EFTA00015968.pdf

156 KB
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Extraction Summary

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

Document Information

Type: Email correspondence
File Size: 156 KB
Summary

This document is an email chain from July 17, 2020, between defense counsel (Christian Everdell and Laura Menninger) and government prosecutors regarding the case of Ghislaine Maxwell (referred to as 'GM' in attachments). The defense provides a proposed Protective Order and argues for specific terms, including the removal of a 'Highly Confidential' designation and the provision of a laptop to Maxwell in the MDC (Metropolitan Detention Center) so she can review discovery materials, as in-person legal visits were not allowed at the time. The email emphasizes the defense's desire to avoid trying the case in the press and cites concerns about witness harassment.

People (5)

Name Role Context
Christian Everdell Attorney (Cohen & Gresser LLP)
Forwarding email on behalf of Laura Menninger regarding Protective Order.
Laura Menninger Attorney (Haddon, Morgan and Foreman, P.C.)
Author of the substantive legal email regarding the Protective Order and client access to discovery.
Mark S. Cohen Attorney
Cc'd on the email.
Jeff Pagliuca Attorney
Cc'd on the email.
Ghislaine Maxwell Defendant / Client
referred to as 'GM' in attachment filename and 'our client' in text; currently in custody at MDC; defense is requesti...

Organizations (5)

Name Type Context
Cohen & Gresser LLP
Law firm representing the defendant (Christian Everdell).
Haddon, Morgan and Foreman, P.C.
Law firm representing the defendant (Laura Menninger).
MDC
Metropolitan Detention Center; where the client is in custody.
Second Circuit
Court of Appeals mentioned regarding legal standards.
The Government
Prosecution team being addressed in the email.

Timeline (1 events)

2020-07-17
Defense counsel sends proposed Protective Order to Government counsel.
Email

Locations (3)

Location Context
Location of Cohen & Gresser LLP.
Location of Haddon, Morgan and Foreman, P.C.
MDC
Detention center where the client is held.

Relationships (2)

Christian Everdell Co-Counsel Laura Menninger
Everdell forwarding Menninger's email; both representing the defense.
Laura Menninger Attorney-Client Ghislaine Maxwell
Menninger refers to 'our client' and advocates for her access to discovery in MDC.

Key Quotes (5)

"We have no desire to try this case in the press."
Source
EFTA00015968.pdf
Quote #1
"Defense witnesses should be afforded the same protections from harassment and intimidation as are government witnesses."
Source
EFTA00015968.pdf
Quote #2
"We cannot imagine, for example, that discovery contains child pornography, which counsel will not possess in any event."
Source
EFTA00015968.pdf
Quote #3
"your proposal would not allow any means for her to review any Confidential information because you required she review it in the presence of counsel and we are not allowed in-person visits with her."
Source
EFTA00015968.pdf
Quote #4
"We propose that... the Government shall make available a laptop containing all of the Discovery (including any Confidential Information) for her to review while in custody."
Source
EFTA00015968.pdf
Quote #5

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