This legal document is a filing by the Government in Case 1:20-cr-00330-PAE, dated April 16, 2021. The Government argues that its proposed schedule for providing discovery materials (including Section 3500, Giglio, and Jencks Act information) to the defense is adequate and even exceeds the standard practice in the district for high-profile cases. The Government offers to produce non-testifying witness statements eight weeks before trial and testifying witness materials four weeks in advance, asserting this provides ample time for the defense to prepare.
This document is page 7 of 239 (internally numbered 'vi') from a legal filing, Document 204 in case 1:20-cr-00330-PAE, filed on April 16, 2021. It is a table of cases, listing legal precedents with their citations and the page numbers where they are referenced in the main document. The footer includes a Department of Justice document identifier, DOJ-OGR-00002941.
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