EFTA00017813.pdf
198 KB
Extraction Summary
8
People
4
Organizations
2
Locations
3
Events
2
Relationships
5
Quotes
Document Information
Type:
Email chain / legal correspondence
File Size:
198 KB
Summary
This document is an email chain between Ghislaine Maxwell's defense counsel (Christian Everdell) and the US Attorney's Office (SDNY) regarding discovery production disputes in November 2020. The defense expresses significant frustration regarding technical issues with hard drives provided to Maxwell at the MDC, including broken drives and a lack of consolidation, as well as severe restrictions on the hours Maxwell is permitted to use a laptop to review over 2 million pages of evidence. The prosecution responds by offering to consolidate materials onto a single drive and explaining that the limited laptop access (8:30am-3:30pm) is due to MDC security protocols requiring lieutenant supervision.
People (8)
| Name | Role | Context |
|---|---|---|
| Christian Everdell | Defense Counsel |
Attorney for Ghislaine Maxwell, communicating with the US Attorney's office regarding discovery access issues.
|
| Ghislaine Maxwell | Defendant |
Currently detained at MDC; experiencing issues accessing discovery materials due to hardware and time restrictions.
|
| Mark S. Cohen | Defense Counsel |
Recipient of emails.
|
| Laura Menninger | Defense Counsel |
Recipient of emails.
|
| Jeff Pagliuca | Defense Counsel |
Recipient of emails.
|
| Bobbi C. Sternheim | Defense Counsel |
Recipient of emails.
|
| Jeffrey Epstein | Deceased / Subject of Evidence |
Mentioned regarding 'responsive images from Epstein's iPhone' contained on a CD.
|
| [REDACTED] | Assistant United States Attorney (AUSA) |
Prosecutor communicating with defense counsel regarding discovery logistics.
|
Organizations (4)
| Name | Type | Context |
|---|---|---|
| USANYS |
United States Attorney for the Southern District of New York
|
|
| MDC |
Metropolitan Detention Center (where Maxwell is held)
|
|
| BOP |
Bureau of Prisons
|
|
| Southern District of New York |
Jurisdiction of the case
|
Timeline (3 events)
2020-09-03
Date of a previous discovery production where the hard drive was reported broken.
MDC
2020-11-18
Assistant US Attorney hand-delivered a discovery production and a laptop to the MDC for Ms. Maxwell.
MDC
[REDACTED] (AUSA)
MDC Staff
Locations (2)
| Location | Context |
|---|---|
|
Office of the Assistant United States Attorney
|
|
|
Detention center where Maxwell is reviewing discovery
|
Relationships (2)
Everdell advocates for Maxwell's access to discovery materials.
Discovery materials include 'responsive images from Epstein's iPhone' being provided to Maxwell's defense.
Key Quotes (5)
"The CD contains the final portion of the responsive images from Epstein's iPhone."Source
EFTA00017813.pdf
Quote #1
"Ms. Maxwell cannot possibly review that much material by trial if her review is restricted in this way."Source
EFTA00017813.pdf
Quote #2
"In this latest production alone, there are over 2 million pages to review."Source
EFTA00017813.pdf
Quote #3
"My understanding from the MDC is that for security purposes, the laptop will be kept in a locker to which only two lieutenants have access."Source
EFTA00017813.pdf
Quote #4
"Ms. Maxwell still has not received the hard drive you produced on November 9, which was supposed to contain replacement copies of the files on the hard drive produced on September 3 (which was broken in MDC)"Source
EFTA00017813.pdf
Quote #5
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