DOJ-OGR-00001674.jpg

574 KB

Extraction Summary

13
People
2
Organizations
1
Locations
1
Events
3
Relationships
0
Quotes

Document Information

Type: Legal document
File Size: 574 KB
Summary

This document is page 4 of a court-filed Protective Order from July 28, 2020, in a criminal case. It outlines the rules for handling discovery materials, stating that all members of the defense team are bound by the order even without individual signatures. The order mandates that Defense Counsel must encrypt discovery shared through non-electronic means and strictly prohibits all parties from posting any discovery information on the internet or social media.

People (13)

Name Role Context
Defense Counsel Legal representative for the defendant
Mentioned as the party responsible for retaining acknowledgments, encrypting Discovery materials, and being bound by ...
The Defendant Accused party in a legal case
Mentioned as a party bound by the Protective Order, who, along with her counsel, does not need to obtain signatures f...
attorneys Member of the defense team
Listed as part of the defense team from whom signatures are not required.
experts Member of the defense team
Listed as part of the defense team from whom signatures are not required.
consultants Member of the defense team
Listed as part of the defense team from whom signatures are not required.
paralegals Member of the defense team
Listed as part of the defense team from whom signatures are not required.
investigators Member of the defense team
Listed as part of the defense team from whom signatures are not required.
support personnel Member of the defense team
Listed as part of the defense team from whom signatures are not required.
secretarial staff Member of the defense team
Listed as part of the defense team from whom signatures are not required.
Defense Experts/Advisors Expert or advisor for the defense
Identified as potential recipients of Discovery materials and are prohibited from posting such materials publicly.
Other Authorized Persons Individual authorized to receive case information
Identified as potential recipients of Discovery materials and are prohibited from posting such materials publicly.
Potential Defense Witnesses Potential witness for the defense
Identified as potential recipients of Discovery materials and are prohibited from posting such materials publicly.
Defense Staff Staff supporting the defense team
Mentioned as a party prohibited from publicly posting Discovery materials.

Organizations (2)

Name Type Context
the Court Judicial body
Mentioned as having the authority to conduct an 'in camera' review of acknowledgments.
the Government Government agency
Identified as a party to the case, prohibited from publicly posting Discovery materials, except in the discharge of p...

Timeline (1 events)

All parties, including the Government, Defendant, and the entire defense team, are prohibited from posting any Discovery materials or information on the Internet, including social media websites.
Internet

Locations (1)

Location Context
Specified as a medium where posting Discovery or related information is prohibited.

Relationships (3)

The Defendant Professional (Client-Attorney) Defense Counsel
The document refers to 'The Defendant and her counsel', indicating a formal legal representation relationship.
Defense Counsel Professional defense team
The document defines the 'defense team' as including attorneys, experts, consultants, paralegals, investigators, support personnel, and secretarial staff, all working on the representation of the defendants.
The Government Adversarial (Legal) The Defendant
The document is a protective order in a legal case (Case 1:20-cr-00330-AJN), establishing rules between the prosecuting 'Government' and 'The Defendant'.

Full Extracted Text

Complete text extracted from the document (1,466 characters)

Case 1:20-cr-00330-AJN Document 33-1 Filed 07/28/20 Page 4 of 12
such acknowledgments shall be retained by Defense Counsel and
shall be subject to in camera review by the Court if good cause
for review is demonstrated. The Defendant and her counsel need
not obtain signatures from any member of the defense team (i.e.,
attorneys, experts, consultants, paralegals, investigators,
support personnel, and secretarial staff involved in the
representation of the defendants in this case), all of whom are
nonetheless bound by this Protective Order.
3. To the extent that Discovery is disseminated to
Defense Experts/Advisors, Other Authorized Persons, or Potential
Defense Witnesses, via means other than electronic mail, Defense
Counsel shall encrypt and/or password protect the Discovery.
4. The Government, the Defendant, Defense Counsel,
Defense Staff, Defense Experts/Advisors, Potential Defense
Witnesses and their counsel, and Other Authorized Persons are
prohibited from posting or causing to be posted any of the
Discovery or information contained in the Discovery on the
Internet, including any social media website or other publicly
available medium.
5. The Government (other than in the discharge of
their professional obligations in this matter), the Defendant,
Defense Counsel, Defense Staff, Defense Experts/Advisors,
Potential Defense Witnesses and their counsel, and Other
Authorized Persons are strictly prohibited from publicly
4
DOJ-OGR-00001674

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