EFTA00016247.pdf

538 KB
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Extraction Summary

5
People
3
Organizations
2
Locations
1
Events
2
Relationships
3
Quotes

Document Information

Type: Protective order
File Size: 538 KB
Summary

This document is a Protective Order filed on July 30, 2020, in the case of United States v. Ghislaine Maxwell. It establishes strict protocols for the handling of discovery materials, distinguishing between standard, 'Confidential', and 'Highly Confidential' information (which includes sexualized imagery), and limiting access to the Defendant, Defense Counsel, and specific authorized persons. The order specifically mandates that highly confidential materials containing sexualized images must not be copied or possessed by the defendant outside the presence of counsel.

People (5)

Name Role Context
Ghislaine Maxwell Defendant
Subject of the criminal case and the protective order.
Alison J. Nathan United States District Judge
Judge presiding over the case who issued the order.
Defense Counsel Legal Representative
Attorneys representing Ghislaine Maxwell.
Designated Persons Authorized Personnel
Investigative, secretarial, clerical, or paralegal personnel, experts, or consultants retained by the defense.
Potential Defense Witnesses Witnesses
Individuals who may be called to testify by the defense.

Organizations (3)

Name Type Context
United States District Court Southern District of New York
Court where the case is filed.
United States of America
Prosecuting body (The Government).
Bureau of Prisons (BOP)
Agency responsible for providing electronic access to discovery materials to the defendant while incarcerated.

Timeline (1 events)

2020-07-30
Filing of Protective Order
New York, New York

Locations (2)

Location Context
Jurisdiction of the court.
Location where the order was signed.

Relationships (2)

Case caption: United States of America v. Ghislaine Maxwell
Alison J. Nathan signing the order as United States District Judge in Maxwell's case.

Key Quotes (3)

"Highly Confidential Information contains nude, partially-nude, or otherwise sexualized images, videos, or other depictions of individuals."
Source
EFTA00016247.pdf
Quote #1
"The Discovery disclosed to the defendant... Shall be used by the Defendant or her Defense Counsel solely for purposes of the defense of this criminal action, and not for any civil proceeding..."
Source
EFTA00016247.pdf
Quote #2
"Shall be possessed in electronic format only by Defense Counsel and by appropriate officials of the Bureau of Prisons ('BOP')..."
Source
EFTA00016247.pdf
Quote #3

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