From: To: Subject: ro. uc tons or Date: Sat, 20 Nov 2021 17:40:38 +0000 Attachments: 2021.11.20_U.S._v_Maxwell 3500 IndexiDefense).pdf; 2021.11.20 U.S. v Maxwell—Non-Testifying_Witness_Material Index (Defense).pdf; _ _ _ _ _ 2021.11.20_Maxwell 3500_Eover Lettendocx; _ _ 2021.11.20_Maxwell Discovety_Letterdocx; 2021.11.20_US_v._Nlaxwell_Government_Exhibit_IndexiDefense).pdf Hi all, Rule 16 production is saved here: \\ Usa.doj.gov\cloud NYS \StAndrews \Shared \ USvEpstein- 2018R01618Wiscovery\GM 39 Thirtieth Production Please note that I double checked the Interlochen records against what we'd previously produced again to be extra sure, and there were three additional pages from MI application that we hadn't previously produced, that were similar but not exactly the same as what we'd produced previously. I've added them to the production. TW 3500 production is saved here: \\ Usa.doj.gov \cloud\ NYS‘StAndrews\ShareaUSvEpstein-2018R01618 !Trial\ 3500 ‘1. Testifying\ Production 8 NTW 3500 production is saved here: \\ Usa.doj.gov\ clouaNYS \StAndrews \Shared \ USvEpstein-2018R01618VTrial \ 3500 \ 2. Non-Testifying\ Production 9 GX production is saved here: \\ Usa.doj.gov\ cloud \ NYS \StAndrews\Shared \ LISvEpstein- 2018R01618 \ !Trial\ Exhibits\ Productions to Defense\ 2021.11.xx Indices and cover letters are attached. Please let me know when you have reviewed the productions so I can start loading the drives. Thank you! Thanks, Paralegal Specialist U.S. Attorney's Office j SDNY EFTA00068416
