EFTA00031016.pdf

68.8 KB
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Extraction Summary

7
People
5
Organizations
1
Locations
1
Events
2
Relationships
2
Quotes

Document Information

Type: Legal correspondence (discovery letter)
File Size: 68.8 KB
Summary

This document is a discovery letter dated May 3, 2021, from the U.S. Department of Justice (SDNY) to Ghislaine Maxwell's defense team. It accompanies the production of photographs (Bates range SDNY_GM_02753399 to SDNY_GM_02753431) designated as confidential under a Protective Order.

People (7)

Name Role Context
Christian Everdell Defense Counsel
Recipient of the letter, representing Ghislaine Maxwell
Mark Cohen Defense Counsel
Recipient of the letter, representing Ghislaine Maxwell
Laura Menninger Defense Counsel
Recipient of the letter, representing Ghislaine Maxwell
Jeffrey Pagliuca Defense Counsel
Recipient of the letter, representing Ghislaine Maxwell
Bobbi Sternheim Defense Counsel
Recipient of the letter, representing Ghislaine Maxwell
Ghislaine Maxwell Defendant
Subject of the case (United States v. Ghislaine Maxwell)
Audrey Strauss United States Attorney
Sender of the letter (signatory)

Organizations (5)

Name Type Context
U.S. Department of Justice
Header organization
United States Attorney Southern District of New York
Prosecuting office
Cohen & Gresser LLP
Law firm for defense counsel
Haddon, Morgan and Foreman, P.C.
Law firm for defense counsel
Law Offices of Bobbi C. Sternheim
Law firm for defense counsel

Timeline (1 events)

2021-05-03
Production of discovery materials (Photographs) by the US Government to the defense.
New York, New York
US Government Defense Counsel

Locations (1)

Location Context
Office of the US Attorney SDNY

Relationships (2)

Audrey Strauss Prosecutor/Defendant Ghislaine Maxwell
United States v. Ghislaine Maxwell case context
Christian Everdell Attorney/Client Ghislaine Maxwell
Addressed as counsel in US v. Maxwell

Key Quotes (2)

"Today we are producing the materials listed in the below index."
Source
EFTA00031016.pdf
Quote #1
"This letter is itself designated as “confidential,” because it includes information regarding records designated as “confidential” under the Protective Order."
Source
EFTA00031016.pdf
Quote #2

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