To: >; Mark S. Cohen Menninger' >; 'Jeff Pagliuca' < >; 'Bobbi Sternheim' Cc: >; (USANYS) < < (USANYS) [Contractor) Subject: RE: US v. Maxwell - discovery production I should have mentioned this. To open the padlock drive, please use the info below: ID: PIN: Thanks, Chris From: Christian Everdell Sent: Frida Au ust 06 2021 11:15 AM To: t• Mark S. Cohen; Menninger; Jeff Pagliuca; Bobbi Sternheim Cc: (USANYS); I Subject: RE: US v. Maxwell - discovery production (USANYS) [Contractor]; We are sending. messenger to you shortly with one 1 TB USB drive and one 1 TB padlock drive. The USB drive is for Ms. Maxwell and the padlock drive is for counsel. We will mark them accordingly. We have had some issues in the past with extracting information from the McAfee encryption program that you use to encrypt the data on the drives. Because the padlock drive already has onboard encryption, can you not use the McAfee encryption software on that drive? Please advise. Thanks, Chris From: [mailto Sent: Thursday, August 05, 2021 8:53 PM To: Christian Everdell; Mark S. Cohen. Menninger; Jeff Pagliuca; Bobbi Sternheim Cc: (USANYS); I ) Subject: US v. Maxwell - discovery production Counsel, (USANYS) [Contractor] As I previewed in my email to yesterday, we now have I set of discovery materials ready to produce to you. Attached please find the cover letter accompanying this production. For this production, we will need two 500GB hard drives (one for counsel's copy and one for Ms. Maxwell's co y) on which to load the materials. If you would please address those drives to Paralegal Specialist at that will enable us to get the drives loaded more quickly. Best, EFTA00098335
Assistant United States Attorney Southern District of New York EFTA00098336


