016.pdf

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Extraction Summary

7
People
3
Organizations
2
Locations
1
Events
3
Relationships
4
Quotes

Document Information

Type: Protective order (united states district court)
File Size: 231 KB
Summary

This is a Protective Order filed on December 16, 2019, in the Southern District of New York case against Tova Noel and Michael Thomas (the guards on duty during Jeffrey Epstein's death). The order, signed by Judge Analisa Torres, establishes strict protocols for handling 'Protected Materials' provided by the Government during discovery. It limits access to the defendants, their counsel, and specific support staff/experts, aiming to prevent the dissemination of sensitive information that could impede ongoing investigations or violate third-party privacy.

People (7)

Name Role Context
Tova Noel Defendant
Defendant in case 19 Cr. 830, consenting to the protective order.
Michael Thomas Defendant
Defendant in case 19 Cr. 830, consenting to the protective order.
Geoffrey S. Berman United States Attorney
Representative for the United States of America.
Rebekah Donaleski Assistant United States Attorney
Prosecutor representing the Government.
Nicolas Roos Assistant United States Attorney
Prosecutor representing the Government.
Jessica Lonergan Assistant United States Attorney
Prosecutor representing the Government.
Analisa Torres United States District Judge
Judge who signed and ordered the protective order.

Timeline (1 events)

2019-12-16
Filing of Protective Order in Case 1:19-cr-00830-AT
New York, New York

Locations (2)

Relationships (3)

Tova Noel Co-defendants Michael Thomas
Listed together as Defendants in the case caption.
Geoffrey S. Berman Professional/Colleague Rebekah Donaleski
Berman is the US Attorney, Donaleski is an Assistant US Attorney listed under him.
United States of America Adversarial Tova Noel
United States of America v. Tova Noel (Plaintiff vs Defendant)

Key Quotes (4)

"Discovery materials designated as 'Protected Materials' by the Government may be used by the defendants... only for purposes of defending the charges"
Source
016.pdf
Quote #1
"the discovery that the Government intends to provide to the defendants contain materials that, if disseminated to third parties, could... impede ongoing investigations and implicate the privacy and confidentiality interests of third parties"
Source
016.pdf
Quote #2
"Shall not be disclosed in any form by the Defense to any third party"
Source
016.pdf
Quote #3
"The Defense may show (but not otherwise provide) the Protected Materials to fact witnesses"
Source
016.pdf
Quote #4

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