EFTA00090023.pdf
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From: ".=,
To: '
(USANYS) [Contractor]" <
Cc:
(USANYS) [Contractor]" <
Subject: RE:
materials
Date: Thu, 18 Nov 2021 00:49:28 +0000
Attachments: 2021.11.18_Maxwell Discovety_Lettendocx
SANYS
Sorry for the delay on prepping these materials for production—I noticed one discrepancy (one empty folder) that I asked
the agents to check on, and they did confirm that it was empty originally rather than due to any sort of error.
These roduction is saved here for our review:
And the draft cover letter is attached (saved
Because there are several
deposition video clips that we
could not find as having been produced the production is around 13GB, we will need a hard drive from defense counsel.
While we haven't produced these clips, the transcript for this deposition was produced in April as
3500,
specifically 3501.183-020. We should request a hard drive of at least 32GB from defense counsel (we still have two hard
drives for Maxwell, both of which are sufficiently large to accommodate the production).
Let me know what you think or if you have any questions.
From:
Sent: Monday, November 15, 2021 5:03 PM
To:
(USANYS) [Contractor] <
(USANYS)
Cc:
Subject: RE:
(USANYS) [Contractor] <
>
materials
<
M>
Ah, okay. Rule 16, please. Thanks!
From:
(USANYS) [Contractor]
Sent: Monday, November 15, 2021 4:25 PM
To:
<=
>;
(USANYS)O
-I<
;
Cc:
(USANYS) [Contractor] <
Subject: RE:
materials
No. All of the files at the link below were not produced in 3500, though it seems like some of the longer ones may have
been produced in Rule 16 (a few hundred page dots that appear to be subpoena returns that we have not checked every
page of which, for example, some of the dots-
Since they have either not been produced or not entirely confirmed
as having been produced, I was wondering whether these documents at the link below should be produced as 3500 or
Rule 16?
From:
I
Sent: Monday, November 15, 2021 4:21 PM
To:
(USANYS) [Contractor] c
(USANYS)
EFTA00090023
Cc:
(USANYS) [Contractor] <
Subject: RE:
materials
Thanks! Just to make sure I'm following: are you saying that all of these files have been produced to the defense already,
either as Rule 16 or 3500?
From:
(USANYS) [Contractor]
Sent: Monday, November 15, 2021 4:20 PM
To:
>;
(USANYS) <
>*,
c'
Cc:
Subject: RE:
(USANYS) [Contractor] <
materials
and I reviewed these materials and confirmed that some of these files were definitely produced as
3500,
but others were not (though so
subpoena returns, that were
roduced previously in Rule 16
There was one folder of miscellaneous files that seemed to be some sort of FBI audio software that had been marked as
DNP for NTW production 2. Other than this folder, do you want the files that do not appear to have been produced for
3500 added to the pending NTW 3500 production (i.e., rather than produced as Rule 16)?
Original Message
From:
Sent: Thursday, November 11, 2021 1:49 PM
To:
Cc:
Subject:
Hi M.
(USANYS) [Contractor]
(USANYS)
materials
We recently had an evidence inspection, and defense counsel inspected a number of items from the
case. I
have asked the FBI to scan the paper and give us a copy of any electronic materials that were in that set of materials, so
that we could double check these items were produced in discovery.
should be connecting with you to get you a copy
so that we can cross reference items produced in discovery.
Thanks,
EFTA00090024
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Document Details
| Filename | EFTA00090023.pdf |
| File Size | 115.6 KB |
| OCR Confidence | 85.0% |
| Has Readable Text | Yes |
| Text Length | 3,466 characters |
| Indexed | 2026-02-11T10:32:37.802316 |