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Correspondence · July 23, 2021

Email from SDNY prosecutors to Maxwell's defense counsel on witness production, July 2021

SDNY prosecutors notify Maxwell's defense attorneys that a supplemental production of non-testifying witness material is ready on drives for MDC delivery.Machine-written summary

EFTA00104574

Subject: RE: US v. Maxwell, 20 Cr. 330 (AJN) - non-testifying witness production

Thanks,

Tomorrow morning we have a messenger deliver a 1TB hard drive for Ms. Maxwell and a 128gb thumb drive for the attorneys. Please let us know when it is ready.

From:

[mailto:]

Sent: Friday, July 23, 2021 5:32 PM

To:Christian Everdell; Bobbi Sternheim(bcsternheim@mac.com); Jeff Pagliuca; Mark S. Cohen; Laura Menninger
Cc:

[Contractor]

Subject: US v. Maxwell, 20 Cr. 330 (AJN) - non-testifying witness production

Counsel,

A supplemental production of non-testifying witness material is now ready to produce. Attached please find the cover letter and index accompanying this production. Because the production contains audio and video files, it is too large to produce via USAfx. Would you please provide our office with two drives (128 GB should be more than sufficient) for us to load with one copy for you and one copy to be sent to Ms. Maxwell at the MDC?

One thing to note: as indicated in the cover letter, DOJ has recently directed our office to cease production of materials marked with the word “confidential” in order to avoid confusion with markings reserved for classified documents. Accordingly, we have noted the appropriate designation for this production by using the label, “SUBJECT TO PROTECTIVE ORDER PARAGRAPHS 7,8,9,10,15,and 17,” which references the relevant paragraphs in the Protective Order governing confidential materials. Please let us know if you have any objection to this marking or would like to discuss.

Thank you,

Assistant United States Attorney Southern District of New York

1 St. Andrew’s Plaza

New York, NY 10007

EFTA00104575

Email from SDNY prosecutors to Maxwell's defense counsel on witness production, July 2021

Emails and letters

SDNY prosecutors notify Maxwell's defense attorneys that a supplemental production of non-testifying witness material is ready on drives for MDC delivery.

DOJ Epstein Files, Data Set 9 · July 23, 2021

EFTA00104574 Subject: RE: US v. Maxwell, 20 Cr. 330 (AJN) - non-testifying witness production Thanks, Tomorrow morning we have a messenger deliver a 1TB hard drive for Ms. Maxwell and a 128gb thumb drive for the attorneys. Please let us know when it is ready. From: [mailto:] Sent: Friday, July 23, 2021 5:32 PM <table border="1" <tr <td To:</td <td Christian Everdell; Bobbi Sternheim(bcsternheim@mac.com); Jeff Pagliuca; Mark S. Cohen; Laura Menninger</td </tr <tr <td Cc:</td <td </td </tr </table [Contractor] Subject: US v. Maxwell, 20 Cr. 330 (AJN) - non-testifying witness production Counsel, …