DOJ-OGR-00019539.jpg

588 KB

Extraction Summary

4
People
2
Organizations
0
Locations
1
Events
1
Relationships
2
Quotes

Document Information

Type: Court document (protective order/discovery protocol)
File Size: 588 KB
Summary

This page documents a protective order regarding discovery procedures in the case United States v. Ghislaine Maxwell (Case 1:20-cr-00330). It defines 'Confidential Information' as materials containing personal details of victims and witnesses, while explicitly excluding those who have publicly identified themselves on the record. It also establishes a mechanism for Defense Counsel to challenge the Government's confidentiality designations.

People (4)

Name Role Context
Defense Counsel Legal Representative
Authorized to challenge confidentiality designations made by the Government.
Government Prosecution
Responsible for producing discovery and designating materials as 'confidential'.
Victims Subjects of Protection
Mentioned in the context of personal identification information being protected.
Witnesses Subjects of Protection
Mentioned in the context of personal identification information being protected.

Organizations (2)

Name Type Context
The Government
Prosecuting authority (United States)
DOJ
Department of Justice (inferred from Bates stamp DOJ-OGR-00019539)

Timeline (1 events)

2020-08-28
Filing of Document 362 in Case 1:20-cr-00330-AJN
United States District Court (Southern District of New York implied by AJN initials)

Relationships (1)

Government Legal Adversaries Defense Counsel
Protocol outlines process for Defense to challenge Government's confidentiality designations.

Key Quotes (2)

"The identity of an alleged victim or witness who has identified herself or himself publicly as such on the record in this case shall not be treated as Confidential Information."
Source
DOJ-OGR-00019539.jpg
Quote #1
"Defense Counsel may, at any time, notify the Government that Defense Counsel does not concur in the designation of documents or other materials as Confidential Information."
Source
DOJ-OGR-00019539.jpg
Quote #2

Full Extracted Text

Complete text extracted from the document (1,504 characters)

Case 1:20-cr-00330-AJN Document 362 Filed 08/28/20 Page 6 of 12
7. Copies of Discovery or other materials produced
by the Government in this action bearing “confidential” stamps,
or designated as “confidential” as described below, and/or
electronic Discovery materials designated as “confidential” by
the Government, including such materials marked as
“confidential” either on the documents or materials themselves,
or designated as “confidential” in a folder or document title,
are deemed “Confidential Information.” The Government shall
clearly mark all pages or electronic materials containing
Confidential Information, or folder or document titles as
necessary, with “confidential” designations.
8. Confidential Information may contain personal
identification information of victims, witnesses, or other
specific individuals who are not parties to this action, and
other confidential information; as well as information that
identifies, or could lead to the identification of, witnesses in
this matter. The identity of an alleged victim or witness who
has identified herself or himself publicly as such on the record
in this case shall not be treated as Confidential Information.
9. Defense Counsel may, at any time, notify the
Government that Defense Counsel does not concur in the
designation of documents or other materials as Confidential
Information. If the Government does not agree to de-designate
such documents or materials, Defense Counsel may thereafter move
6
App.080
DOJ-OGR-00019539

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