Hey Brian,¶
Here’s an unsigned version of the subpoena. We understand from the defense that they are going to serve you later tonight, but if you don’t get it by tomorrow morning, let us know and we’ll raise it with the Court.¶
Thanks,¶
| From: Brian Burns |
|---|
| Sent: Tuesday, November 16, 2021 7:14 PM |
| Patrick >; M To: |
| >; =IMIEME Smith < > |
| Cc: |
| Subject: [EXTERNAL] RE: [EXTERNAL EMAIL] Rule 17(c) subpoena |
| If you have a minute to talk by phone, please let me know. Thanks |
| Brian T. Burns |
| Smith Villazor LLP |
| From: |
| Sent: Tuesday, November 16, 2021 7:09 PM |
| To: Brian Burns ; Patrick |
| Smith |
| Cc: |
| Subject: RE: [EXTERNAL EMAIL] Rule 17(c) subpoena |
Brian,¶
We don’t have specific information about when you’ll get the subpoena, but we and the defense were in Court today for voir dire, so that may have delayed things on their end.¶
Thanks,¶
| From: Brian Burns | ||
|---|---|---|
| Sent: Tuesday, November 16, 2021 7:02 PM | ||
| To: | ; Patrick Smith |
Subject: [EXTERNAL] RE: [EXTERNAL EMAIL] Rule 17(c) subpoena¶
Checking in again to see whether you have any additional info about the status of the subpoena. Thanks.¶
Brian T. Burns¶
Subject: RE: [EXTERNAL EMAIL] Rule 17(c) subpoena¶
2:30 works for our team, thanks very much. We can use the below dial-in:¶
| Dial-in: Code: |
|---|
| Best, |
| Assistant United States Attorney Southern District of New York New York, NY 10007 |
| From: Patrick Smith Sent: Monday, November 15, 2021 12:35 PM |
| To: |
| Cc: |
| Brian Sums <a Subject: [EXTERNAL] Re: [EXTERNAL EMAIL] Rule 17(c) subpoena</a |
| Yes. How is 230 pm? |
| Patrick J. Smith |
| Smith Villazor LLP |
| New York, New York 10019 |
| From: < |
| Sent: Monday, November 15, 2021 12:27 |
| To: Patrick Smith Cc: ); |
| Subject: RE: [EXTERNAL EMAIL] Rule 17(c) subpoena |
| Hi Pat, |
Thanks,¶
| From: Jordy Feldman |
|---|
| Sent: Monday, November 15, 2021 11:39 AM |
| To: |
| Cc: |
| MM’; Patrick Smith “z > E |
| Subject: (EXTERNAL) RE: Rule 17(c) subpoena |
| Thanks for reaching out. Pat Smith of Smith Villazor, LLP serves as our outside counsel for these matters. I have added him to the email chain so you can contact him directly. |
| Regards, Jordy |
| CONFIDENTIALITY NOTICE -This message and all attachments arc a private communication, and may contain information that is confidential and/or protected by privilege. If you arc not the named recipient, or the employee or agent responsible to deliver it to the named recipient, you are hereby notified that any dissemination, distribution, disclosure, copying, or any use of the information contained in or attached to this message is |
strictly prohibited. If you have received this message in error please notify the sender immediately and delete any and all copies of this message, including any attachments from your computer. The receipt in error of this message and any attachment is not a waiver of the confidentiality and/or privilege attached to this communication.¶
| From: | |
|---|---|
| Sent: Monday, November 15, 2021 11:02 AM | |
| To: Jordy Feldman | |
| Cc: | |
| Subject: Rule 17(c) subpoena |
Jordy,¶
We’re reaching out about a Rule 17(c) subpoena that defense counsel intends to serve in United States v. Maxwell, 20 Cr. 330 (AJN). We understand you may be represented by counsel in connection with issues like this. Could you please put us in touch with your attorney?¶
Thanks very much,¶
Assistant United States Attorney Southern District of New York One Saint Plaza New York, NY 10007¶