867 results for "November 4 2020"

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DOJ-OGR-00019758.jpg
OCR Confidence: 94%  •  1389.3 KB
Case 21-58, Document 20-2, 03/24/2021, 3065965, Page13 of 24 11/06/2020 | 69 | LETTER by USA as to Ghislaine Maxwell addressed to Judge Alison J. Nathan from AUSAs Maurene Comey, Alison Moe, and Lara Pomerantz dated November 6, 2020 re: Request to Extend Discovery Deadline for...
DOJ-OGR-00019784.jpg
OCR Confidence: 94%  •  1388.7 KB
Case 21-58, Document 21-2, 03/24/2021, 3065978, Page14 of 25 11/06/2020 | 69 | LETTER by USA as to Ghislaine Maxwell addressed to Judge Alison J. Nathan from AUSAs Maurene Comey, Alison Moe, and Lara Pomerantz dated November 6, 2020 re: Request to Extend Discovery Deadline for...
EFTA00100901.pdf
OCR Confidence: 85%  •  917.9 KB
...Fri, 06 Nov 2020 22:26:13 +0000 r cir, (USANYS)" Got it, thank you! From: Sent: Friday, November 6, 2020 5:25 PM To: Cc: (USANYS) >; >; ) [Contractor] 4 chats should have been removed be they were released on the...
EFTA00078213.pdf
OCR Confidence: 85%  •  86.7 KB
...Wednesda November 4 2020 7:01 PM To Subject: RE: US v. Epstein (SW database) • Thank you very much Looking on Relativity, it appears that part 4 is at least stamped now, which puts us more than halfway through t e stamping. We are planning to ask Judge Nathan for...
DOJ-OGR-00001822.jpg
OCR Confidence: 89%  •  561.2 KB
...In particular, on November 4, 2020, the Government asked defense counsel whether they would consent to a two-week extension to allow adequate time for an outside vendor to finish bates stamping and downloading the Production. On the morning of November 6, 2020, DOJ-OGR-00001822
EFTA00081447.pdf
OCR Confidence: 85%  •  168.3 KB
...Wednesday, November 4, 2020 5:48pm To: Cc: < > Subject: Re: Expert Witness Hi Jan, )" very much— we're flexible on timing. Sent from my iPhone On Nov 4. 2020, at 4:13 PM, wrote: I have asked Dr. Cooper for a date/time next week. Do you prefer after 5pm...
DOJ-OGR-00001821.jpg
OCR Confidence: 94%  •  573.3 KB
...All Counsel of Record (By ECF) ‘Tn particular, the application in support of the July 2020 warrant included quotations from four emails extracted from the devices, and, as noted, the Government will produce all four of those documents to the defense by November 9, 2020. DOJ-OGR-00001821
EFTA00078119.pdf
OCR Confidence: 85%  •  36.2 KB
...Provide Maxwell with a laptop on which to review her discovery at the MDC by November 23rd 3. Provide the defense with the names of the Minor Victims by November 23rd 4. Provide all 3500 material by November 23rd We told R hat we would agree to the first two...
EFTA00078120.pdf
OCR Confidence: 85%  •  340.6 KB
...In particular, on November 4, 2020, the vendor informed the Government that although it has finished imaging the responsive documents, it does not expect to finish bates stamping the responsive documents and loading them onto an external hard drive until November 19, 2020. The vendor will then send that drive...
DOJ-OGR-00001823.jpg
OCR Confidence: 95%  •  463.1 KB
...Act material by November 23, 2020. In response, the Government agreed to the first two conditions, but did not agree to the second two conditions. Accordingly, the parties have been unable to reach agreement on the requested two-week extension of the deadline for the Production. 4. I hereby certify...
DOJ-OGR-00001818.jpg
OCR Confidence: 95%  •  980.7 KB
Case 1:20-cr-00330-AJN Document 69 Filed 11/06/20 Page 1 of 4 U.S. Department of Justice United States Attorney Southern District of New York The Silvio J. Mollo Building One Saint Andrew’s Plaza New York, New York 10007 November 6, 2020 BY ECF The...
DOJ-OGR-00001828.jpg
OCR Confidence: 95%  •  1010.0 KB
Case 1:20-cr-00330-AJN Document 62 Filed 11/06/20 Page 1 of 4 U.S. Department of Justice United States Attorney Southern District of New York The Silvio J. Mollo Building One Saint Andrew’s Plaza USDC SDNY New York, New York 10007 DOCUMENT November 6, 2020...
DOJ-OGR-00020402.jpg
OCR Confidence: 95%  •  1436.6 KB
...by December 4, 2020. For the reasons outlined in the Government's letter dated December 2, 2020, Dkt. No. 80, the Court DENIES the Defendant's request for an in camera conference. In order to protect the privacy interests referenced in the Defendant's November 25, 2020 letter, the Court...
