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Correspondence · Nov. 24, 2021

SDNY production letter to Maxwell's defense counsel, Nov. 24, 2021

U.S. Department of Justice

United States Attorney Southern District IV-New York

The Siltio.1. Mollo Building One Saint Andrew’s Plaza New York New York 10007

November 24, 2021

BY ELECTRONIC MAIL

Christian Everdell, Esq. Mark Cohen, Esq. Cohen & Gresser LLP

New York, NY 10022

Laura Menninger, Esq. Jeffrey Pagliuca, Esq. Haddon, Mor an and Foreman, P.C.

Denver, CO 80203

Bobbi Stemheim, Esq. Law Offices of Bobbi C. Stemheim

New York, NY 10007

Re: United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN)

Dear Counsel:

Today we are producing the materials listed in the below index. These materials are stamped with control numbers SDNY_GM_02775073 through SDNY_GM_02775777.

Please note that both this letter and the enclosed materials are governed by the July 31, 2020 Protective Order in this case. This letter is itself designated as “confidential,” because it includes information regarding records designated as “confidential” under the Protective Order. The Department of Justice directed this office to cease the dissemination of materials marked with the word “confidential” in order to avoid potential confusion with markings reserved for classified documents. Accordingly, in order to note the appropriate designation of this production under the operative Protective Order in this case, the materials being produced today are marked with the following label: “SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7, 8, 9, 10, 15, and 17.” This marking directly refers to the specific paragraphs of the Protective Order that govern today’s production.

An index of the materials contained in this production is below:

Bates StartBates EndSummary DescriptionConfidential Designation
SDNY GM 02775073SDNY GM 02775087JPMC recordsConfidential
SDNY GM 02775088SDNY GM 02775777Lockheed Martin recordsConfidential

The Government recognizes that its discovery obligations are ongoing and will promptly produce any additional discoverable material of which it becomes aware. Please do not hesitate to reach out if you have any difficulty accessing these materials.

Very truly yours,

DAMIAN WILLIAMS United States Attorney

SDNY production letter to Maxwell's defense counsel, Nov. 24, 2021

Emails and letters

DOJ Epstein Files, Data Set 8 · Nov. 24, 2021

U.S. Department of Justice United States Attorney Southern District IV-New York The Siltio.1. Mollo Building One Saint Andrew's Plaza New York New York 10007 November 24, 2021 BY ELECTRONIC MAIL Christian Everdell, Esq. Mark Cohen, Esq. Cohen & Gresser LLP New York, NY 10022 Laura Menninger, Esq. Jeffrey Pagliuca, Esq. Haddon, Mor an and Foreman, P.C. Denver, CO 80203 Bobbi Stemheim, Esq. Law Offices of Bobbi C. Stemheim New York, NY 10007 Re: United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN) Dear Counsel: Today we are producing the materials listed in the below index. These materials are s…