EFTA00030947.pdf

29.8 KB

Extraction Summary

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

Document Information

Type: Email
File Size: 29.8 KB
Summary

An email from an Assistant United States Attorney (SDNY) dated January 7, 2021, requesting permission regarding the delivery of discovery materials to Ghislaine Maxwell. Due to technical issues with a previous CD, a new drive was prepared. To allow Maxwell to review the materials over the weekend, the AUSA asks if defense counsel is permitted to pick up the drive from the SDNY office and hand-deliver it to the Metropolitan Detention Center (MDC) themselves.

People (3)

Name Role Context
Ghislaine Maxwell Defendant
Subject of the discovery material request; currently detained at MDC.
Redacted Sender Assistant United States Attorney
Sender of the email; requesting permission for delivery method.
Defense Counsel Legal Representation
Lawyers for Ghislaine Maxwell who requested the drive and offered to hand-deliver it.

Organizations (3)

Name Type Context
Southern District of New York (SDNY)
Office of the Assistant United States Attorney sending the email.
MDC
Metropolitan Detention Center; facility where Maxwell is held and where the drive is to be delivered.
FedEx
mentioned as a delivery option that would be too slow.

Timeline (1 events)

2021-01-08
Proposed delivery of discovery material drive by defense counsel to MDC (referred to as 'tomorrow' in the email dated Jan 7).
MDC
Defense Counsel MDC Staff

Locations (2)

Location Context
Address of the Southern District of New York office.
MDC
Detention center (Metropolitan Detention Center) implied to be in New York.

Relationships (1)

Ghislaine Maxwell Legal Representation Defense Counsel
Email states 'At the request of defense counsel' regarding materials for Maxwell.

Key Quotes (2)

"Defense counsel has offered to pick the drive up from our office and hand deliver it to the MDC themselves tomorrow. Would that be permissible?"
Source
EFTA00030947.pdf
Quote #1
"discovery material that was previously produced to Ghislaine Maxwell on a CD, but which she has been unable to view."
Source
EFTA00030947.pdf
Quote #2

Full Extracted Text

Complete text extracted from the document (1,016 characters)

From: [REDACTED] <[REDACTED]>
To: [REDACTED]
Cc: "[REDACTED])" <[REDACTED]>, "[REDACTED] (USANYS)" <[REDACTED]>
Subject: Request re Ghisliane Maxwell
Date: Thu, 07 Jan 2021 21:35:28 +0000
Good afternoon,
At the request of defense counsel, our office is preparing a new drive with a copy of discovery material that was previously produced to Ghislaine Maxwell on a CD, but which she has been unable to view. The drive will be ready tomorrow. Today, defense counsel asked that Maxwell be able to review those materials over this coming weekend, but no one from our office is available to hand deliver the drive tomorrow, and we understand that Maxwell would not receive a FedEx package sent out tomorrow until next week. Defense counsel has offered to pick the drive up from our office and hand deliver it to the MDC themselves tomorrow. Would that be permissible?
Thank you,
[REDACTED]
[REDACTED]
Assistant United States Attorney
Southern District of New York
[REDACTED]
New York, NY 10007
[REDACTED]
EFTA00030947

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