📄 Extracted Text (489 words)
Haddon, Morgan and Foreman, P C
Jeffrey S. Paglluca
H A D D O N
MORGAN
FOREMAN
August 9, 2020
VIA EMAIL
Assistant United States Attorney
The Silvio J. Mollo Building
One Saint Andrew's Plaza
New York, New York 10007
Re: Conferral Concerning Use of Discovery Materials GM_00000847-962
Dear Mr.
ell is actively litigating issues related to disclosure of confidential material
in v. Ghislaine Maxwell, No. 15 Civ. 7433 (LAP) and a related appeal in the
United States Court of Appeals for the Second Circuit, 20-2413.
We intend to ask Judge Nathan for permission to refer to and attach, as exhibits, the
above referenced discovery materials which relate to the Government's efforts to
obtain civil litigation discovery material ("the Unsealing Materials") in two, settled,
civil matters in which Ms. Maxwell was named a defendant. These materials would
be disclosed to Judge Preska and designated as part of the appendix to Ms. Maxwell's
appeal in the Second Circuit. We have no objection, at this point, to filing the
materials under seal in both courts.
In your letter to defense counsel dated August 5, 2020 you designated the Unsealing
Materials as Confidential. We understand that the Unsealing Materials were filed ex
parte and remain sealed in the miscellaneous actions. The documents, however, do
not contain confidential information as that term is defined in paragraph 8 of the
Protective Order entered by Judge Nathan. The Unsealing Materials are ex parte
pleadings filed by the Government, transcripts of ex parte hearings regarding those
pleadings, and ex parte rulings on the pleadings. As least one set of individuals
outside this prosecution, the Boies, Schiller & Flexner lawyers cooperating with the
Government, are aware of the Unsealing Materials. Moreover, these are the types of
pleadings that the Second Circuit has c zed as judicial documents with a
presumptive right of public access. See v. Maxwell, 929 F.3d 41, 47 (2d Cir.
2019). Ms. Maxwell, under paragraph 9 of the Protective Order in this case, notifies
EFTA00101987
August 9, 2020
Page 2
the Government that she objects to the confidential designation and requests that the
Government withdraw the designation.
The relevance of these documents to the unsealing protocol currently in process
before Judge Preska and the related appeal are readily apparent and I believe that the
government should, in the interest of justice, agree to these requests. If that is not the
case, I am happy to confer further about the issue as soon as possible. The Second
Circuit Court of Appeals established an expedited briefing schedule and Judge Preska
ordered that the parties in 15 Civ. 7433 meet regarding modification to the unsealing
protocol by August 10, 2020. Accordingly, we will need to raise this issue with Judge
Nathan this week.
Please let me know your position on the matter and, if you would like to discuss the
request further, your availability on August 10 or 11, 2020.
Very truly yours,
Jeffrey S. Pagliuca
EFTA00101988
ℹ️ Document Details
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03dae7b9f81a4d63bfce7cd829b340cbd7bce8a53d183a770d43aa4711ea9fbc
Bates Number
EFTA00101987
Dataset
DataSet-9
Document Type
document
Pages
2
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