DOJ-OGR-00000588.jpg

546 KB

Extraction Summary

5
People
2
Organizations
0
Locations
1
Events
1
Relationships
3
Quotes

Document Information

Type: Court filing / protective order
File Size: 546 KB
Summary

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.

People (5)

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.

Organizations (2)

Name Type Context
The Government
Prosecution/Plaintiff in the case.
Department of Justice (DOJ)
Indicated by the footer 'DOJ-OGR'.

Timeline (1 events)

2019-07-25
Filing of Document 37-1 in Case 1:19-cr-00490-RMB
Court (SDNY inferred from case number format)

Relationships (1)

Defense Counsel Legal/Professional Potential Witnesses
Counsel determines necessity of showing discovery to witnesses for trial prep.

Key Quotes (3)

"May be shown to, but not disseminated to or provided copies of to, prospective witnesses"
Source
DOJ-OGR-00000588.jpg
Quote #1
"Defense Counsel shall encrypt and/or password protect the Discovery."
Source
DOJ-OGR-00000588.jpg
Quote #2
"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
DOJ-OGR-00000588.jpg
Quote #3

Full Extracted Text

Complete text extracted from the document (1,421 characters)

Case 1:19-cr-00490-RMB Document 37-1 Filed 07/25/19 Page 3 of 9
e) May be shown to, but not disseminated to or
provided copies of to, prospective witnesses and their counsel
(collectively, "Potential Witnesses"), to the extent deemed
necessary by defense counsel, for trial preparation.
2. To the extent the Discovery is disclosed to
Defense Staff, Defense Experts/Advisors, Other Authorized
Persons, or Potential Witnesses, Defense Counsel shall instruct
such individual(s) of the terms of this Order and that such
individual(s) are bound by this Order. To the extent that
Discovery is disseminated to Defense Staff, Defense
Experts/Advisors, or Other Authorized Persons, Defense Counsel
shall encrypt and/or password protect the Discovery. The
provisions of this paragraph do not apply to communications
exclusively between and among Defense Counsel.
3. The Government, the Defendant, Defense Counsel,
Defense Staff, Defense Experts/Advisors, Potential Witnesses,
and Other Authorized Persons are 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.
4. The Government (other than in the discharge of
their professional obligations in this matter), Defense Counsel,
Defense Staff, Defense Experts/Advisors, Potential Witnesses,
and Other Authorized Persons are precluded from publicly
3
DOJ-OGR-00000588

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