Case 1:15-cv-07433-RWS Document 956 Filed 12/03/18 Page 1 of 3 RICHARD D. EMERY ANDREW G. CELLI, JR. MATTHEW D. BRINCKERIIOFF JONATHAN S. ABADY EARL S. WARD ILANN M. MAAZEL HAL R. LIEBERMAN DANIEL J. KORNSTEIN O. ANDREW F. WILSON ELIZABETH S. SAYLOR KATHERINE ROSENFELD DEBRA L. CiRE.ENBERGER ZOE SALZMAN SAM SHAPIRO By ECF EMERY CELLI BRINCICERHOFF & ABADY LLP Honorable Robert W. Sweet United States District Court Southern District of New York 500 Pearl Street New York, NY 10007 ATTORNEYS AT LAW 600 FIFTH AVENUE. AT ROCKEFF.U.F.R a:Nita 10^, FLOOR NEW YORK, NEW YORK 10020 TEL FAX: vrww.echalaw.com December 3, 2018 Re: v. Maxwell, No. 15 Civ. 7433 (RWS) Dear Judge Sweet: CHARLES1. OGLETREE, JR. EMEWLIS DIANE L. HOUK JESSICA CI.ARKE ALISON FRIOC DAVID LEBOWITZ DOUGLAS E. LIEB ALANNA KAUFMAN EMMA L. FREEMAN DAVID BERMAN ASHOK CHANDRAN DANIEL TRUMAN This firm represents Intervenor Professor Alan M. Dershowitz, and we write to alert the Court to certain troubling developments concerning the treatment of materials subject to this Court's orders, and to seek the Court's assistance and guidance. Specifically, we have reason to believe that materials subject to this Court's Protective Order and sealing order have been improperly leaked to members of the press. We believe that these materials, which repeat provably-false and defamatory alleSof sexual misconduct against Mr. Dershowitz, were leaked by persons associated with Roberts ("Ms. Roberts"), the plaintiff in the above-captioned matter. Once again, Mr. Dershowitz — who has conscientiously and expeditiously pressed, through the judicial process, for disclosure of all documents in the case — has been the victim of one-sided and selective leaking of materials, with no recourse because of the existence of this Court's protective and sealing orders. We ask that the Court immediately convene a conference with counsel for all parties to discuss how to address this grave m