DOJ-OGR-00020503.jpg
OCR Confidence: 95%  •  1439.6 KB
...by December 4, 2020. For the reasons outlined in the Government's letter dated December 2, 2020, Dkt. No. 80, the Court DENIES the Defendant's request for an in camera conference. In order to protect the privacy interests referenced in the Defendant's November 25, 2020 letter, the Court...
DOJ-OGR-00020637.jpg
OCR Confidence: 95%  •  1230.3 KB
...Nathan from AUSAs Maurene Comey, Alison Moe, and Lara Pomerantz dated November 6, 2020 re: Request to Extend Discovery Deadline for Portion of Electronic Discovery. ENDORSEMENT: The Court hereby extends the deadline for the Government's production of electronic discovery from November 9, 2020 to November 23, 2020. The Court...
EFTA00089804.pdf
OCR Confidence: 85%  •  639.5 KB
...Wednesday, November 4, 2020 4:21 PM To: Cc: an generate the Subject: RE: Epstein priv review --1B71 Redacted w/o Chats and SMS released The 1871 Redacted report without chats and sms is now in your shared directory. As I mentioned below, we removed 1107 emails as PP so...
EFTA00078080.pdf
OCR Confidence: 85%  •  68.1 KB
...Wednesda November 4 2020 7:01 PM Subject: RE: US v. Epstein (SW database) Thank you very much Looking on Relativity, it appears that part 4 is at least stamped now, which puts us more than halfway through the stamping. We are planning to ask Judge Nathan for an extension...
EFTA00076380.pdf
OCR Confidence: 85%  •  89.1 KB
...Tuesday, October 27, 2020 10:03 AM To: (USANYS) Subject: RE: Edwards Pottinger Touhy Requests Hi all, >; >; I communicated our timing to Brad Edwards. He was not thrilled, but fine overall. He said that he would be meeting with around November 4 and 5, and so asked if we could...
EFTA00076047.pdf
OCR Confidence: 85%  •  285.3 KB
...Wednesday, November 4, 2020 12:25 PM To: ) [Contractor] < >; [Contractor] Cc: ( ) `* ); IM ( < >, ( [Contractor] c , Subject: RE: We Build the Wall Relativity - Discovery Production Looks good. Thanks. From: [Contractor] Sent: Tuesday, November 3, 2020 1:31 PM To: ( ) ; [Contractor] ca Cc: ( ) ( ) ) [Contractor] Subject: RE: We Build the Wall Relativity - Discovery Production...
DOJ-OGR-00021994.jpg
OCR Confidence: 94%  •  916.9 KB
...The discovery was received by my office on January 2, 2020. On January 4, 2020, I attempted to review the discovery and I could not access it because the Government provided the incorrect password to get access. On January 6, 2020, I was provided with the correct password and gained...
EFTA00081451.pdf
OCR Confidence: 85%  •  146.0 KB
...Sent from my iPhone On Nov 4, 2020, at 4:13 PM, wrote: Hi I have asked Dr. Cooper for a date/time next week. Do you prefer after 5pm? Jan Jan Johnson Legal & Conference Coordinator Developmental & Forensic Pediatrics, P.A. cell: Original Message From: Sent: Wednesday, November 4, 2020...
EFTA00163224.pdf
OCR Confidence: 85%  •  102.8 KB
...dwilliams6@fbi.gov> To: "Allen, Amanda L. (DO) (FBI)" Subject: RE: November 12 Availability Date: Wed, 04 Nov 2020 19:14:17 +0000 Importance: Normal Copy. See you soon! On Nov 4, 2020 1:31 PM, "Allen, Amanda L. (DO) (FBI)" wrote: Good Afternoon...
DOJ-OGR-00001855.jpg
OCR Confidence: 95%  •  871.5 KB
...12/04/20 Page 1 of 4 800 Third Avenue New York, NY 10022 COHEN & GRESSER LLP +1 212.957 7600 phone www.cohengresser.com Mark S. Cohen Christian R. Everdell +1 (212) 957-7600 mcohen@cohengresser.com ceverdell@cohengresser.com November 30, 2020 TO BE FILED UNDER SEAL VIA...
EFTA00152908.pdf
OCR Confidence: 85%  •  45.9 KB
...Wednesday, November 4, 20201:35 PM To: (NY) (FBI) c > Subject: C-20 request for assistance I would live to help. Thank you On Nov 4, 2020 12:49 PM, "a (NY) (FBI)" c wrote: All, Squad C-20 is requesting assistance from two agents for the Maxwell investigation. They...
EFTA00152789.pdf
OCR Confidence: 85%  •  115.2 KB
...Thursday, November 12, 2020 10:44 AM EFTA00152789 To: Cc: Su ject: EXTERNAL EMAIL - RE: e is Attention Team FBI, yes, we have a media plan regarding the DOJ OPR report that will be briefed to the victims today. Whoever is the lead for this issue with FBI can call...

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