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From: Subject: FW: Ghislaine Maxwell 02879-509 Date: Thu, 12 Aug 2021 16:08:09 +0000 FYI From: BOBBI C STERNHEIM Sent: Thursday, August 12, 2021 11:30 AM To: ; Christian Everdell Subje
cause it does not preclude third parties with access information to the Zoom "Courtrooms" from interfering (inadvertently or intentionally) with Ms. Maxwell's privileged communication. That concern manifested itself today when third parties accessed the Zoom room used by Ms. Maxwell and counsel. This br
From: Subject: FW: Ghislaine Maxwell 02879-509 Date: Thu, 12 Aug 2021 16:08:09 +0000
From: Subject: FW: Ghislaine Maxwell 02879-509 Date: Thu, 12 Aug 2021 16:08:0
interfering (inadvertently or intentionally) with Ms. Maxwell's privileged communication. That concern manifes
o: ; Christian Everdell Subject: Ghislaine Maxwell 02879-509 Good morning- In my email of 8/9 (see below), I raised concerns regarding use of the MDC Zoom platform because it does not preclude third parties with access information to the Zoom "Courtrooms" from interfering (inadvertently or intentional
ust 18, 2021 Honorable J. Nathan United States District Judge United States Courthouse 40 Foley Square New York, NY 10007 Re: United States v. Ghislaine Maxwell S2 20 Cr. 330 (AJN) Dear Judge Nathan; I write to update the Court regarding MDC ongoing interference with attorney-client communication between
rence with attorney-client communication between Ghislaine Maxwell and her counsel. Since December 2019, video teleconferences ("VTCs") between Ms. Maxwell and her counsel have been conducted via defense counsel's WebEx platform. There were no problems with VTCs with the exception of when the MDC place
Square New York, NY 10007 Re: United States v. Ghislaine Maxwell S2 20 Cr. 330 (AJN) Dear Judge Nathan;
mber 2019, video teleconferences ("VTCs") between Ms. Maxwell and her counsel have been conducted via defense
lient communication and is placing an on-going chill on communication between Ms. Maxwell and her defense team. It is my understanding that the new MDC Zoom platform does not preclude third parties who have the access information to the Zoom "Courtrooms" from interfering (inadvertently or intentionally)
ust 18, 2021 Honorable J. Nathan United States District Judge United States Courthouse 40 Foley Square New York, NY 10007 Re: United States v. Ghislaine Maxwell S2 20 Cr. 330 (AJN) Dear Judge Nathan; I write to update the Court regarding MDC ongoing interference with attorney-client communication between
rence with attorney-client communication between Ghislaine Maxwell and her counsel. Since December 2019, video teleconferences ("VTCs") between Ms. Maxwell and her counsel have been conducted via defense counsel's WebEx platform. There were no problems with VTCs with the exception of when the MDC place
Square New York, NY 10007 Re: United States v. Ghislaine Maxwell S2 20 Cr. 330 (AJN) Dear Judge Nathan;
mber 2019, video teleconferences ("VTCs") between Ms. Maxwell and her counsel have been conducted via defense
lient communication and is placing an on-going chill on communication between Ms. Maxwell and her defense team. It is my understanding that the new MDC Zoom platform does not preclude third parties who have the access information to the Zoom "Courtrooms" from interfering (inadvertently or intentionally)
ust 18, 2021 Honorable J. Nathan United States District Judge United States Courthouse 40 Foley Square New York, NY 10007 Re: United States v. Ghislaine Maxwell S2 20 Cr. 330 (AJN) Dear Judge Nathan; I write to update the Court regarding MDC ongoing interference with attorney-client communication between
rence with attorney-client communication between Ghislaine Maxwell and her counsel. Since December 2019, video teleconferences ("VTCs") between Ms. Maxwell and her counsel have been conducted via defense counsel's WebEx platform. There were no problems with VTCs with the exception of when the MDC place
Square New York, NY 10007 Re: United States v. Ghislaine Maxwell S2 20 Cr. 330 (AJN) Dear Judge Nathan;
mber 2019, video teleconferences ("VTCs") between Ms. Maxwell and her counsel have been conducted via defense
lient communication and is placing an on-going chill on communication between Ms. Maxwell and her defense team. It is my understanding that the new MDC Zoom platform does not preclude third parties who have the access information to the Zoom "Courtrooms" from interfering (inadvertently or intentionally)
Entities connected to both Ghislaine Maxwell and MDC Zoom