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Extracted Text (OCR)
Case 1:19-cr-00490-RMB Document 38 Filed 07/25/19 Page 4 of9
Case 1:19-cr-00490-RMB Document 37-1 Filed 07/25/19 Page 4 of 9
Gisclosing or disseminating the identity of any victims or
witnesses referenced in the Discovery. This Order does not
prohibit Defense Counsel from publicly referencing individuals
who have spoken on the public record in litigation - criminal or
otherwise — relating to Jeffrey Epstein. .
5. The Defendant, Defense Counsel, Defense Staff,
Defense Experts/Advisors, Potential Witnesses, and Other
Authorized Persons are prohibited from filing publicly as an
attachment to a filing or excerpted within a filing any of the
Discovery or information contained in the Discovery, unless
authorized by the Government in writing or by Order of the
Court. Any filings that incorporate the Discovery by
attachment, contain any excerpts of Discovery, or incorporate
Discovery by reference must be filed under seal. Nothing in
this Order precludes Defense Counsel from using the Discovery in
judicial proceedings in this case.
6. Copies of Discovery or other materials preduced
by the Government in this action bearing “confidential” stamps
or otherwise designated as “confidential” and/or electronic
Discovery materials désignated as “confidential” by the
Government, including such materials marked as “confidential”
either on the documents or materials themselves, or designated
as “confidential” in a cover letter, index, folder title, or
DOJ-OGR-00000598