EFTA00028423.pdf
90.3 KB
Extraction Summary
5
People
4
Organizations
3
Locations
1
Events
3
Relationships
4
Quotes
Document Information
Type:
Email chain / legal correspondence
File Size:
90.3 KB
Summary
This document is an email chain from July 23-24, 2019, between defense attorney Martin G. Weinberg and an Assistant United States Attorney for the SDNY regarding a Protective Order for the Jeffrey Epstein case (indicated by attachment name '_JE_'). Weinberg outlines several objections to the government's draft, specifically concerning the handling of discovery materials at the MCC (where the defendant is held), the redaction of witness identities, and the labeling of FBI 302 reports. The chain concludes with the AUSA sending a revised order incorporating some edits for signature.
People (5)
| Name | Role | Context |
|---|---|---|
| Martin G. Weinberg | Defense Attorney |
Lead recipient/sender in email chain; negotiating terms of protective order.
|
| Reid Weingarten | Defense Attorney |
Cc'd on emails; mentioned as part of the defense team.
|
| Michael Miller | Defense Attorney |
Cc'd on emails; referred to as 'Mike' in text.
|
| [Redacted] | Assistant United States Attorney |
Sender of the initial and final emails; representing the Government/SDNY.
|
| Jeffrey Epstein | Defendant |
Implied by attachment name '_JE_' and reference to 'defendant at MCC'.
|
Organizations (4)
| Name | Type | Context |
|---|---|---|
| Law Office of Martin G. Weinberg, P.C. |
Defense counsel's firm.
|
|
| Southern District of New York (SDNY) |
Prosecuting office (US Attorney's Office).
|
|
| MCC |
Metropolitan Correctional Center; detention facility where the defendant is held.
|
|
| Court |
Judicial body handling the case.
|
Timeline (1 events)
2019-07-24
Negotiation of Protective Order terms between Defense (Weinberg) and Prosecution (SDNY).
Email Correspondence
Martin G. Weinberg
AUSA
Locations (3)
| Location | Context |
|---|---|
|
Address associated with Martin G. Weinberg's office.
|
|
|
Address of the SDNY/Assistant United States Attorney.
|
|
|
New York detention facility.
|
Relationships (3)
Both listed as recipients/cc on defense team emails.
Both listed as recipients/cc on defense team emails.
Exchanging emails negotiating legal terms.
Key Quotes (4)
"we need to distinguish between providing discovery electronically... and providing hard copies of discovery for the purpose of review... with the defendant at MCC"Source
EFTA00028423.pdf
Quote #1
"there is no need for allegations of potential obstruction or harm to witnesses in this case"Source
EFTA00028423.pdf
Quote #2
"Please advise if the Govt intends to mark all 302s as 'confidential' or just the identifying info"Source
EFTA00028423.pdf
Quote #3
"defense should be allowed to retain discovery through the filing date of a 2255"Source
EFTA00028423.pdf
Quote #4
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