This document is an internal email from a Paralegal Specialist at the U.S. Attorney's Office (SDNY) dated November 9, 2020. It confirms the readiness of the 'Sixth Production' of discovery materials for the defense in the 'US v. Maxwell' case, specifically mentioning the upload of iPhone data labeled 'NYC024318 1B71'. The email also discusses the creation of a specific index and drive for the MDC (Metropolitan Detention Center).
| Name | Role | Context |
|---|---|---|
| Ghislaine Maxwell | Defendant |
Mentioned in attachment filenames 'US_v_Maxwell_Discovery_Index.xlsx'
|
| Redacted Sender | Paralegal Specialist / Contractor |
Sender of the email, U.S. Attorney's Office | SDNY
|
| Redacted Recipient | Colleague |
Working on copying the MDC drive
|
| Defense Team | Legal Counsel |
Recipients of the discovery production drive
|
| Name | Type | Context |
|---|---|---|
| USANYS |
United States Attorney for the Southern District of New York (Sender's organization)
|
|
| U.S. Attorney's Office | SDNY |
Sender's office
|
|
| MDC |
Metropolitan Detention Center (where materials are being reproduced for)
|
"Great news – after I’ve reviewed, the drive going to defense today has all the required items for production!"Source
"I believe we will be uploading NYC024318 1B71 (iPhone) to this drive"Source
"Since we are reproducing so much to MDC, I also created a unique index for the MDC drive on the shared index."Source
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