DOJ-OGR-00001679.jpg

503 KB

Extraction Summary

2
People
3
Organizations
0
Locations
0
Events
1
Relationships
3
Quotes

Document Information

Type: Court filing (protective order)
File Size: 503 KB
Summary

This document is page 9 of a court filing (Document 33-1) from Case 1:20-cr-00330-AJN (USA v. Ghislaine Maxwell), filed on July 28, 2020. It outlines the protocols for handling 'Highly Confidential Information,' specifically defining it as materials containing sexualized images of individuals. It establishes that such information is to be used solely for the criminal defense and not for any civil proceedings.

People (2)

Name Role Context
Defendant Defendant
Subject of the criminal action, restricted in use of Highly Confidential Information. Referred to as 'her' (implies G...
Defense Counsel Legal Representative
Representing the Defendant; authorized to challenge confidentiality designations.

Organizations (3)

Name Type Context
Government
Prosecution/DOJ; responsible for marking confidential materials.
Court
Judicial body overseeing the case and disputes over designations.
DOJ
Department of Justice (indicated by Bates stamp prefix DOJ-OGR).

Relationships (1)

Government Legal Adversaries Defense Counsel
Procedures outlined for Defense Counsel to notify Government of disagreement regarding document designation.

Key Quotes (3)

"Highly Confidential Information contains nude, partially-nude, or otherwise sexualized images, videos, or other depictions of individuals."
Source
DOJ-OGR-00001679.jpg
Quote #1
"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
DOJ-OGR-00001679.jpg
Quote #2
"The Government’s designation of such documents and materials as Highly Confidential Information will be controlling absent contrary order of the Court."
Source
DOJ-OGR-00001679.jpg
Quote #3

Full Extracted Text

Complete text extracted from the document (1,256 characters)

Case 1:20-cr-00330-AJN Document 33-1 Filed 07/28/20 Page 9 of 12
Government shall clearly mark all such pages or electronic
materials containing Highly Confidential Information with
“highly confidential” stamps on the documents or materials
themselves.
12. Highly Confidential Information contains nude,
partially-nude, or otherwise sexualized images, videos, or other
depictions of individuals.
13. Defense Counsel may, at any time, notify the
Government that Defense Counsel does not concur in the
designation of documents or other materials as Highly
Confidential Information. If the Government does not agree to
de-designate such documents or materials, Defense Counsel may
thereafter move the Court for an Order de-designating such
documents or materials. The Government’s designation of such
documents and materials as Highly Confidential Information will
be controlling absent contrary order of the Court.
14. Highly Confidential Information disclosed to
Defense Counsel during the course of proceedings in this action:
a) 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 or any purpose
other than the defense of this action;
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DOJ-OGR-00001679

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