Counsel (Redacted)

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Protective order for Rule 17(c) materials

From: Assistant United State...
To: Counsel (Redacted)

Requesting agreement or redline on a draft protective order for Rule 17 subpoena materials, due to the Court by noon. Attachment includes 'GM' (Ghislaine Maxwell) in filename.

Email
2021-11-24

Re: Redaction

From: Nathan NYSD Chambers
To: Counsel (Redacted)

Confirming instruction to criminal docketing to remove Dkt. No. 453 and requesting corrected version by today.

Email
2021-11-18

20cr330, US v. Maxwell

From: Chambers of the Hon. A...
To: Counsel (Redacted)

Notification that Judge Nathan has granted additional time for supplemental briefing and that an order will be docketed.

Email
2021-11-11

US v. Maxwell, 20 Cr. 330 (AJN)

From: Assistant United State...
To: Counsel (Redacted)

Notification of supplemental production of testifying witness material and exhibits for tomorrow's hearing.

Email
2021-11-10

Re: US v. Maxwell, 20 Cr. 330 (AJN) - Joint Proposed Juro...

From: Nathan NYSD Chambers
To: Counsel (Redacted)

Instructions regarding docketing sealing requests on ECF; request for a copy of Jencks Act material.

Email
2021-10-12

US v. Maxwell, 20 Cr. 330 (AJN) - discovery production

From: Assistant United State...
To: Counsel (Redacted)

Notification of discovery production involving an additional photograph and cover letter, noting these will be added to a drive for the client at MDC.

Email
2021-04-14

US v. Maxwell, 20 CR. 330 (AJN) - discovery production

From: Assistant United State...
To: Counsel (Redacted)

Transmission of discovery production files and password for the US v. Maxwell case.

Email
2021-02-27

US v. Maxwell, 20 CR. 330 (AJN) - replacement discovery m...

From: Assistant United State...
To: Counsel (Redacted)

Notification regarding inadvertent incorrect Bates numbering on recent productions and the provision of corrected documents via attachment and disc to the MDC.

Email
2020-12-18

Discovery Production

From: Assistant United State...
To: Counsel (Redacted)

Notification of discovery materials production in US v. Maxwell with attached cover letter.

Email
2020-08-21

SDNY Investigation

From: UBS Paralegal (Redacte...
To: Counsel (Redacted)

Sending account statements for 2020 via email and requesting CD for 2018-2019 statements.

Email
2020-07-07

US v. Tova Noel 19 cr 830

From: JASON FOY
To: Counsel (Redacted)

Jason Foy sending a supplemental discovery demand to opposing counsel regarding the case US v. Tova Noel.

Email
2020-06-05

Accepted [REDACTED] counsel call

From: Unknown (Calendar Owner)
To: Counsel (Redacted)

Scheduled call with counsel for 30 minutes.

Call
2019-07-09

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