📄 Extracted Text (170 words)
From:
To:
Subject: RE: Maxwell Meeting
Date: Wed, 07 Apr 2021 19:07:11 +0000
Attachments:Memail.pdf; Ex._M.pdf; complaint.pdf
And attached are the three documents that I personally would offer as much if not all of our case on this point: (1)
motion to intervene in the CVRA case (which includes the allegations against Maxwell and others); (2) Maxwell's
statement, issued through her PR person, denying those allegations and calling them obvious lies; and (3)
complaint in the defamation suit.
I think we redact components of documents 1 and 3, particularly to the extent the include erroneous legal
conclusions that the NPA covered Maxwell.
From:
Sent: Wednesday, April 7, 2021 3:03 PM
To: a'
Cc:
Subject: Maxwell Meeting
Hi=,
The team and I are available for a meeting on 4/14 at 4:30, anytime 4/21, or afternoon of 4/23. will join if he's not on
paternity leave by then! Do any of those times work for you?
Thanks,
Deputy Chief, Public Corruption Unit
U.S. Attorney's Office
Southern District of New York
Desk
Cell
EFTA00092752
ℹ️ Document Details
SHA-256
93e3c792fb3036b6845895d1a6b61d4b82dd547c5df7d3e3d89a744de1ce154d
Bates Number
EFTA00092752
Dataset
DataSet-9
Document Type
document
Pages
1
Comments 0