.
Case 9:09-cv-81092-KAM Document 8 Entered on FLSD Docket 11/09/2009 Page 2 of 26
3. In many of the depositions, counsel for L.M. and E.W., has asked them as
witnesses to assume ce1iain facts about which they have no knowledge, and he then asks
their opinions about certain facts. See Exhibit B ~Epstein's M
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