UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK oe eee eee eee eee eee eee x UNITED STATES OF AMERICA, : AFFIDAVIT OF CERTIFICATION : PURSUANT TO LOCAL -V.- : CRIMINAL RULE 16.1 GHISLAINE MAXWELL, : 20 Cr. 330 (AJN) Defendant. : oe eee eee eee eee eee eee eee ee x STATE OF NEW YORK ) COUNTY OF NEW YORK : SS.: SOUTHERN DISTRICT OF NEW YORK) | to Title 28, United States Code, Section 1746, hereby affirms under penalty of perjury: 1. I am an Assistant United States Attorney in the Office of Audrey Strauss, Acting United States Attorney for the Southern District of New York. I am one of the Assistants who represents the Government in these proceedings. 2. I certify pursuant to Local Criminal Rule 16.1 that the Government has conferred in good faith with counsel to the defendant, Ghislaine Maxwell, regarding the Government’s request to extend the deadline for the production of documents extracted from electronic devices seized from Jeffrey Epstein (the “Production”) from November 9, 2020 to November 23, 2020, and that the parties have been unable to reach agreement. 3. In particular, on November 4, 2020, the Government asked defense counsel whether they would consent to a two-week extension to allow adequate time for an outside vendor to finish bates stamping and downloading the Production. On the morning of November 6, 2020, EFTA00078124

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defense counsel indicated that they would consent to the requested extension on four conditions. First, the defense asked that the motion deadlines in this case be extended by three weeks. Second, the defense asked that the Government provide the defendant with a laptop on which to review her discovery at the Metropolitan Detention Center. Third, the defense asked that the Government provide the defense with the names of the three Minor Victims listed in the Indictment by November 23, 2020. Fourth, the defense asked that the Government provide the defense with all Jencks Act material by November 23, 2020. In response, the Government agreed to the first two conditions, but did not agree to the second two conditions. Accordingly, the parties have been unable to reach agreement on the requested two-week extension of the deadline for the Production. 4. I hereby certify that the foregoing statements made by me are true. Dated: New York, New York November 6, 2020 Assistant United States Attorney Telephone} id EFTA00078125