EFTA00023478.pdf

39.4 KB

Extraction Summary

7
People
4
Organizations
3
Locations
1
Events
2
Relationships
3
Quotes

Document Information

Type: Email / legal correspondence
File Size: 39.4 KB
Summary

This document is an email dated October 4, 2021, from an Assistant United States Attorney (SDNY) to the defense team for Ghislaine Maxwell (Everdell, Cohen, Sternheim, Menninger, Pagliuca). The email serves as a transmittal notice for an additional discovery production in the case US v. Maxwell (20 Cr. 330). The prosecutor notes that digital files are being sent via USAfx and a physical CD is being sent to the Metropolitan Detention Center (MDC) for Ms. Maxwell.

People (7)

Name Role Context
Christian Everdell Defense Counsel
Recipient of the email
Mark S. Cohen Defense Counsel
Recipient of the email
Bobbi Sternheim Defense Counsel
Recipient of the email
Laura Menninger Defense Counsel
Recipient of the email
Jeff Pagliuca Defense Counsel
Recipient of the email
Ms. Maxwell Defendant
Ghislaine Maxwell, subject of the case and recipient of physical discovery media at MDC
[Redacted] Assistant United States Attorney
Sender of the email

Organizations (4)

Name Type Context
USANYS
United States Attorney New York South (Sender's organization)
United States Attorney's Office
Southern District of New York
MDC
Metropolitan Detention Center (where Ms. Maxwell is held)
USAfx
File transfer service used for discovery production

Timeline (1 events)

2021-10-04
Discovery production made available to defense counsel via USAfx and to defendant via CD.
New York
Prosecution Defense Counsel Ghislaine Maxwell

Locations (3)

Location Context
Jurisdiction
Sender's address
MDC
Detention center where materials are being sent

Relationships (2)

Assistant United States Attorney Prosecutor/Defendant Ms. Maxwell
Email regarding discovery production in US v. Maxwell
Defense Counsel (Everdell, Cohen, etc.) Counsel/Client Ms. Maxwell
Implied by recipients being addressed as 'Counsel' in US v. Maxwell case

Key Quotes (3)

"We have an additional discovery production ready to send to you today."
Source
EFTA00023478.pdf
Quote #1
"The production will be made via USAfx."
Source
EFTA00023478.pdf
Quote #2
"We will send a CD with the new production to the MDC for Ms. Maxwell."
Source
EFTA00023478.pdf
Quote #3

Full Extracted Text

Complete text extracted from the document (1,182 characters)

From: [REDACTED] (USANYS) <[REDACTED]>
To: Christian Everdell <[REDACTED]>, "Mark S. Cohen"
<[REDACTED]>, Bobbi Sternheim <[REDACTED]>, "Laura
Menninger" <[REDACTED]>, Jeff Pagliuca <[REDACTED]>
Cc: "[REDACTED]" <[REDACTED]>, "[REDACTED])"
<[REDACTED]>, "[REDACTED])" <[REDACTED]>,
[REDACTED] (USANYS) [Contractor]" <[REDACTED]>," [REDACTED]
(USANYS) [Contractor]" <[REDACTED]>
Subject: US v. Maxwell, 20 Cr. 330 (AJN) - discovery production
Date: Mon, 04 Oct 2021 15:33:04 +0000
Attachments: 2021.10.04_Maxwell_Discovery_Letter.pdf
Counsel,
We have an additional discovery production ready to send to you today. Attached please find the accompanying cover
letter. The production will be made via USAfx.
We will send a CD with the new production to the MDC for Ms. Maxwell. If you would prefer that she receive the
production on a drive, we can either request that the MDC send us one of the drives back to load with the production, or
we can load a new drive if you would like to provide us with one.
Thanks,
[REDACTED]
Assistant United States Attorney
United States Attorney’s Office
Southern District of New York
One St. Andrew’s Plaza
New York, New York 10007
EFTA00023478

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