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1.36 MB

Extraction Summary

5
People
4
Organizations
1
Locations
3
Events
3
Relationships
4
Quotes

Document Information

Type: Court docket / legal filing record
File Size: 1.36 MB
Summary

This document is a court docket page from the case of United States v. Ghislaine Maxwell (Case 21-58). It details legal maneuvers regarding discovery disclosure and protective orders between July and August 2020, including a ruling by Judge Alison J. Nathan denying a defense request deemed 'unprecedented' and 'too broad' regarding witness privacy. The docket lists filings by defense attorneys Christian Everdell and Jeffrey Pagliuca, and opposition by Assistant US Attorney Alex Rossmiller.

People (5)

Name Role Context
Ghislaine Maxwell Defendant
Subject of the court case and filings; filed motions regarding discovery disclosure.
Alison J. Nathan Judge
District Judge signing orders and overseeing the case.
Christian R. Everdell Defense Attorney
Attorney for Ghislaine Maxwell; filed letter motions and affidavits regarding discovery.
Alex Rossmiller Assistant US Attorney (Government)
Filed letter response in opposition to Maxwell's motion on behalf of the USA.
Jeffrey S. Pagliuca Defense Attorney
Attorney for Ghislaine Maxwell; filed a motion requesting permission to submit a letter in excess of page limits.

Timeline (3 events)

2020-07-30
Judge Nathan signed an order regarding a protective order and privacy interests.
Court
Judge Alison J. Nathan
2020-08-11
Memo Endorsement ordering Government to respond to Defendant's letter motion.
Court
Judge Alison J. Nathan
2020-08-17
Defendant filed a letter motion seeking modification of the Court's Protective Order.
Court

Locations (1)

Relationships (3)

Ghislaine Maxwell Attorney-Client Christian R. Everdell
Filings by Everdell on behalf of Maxwell
Ghislaine Maxwell Attorney-Client Jeffrey S. Pagliuca
Filings by Pagliuca on behalf of Maxwell
Alex Rossmiller Opposing Counsel/Adversarial Ghislaine Maxwell
Rossmiller filed Letter Response in Opposition by USA as to Ghislaine Maxwell

Key Quotes (4)

"The exception the Defense seeks is too broad and risks undermining the protections of the privacy of witnesses and alleged victims that is required by law."
Source
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Quote #1
"The request appears unprecedented despite the fact that there have been many high-profile criminal matters that had related civil litigation."
Source
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Quote #2
"Nothing in the Defense's papers explains how its unprecedented proposed restriction is somehow necessary to ensure a fair trial."
Source
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Quote #3
"For the foregoing reasons, the Court adopts the Government's proposed protective order, which will be entered on the docket."
Source
DOJ-OGR-00019755.jpg
Quote #4

Full Extracted Text

Complete text extracted from the document (4,700 characters)

Case 21-58, Document 20-2, 03/24/2021, 3065965, Page10 of 24
statement might have occurred decades ago and have no relevance to the charges in
this case. These individuals still maintain a significant privacy interest that must be
safeguarded. The exception the Defense seeks is too broad and risks undermining the
protections of the privacy of witnesses and alleged victims that is required by law. In
contrast, the Government's proffered language would allow Ms. Maxwell to publicly
reference individuals who have spoken by name on the record in this case. It also
allows the Defense to "referenc[e] the identities of individuals they believe may be
relevant... to Potential Defense Witnesses and their counsel during the course of the
investigation and preparation of the defense case at trial." Dkt. No. 33-1, 5. This
proposal adequately balances the interests at stake. And as the Government's letter
notes, see Dkt. No. 33 at 4, to the extent that the Defense needs an exception to the
protective order for a specific investigative purpose, they can make applications to the
Court on a case-by-case basis. Second, restrictions on the ability of potential
witnesses and their counsel to use discovery materials for purposes other than
preparing for trial in this case are unwarranted. The request appears unprecedented
despite the fact that there have been many high-profile criminal matters that had
related civil litigation. The Government labors under many restrictions including Rule
6(e) of the Federal Rules of Criminal Procedure, the Privacy Act of 1974, and other
policies of the Department of Justice and the U.S. Attorney's Office for the Southern
District of New York, all of which the Court expects the Government to scrupulously
follow. Furthermore, the Government indicates that it will likely only provide potential
witnesses with materials that those witnesses already have in their possession. See Dkt.
No. 33 at 6. And of course, those witnesses who do testify at trial would be subject to
examination on the record as to what materials were provided or shown to them by the
Government. Nothing in the Defense's papers explains how its unprecedented
proposed restriction is somehow necessary to ensure a fair trial. For the foregoing
reasons, the Court adopts the Government's proposed protective order, which will be
entered on the docket. This resolves Dkt. No. 29. SO ORDERED. (Signed by Judge
Alison J. Nathan on 7/30/2020)(bw) (Entered: 07/31/2020)
08/10/2020 | 38 | LETTER MOTION addressed to Judge Alison J. Nathan from Christian R. Everdell
dated August 10, 2020 re: Discovery Disclosure and Access . Document filed by
Ghislaine Maxwell. (Everdell, Christian) (Entered: 08/10/2020)
08/10/2020 | 39 | AFFIDAVIT of Christian R. Everdell by Ghislaine Maxwell. (Everdell, Christian)
(Entered: 08/10/2020)
08/11/2020 | 40 | MEMO ENDORSEMENT as to Ghislaine Maxwell on re: 38 LETTER MOTION
addressed to Judge Alison J. Nathan from Christian R. Everdell dated August 10, 2020
re: Discovery Disclosure and Access. ENDORSEMENT: The Government is hereby
ORDERED to respond to the Defendant's letter motion by Thursday, August 13, 2020.
The Defendant's reply, if any, is due on or before Monday, August 17, 2020.
(Responses due by 8/13/2020. Replies due by 8/17/2020) (Signed by Judge Alison J.
Nathan on 8/11/2020) (ap) (Entered: 08/11/2020)
08/13/2020 | 41 | LETTER RESPONSE in Opposition by USA as to Ghislaine Maxwell addressed to
Judge Alison J. Nathan from Alex Rossmiller dated August 13, 2020 re: 38 LETTER
MOTION addressed to Judge Alison J. Nathan from Christian R. Everdell dated
August 10, 2020 re: Discovery Disclosure and Access .. (Rossmiller, Alex) (Entered:
08/13/2020)
08/17/2020 | 42 | LETTER REPLY TO RESPONSE to Motion by Ghislaine Maxwell addressed to
Judge Alison J. Nathan from Christian R. Everdell dated August 17, 2020 re 38
LETTER MOTION addressed to Judge Alison J. Nathan from Christian R. Everdell
dated August 10, 2020 re: Discovery Disclosure and Access .. (Everdell, Christian)
(Entered: 08/17/2020)
08/17/2020 | 43 | LETTER MOTION addressed to Judge Alison J. Nathan from Jeffrey S. Pagliuca
dated August 17, 2020 re: Request for Permission to Submit Letter Motion in Excess
of Three Pages . Document filed by Ghislaine Maxwell. (Pagliuca, Jeffrey) (Entered:
08/17/2020)
08/18/2020 | 44 | ORDER as to Ghislaine Maxwell: On August 17, 2020, the Defendant filed a letter
motion seeking a modification of this Court's Protective Order, which the Court
entered on July 30, 2020. Defendant also moves to file that letter motion under seal.
The Governments opposition to Defendant's letter motion is hereby due Friday, August
DOJ-OGR-00019755

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