Page 2 of a Protective Order filed on July 28, 2020, in Case 1:20-cr-00330-AJN (USA v. Ghislaine Maxwell). The document outlines strict protocols for handling discovery materials, mandating they be used solely for criminal defense purposes and prohibiting the defendant from copying or distributing them to anyone other than counsel. It defines 'Designated Persons' (support staff) who are permitted to view the materials.
| Name | Role | Context |
|---|---|---|
| Defendant | Defendant |
Subject of the protective order; referred to as 'her' (implies Ghislaine Maxwell based on case number 1:20-cr-00330-A...
|
| Defense Counsel | Attorneys |
Lawyers representing the defendant.
|
| Designated Persons | Support Staff |
Investigative, secretarial, clerical, or paralegal personnel authorized to view discovery.
|
| Name | Type | Context |
|---|---|---|
| Government |
Applied for the entry of this Order.
|
|
| DOJ |
Department of Justice (implied by Bates stamp DOJ-OGR-00019523).
|
"Shall be used by the Defendant or her Defense Counsel solely for purposes of the defense of this criminal action, and not for any civil proceeding"Source
"Shall not be copied or otherwise recorded or transmitted by the Defendant, except to Defense Counsel"Source
"May be disclosed only by Defense Counsel and only to the following persons ('Designated Persons')"Source
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