DOJ-OGR-00001660.jpg

548 KB

Extraction Summary

6
People
4
Organizations
2
Locations
1
Events
2
Relationships
3
Quotes

Document Information

Type: Legal affidavit (affidavit of certification)
File Size: 548 KB
Summary

This document is an Affidavit of Certification filed on July 27, 2020, by Christian R. Everdell, defense attorney for Ghislaine Maxwell. Everdell certifies that the defense has conferred with federal prosecutors (Moe, Rossmiller, and Comey) regarding a protective order but remains in dispute regarding restrictions on government witnesses' use of discovery materials.

People (6)

Name Role Context
Ghislaine Maxwell Defendant
The defendant in the criminal case 20 Cr. 330.
Christian R. Everdell Attorney/Affiant
Partner at Cohen & Gresser LLP, counsel for Ghislaine Maxwell, submitting the affidavit.
Alison Moe Assistant U.S. Attorney
Prosecutor conferred with by the defense regarding the protective order.
Alex Rossmiller Assistant U.S. Attorney
Prosecutor conferred with by the defense regarding the protective order.
Maurene Comey Assistant U.S. Attorney
Prosecutor conferred with by the defense regarding the protective order.
AJN Judge (Initials)
Presiding judge referenced in case number (Alison J. Nathan).

Organizations (4)

Name Type Context
United States District Court Southern District of New York
The jurisdiction where the case is being heard.
United States of America
The prosecuting party.
Cohen & Gresser LLP
Defense counsel firm representing Ghislaine Maxwell.
Department of Justice (DOJ)
Implied by the footer 'DOJ-OGR'.

Timeline (1 events)

2020-07-27
Filing of Affidavit of Certification pursuant to Local Criminal Rule 16.1
Southern District of New York

Locations (2)

Location Context
Court jurisdiction.
Jurisdiction where Christian R. Everdell is admitted to practice.

Relationships (2)

Christian R. Everdell Attorney-Client Ghislaine Maxwell
I am a partner at Cohen & Gresser LLP, counsel for defendant Ghislaine Maxwell
Christian R. Everdell Opposing Counsel Alison Moe
defense counsel has conferred in good faith with Assistant U.S. Attorneys Alison Moe...

Key Quotes (3)

"I certify pursuant to Local Criminal Rule 16.1 that defense counsel has conferred in good faith with Assistant U.S. Attorneys"
Source
DOJ-OGR-00001660.jpg
Quote #1
"we have been unable to resolve two narrow areas of dispute."
Source
DOJ-OGR-00001660.jpg
Quote #2
"the defense believes that potential government witnesses and their counsel should be subject to the same restrictions as the defense concerning appropriate use of the discovery materials"
Source
DOJ-OGR-00001660.jpg
Quote #3

Full Extracted Text

Complete text extracted from the document (1,479 characters)

Case 1:20-cr-00330-AJN Document 30 Filed 07/27/20 Page 1 of 2
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF NEW YORK
----------------------------------------------------------x
UNITED STATES OF AMERICA,
:
:
v.
:
:
GHISLAINE MAXWELL,
:
:
Defendant.
:
:
----------------------------------------------------------x
AFFIDAVIT OF CERTIFICATION
PURSUANT TO LOCAL
CRIMINAL RULE 16.1
20 Cr. 330 (AJN)
I, Christian R. Everdell, an attorney duly admitted to practice in New York State and
before this Court, declare the following is true and correct under penalty of perjury pursuant to
28 U.S.C. § 1746:
1. I am a partner at Cohen & Gresser LLP, counsel for defendant Ghislaine Maxwell
in the above-captioned case.
2. I certify pursuant to Local Criminal Rule 16.1 that defense counsel has conferred
in good faith with Assistant U.S. Attorneys Alison Moe, Alex Rossmiller, and
Maurene Comey regarding the government’s proposed protective order pursuant
to Federal Rule of Criminal Procedure 16.
3. While the parties have been able to agree on most of the provisions of the
protective order, we have been unable to resolve two narrow areas of dispute.
a. First, the defense believes that potential government witnesses and their
counsel should be subject to the same restrictions as the defense concerning
appropriate use of the discovery materials—namely, if these individuals are
given access to discovery materials during trial preparation, they may not use
DOJ-OGR-00001660

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