Back to Results

DOJ-OGR-00015060.jpg

Source: IMAGES  •  Size: 896.6 KB  •  OCR Confidence: 94.4%
View Original Image

Extracted Text (OCR)

Case 1:20-cr-00330-PAE Document 795 Filed 07/25/25 Page3of4 NATIONAL SECURITY COUNSELORS 1451 ROCKVILLE PIKE, SUITE 250 ROCKVILLE, MD 20852 TELEPHONE: (501) 301-4NSC (4672) FACSIMILE: (240) 681-2189 KEL MCCLANAHAN, ESQ., EXECUTIVE DIRECTOR (admitted in DC, NY, WA) EMAIL: KEL@NATIONALSECURITYLAW.ORG BRADLEY P. MOSS, ESQ., DEPUTY EXECUTIVE DIRECTOR (admitted in DC, IL) 25 July 2025 Hon. Paul A. Engelmayer United States District Court for the Southern District of New York Thurgood Marshall Courthouse 40 Foley Square New York, NY 10007 Re: United States v. Maxwell, Case No. 20-Cr-330 Dear Judge Engelmayer: On behalf of MSW Media, Inc. (“MSW Media”), I respectfully submit this letter motion to intervene in the above-captioned case for the purposes of partially supporting and partially opposing the Government’s motion to unseal the transcripts of grand jury testimony in this case, filed as Docket No. 785. MSW Media (https://mswmedia.com/) operates numerous podcasts and blogs about federal government operations, including Mueller She Wrote, SpyTalk, Daily Beans, and Jack. It clearly qualifies as a representative of the news media. MSW Media has standing to intervene in this case for the following reason. On 17 July 2025, after President Donald Trump publicly instructed Attorney General Pam Bondi to seek the Court’s permission to release “any and all pertinent Grand Jury testimony, we filed a Freedom of Information Act (“FOIA”) request with the Department of Justice (“DOJ”) for transcripts of all grand jury testimony from this case and United States v. Epstein, No. 19-490 (S.D.N.Y.). We are concerned with the modifier “pertinent” in President Trump’s instruction, and that concern seemed vindicated when the Government advised this Court that it intended to “make appropriate redactions of victim-related information and other personal identifying information prior to releasing the transcripts.” (Dkt. #785 at 2 (emphasis added).) To be clear, we have no interest in victim-related information, and this Motion does not pertain to that information. However, we do have concerns that the Government seems to be implicitly seeking this Court’s permission to withhold other personally identifiable information, such as information about Defendant’s partners in crime or clients. Accordingly, while we join the Government in requesting that these transcripts be released, we accordingly make this narrow independent request to the Court: Please do not weigh in on the appropriateness of withholding personally identifiable information unrelated to victims. We intend to litigate this FOIA request if necessary, and the question of whether such information may be properly withheld is a DOJ-OGR-00015060

Document Preview

DOJ-OGR-00015060.jpg

Click to view full size

Extracted Information

Dates

Email Addresses

Phone Numbers

Document Details

Filename DOJ-OGR-00015060.jpg
File Size 896.6 KB
OCR Confidence 94.4%
Has Readable Text Yes
Text Length 2,735 characters
Indexed 2026-02-03 18:52:21.413590