This document is page 3 of a protective order filed on July 25, 2019, in the case of United States v. Jeffrey Epstein (Case 1:19-cr-00490). It outlines strict protocols for handling discovery materials, including requirements for encryption when sharing with staff and a specific prohibition against the Defendant, Government, or Counsel posting any discovery information on the Internet or social media. It also specifies that potential witnesses may view materials for trial preparation but cannot retain copies.
| Name | Role | Context |
|---|---|---|
| Defendant | Defendant |
Subject to the protective order regarding discovery materials (Case 1:19-cr-00490-RMB implies Jeffrey Epstein).
|
| Defense Counsel | Legal Counsel |
Responsible for instructing staff/witnesses on the order and encrypting disseminated discovery.
|
| Potential Witnesses | Witnesses |
Can be shown discovery materials but cannot receive copies.
|
| Defense Staff | Legal Support |
Authorized to view discovery subject to the order.
|
| Defense Experts/Advisors | Advisors |
Authorized to view discovery subject to the order.
|
| Name | Type | Context |
|---|---|---|
| The Government |
Prosecution/Plaintiff in the case.
|
|
| Department of Justice (DOJ) |
Indicated by the footer 'DOJ-OGR'.
|
"May be shown to, but not disseminated to or provided copies of to, prospective witnesses"Source
"Defense Counsel shall encrypt and/or password protect the Discovery."Source
"prohibited from posting or causing to be posted any of the Discovery or information contained in the Discovery on the Internet, including any social media website."Source
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