EFTA00029877.pdf
84 KB
Extraction Summary
3
People
3
Organizations
2
Locations
1
Events
1
Relationships
3
Quotes
Document Information
Type:
Affidavit of certification (legal court filing)
File Size:
84 KB
Summary
This document is an affidavit filed on July 27, 2020, by Christian R. Everdell, attorney for Ghislaine Maxwell. It certifies that the defense conferred with the prosecution regarding a protective order but remains in dispute over two issues: restrictions on government witnesses regarding discovery materials and the defense's ability to name victims who have already gone public. The document includes redactions of the names of the Assistant U.S. Attorneys involved.
People (3)
| Name | Role | Context |
|---|---|---|
| Christian R. Everdell | Defense Attorney |
Partner at Cohen & Gresser LLP, submitting the affidavit on behalf of Ghislaine Maxwell.
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| Ghislaine Maxwell | Defendant |
Defendant in the criminal case 20 Cr. 330 (AJN).
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| AJN | Judge (Initial) |
Presiding judge initials in case caption (Alison J. Nathan).
|
Organizations (3)
| Name | Type | Context |
|---|---|---|
| United States District Court Southern District of New York |
Court where the document was filed.
|
|
| Cohen & Gresser LLP |
Law firm representing the defendant.
|
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| United States of America |
Plaintiff/Prosecution.
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Timeline (1 events)
2020-07-27
Filing of Affidavit of Certification Pursuant to Local Criminal Rule 16.1
Southern District of New York
Locations (2)
| Location | Context |
|---|---|
|
Location of filing and attorney's office.
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|
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Address of Cohen & Gresser LLP.
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Relationships (1)
I am a partner at Cohen & Gresser LLP, counsel for defendant Ghislaine Maxwell
Key Quotes (3)
"First, the defense believes that potential government witnesses and their counsel should be subject to the same restrictions as the defense concerning appropriate use of the discovery materials"Source
EFTA00029877.pdf
Quote #1
"Second, the defense believes it should not be restricted from publicly disclosing or disseminating the identity of any alleged victims or potential witnesses referenced in the discovery materials who have already identified themselves by speaking on the public record."Source
EFTA00029877.pdf
Quote #2
"I certify pursuant to Local Criminal Rule 16.1 that defense counsel has conferred in good faith with Assistant U.S. Attorneys... regarding the government’s proposed protective order"Source
EFTA00029877.pdf
Quote #3
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