DOJ-OGR-00001498.jpg
524 KB
Extraction Summary
8
People
3
Organizations
1
Locations
2
Events
3
Relationships
2
Quotes
Document Information
Type:
Legal correspondence / court filing (letter motion)
File Size:
524 KB
Summary
This document is the second page of a legal letter filed on July 5, 2020, in the case United States v. Ghislaine Maxwell (Case 1:20-cr-00330). The US Attorney's office requests Judge Nathan exclude time under the Speedy Trial Act to allow for the transportation of the defendant from another district and to facilitate discussions regarding a protective order to shield the identities of victims and third parties during discovery. Defense counsel consented to this request.
People (8)
| Name | Role | Context |
|---|---|---|
| Alison J. Nathan | United States District Judge |
Recipient of the letter
|
| Audrey Strauss | Acting United States Attorney |
Official submitting the letter
|
| Alex Rossmiller | Assistant United States Attorney |
Signatory
|
| Alison Moe | Assistant United States Attorney |
Signatory
|
| Maurene Comey | Assistant United States Attorney |
Signatory
|
| Christian Everdell | Defense Counsel |
Copied on the correspondence
|
| Mark Cohen | Defense Counsel |
Copied on the correspondence
|
| Defendant | Defendant |
Subject of transportation and indictment (Implicitly Ghislaine Maxwell based on case number 1:20-cr-00330)
|
Organizations (3)
| Name | Type | Context |
|---|---|---|
| United States District Court |
Judicial body handling the case
|
|
| Southern District of New York |
Prosecuting office location
|
|
| Department of Justice |
Implied by footer DOJ-OGR
|
Locations (1)
| Location | Context |
|---|---|
|
Jurisdiction of the US Attorneys
|
Relationships (3)
Rossmiller signs as Assistant US Attorney under Strauss
Both listed as Defense Counsel cc'd on the letter
Government (US Attorneys)
→
Legal Adversaries
→
Defense Counsel (Everdell/Cohen)
Government consulting with defense counsel regarding protective orders
Key Quotes (2)
"Such a protective order will be necessary to facilitate the production of discovery while also protecting, among other things, the privacy and identity of third parties, including victims of the conduct charged in the Indictment."Source
DOJ-OGR-00001498.jpg
Quote #1
"The Government has consulted with defense counsel, who consents to this request."Source
DOJ-OGR-00001498.jpg
Quote #2
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