This document is Page 3 of a Protective Order filed on July 25, 2019, in the case USA v. Jeffrey Epstein (Case 1:19-cr-00490-RMB). It outlines strict protocols for handling 'Discovery' materials, including requirements for encryption and password protection when sharing with defense staff or experts. It explicitly prohibits the Government, the Defendant, or Counsel from posting any discovery information on the Internet or social media.
| Name | Role | Context |
|---|---|---|
| The Defendant | Defendant |
Subject of the protective order (Case 1:19-cr-00490-RMB refers to USA v. Jeffrey Epstein)
|
| Defense Counsel | Legal Representation |
Responsible for instructing staff/witnesses on the order and encrypting discovery materials
|
| The Government | Prosecution |
Party prohibited from posting discovery online
|
| Defense Staff | Legal Support |
Authorized recipients of discovery materials
|
| Defense Experts/Advisors | Consultants |
Authorized recipients of discovery materials
|
| Potential Witnesses | Witnesses |
Prospective witnesses and their counsel who may be shown discovery materials
|
| Name | Type | Context |
|---|---|---|
| Department of Justice (DOJ) |
Indicated by Bates stamp DOJ-OGR
|
|
| United States District Court |
Implied by case filing header information
|
| Location | Context |
|---|---|
|
Location where posting discovery materials is prohibited
|
|
|
Specific location on the internet where posting discovery is prohibited
|
"Defense Counsel shall encrypt and/or password protect the Discovery."Source
"The Government, the Defendant... 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."Source
"May be shown to, but not disseminated to or provided copies of to, prospective witnesses"Source
Complete text extracted from the document (1,515 characters)
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