From: "EEE (USANYS) [Contractor]" <_—t To: " "J >, RE (UsAnys) [Contractor]" < Ce:" (USANYS)" Subject: RE: US v. Maxwell - discovery production Date: Thu, 12 Aug 2021 19:45:29 +0000 Attachments: 2021.08.12. MDC _- Maxwell MAIN.pdf; 2021.08.12. MDC_- Maxwell_ PASSWORD.pdf The drive is ready to be sent to MDC. The cover letters are attached; if they look good to go, we can leave the drive for FedEx pickup. Thanks so much! From: TS <i - Sent: Thursday, August 12, 2021 2:26 PM To: EE (USANYS) [Contractor] <>; EN (USANYS) [Contractor] i‘ _ a eg ee eS < Subject: RE: US v. Maxwell - discovery production Great, thank you so much! From: SN (USANYS) [Contractor] [7 Sent: Thursday, August 12, 2021 2:19 PM 1: <>; EEE (USANYS) [Contractor] i SS; TS (SANS) <i; I Subject: RE: US v. Maxwell - discovery production We'll work on loading the files to their drive this afternoon; it shouldn’t take long. If helpful, below are our explanations for how to open certain file types or explanations for why certain file types will not open or play audio: + 3501.007 xy © 3501.007-007: This file is J .txt file. It can be opened with any text editor application. e 3501.007-008: This file is an .mp4 file that plays audio. It opens and is audible. © 3501.007-009: This file is J ison file. It can be read like J .txt file and opened with any text editor application. + 3501.075 —- e 3501.075-013: This file is Side B from an original tape recording ji : opens but does not contain content. « 3501.091 e 3501.091-007: This file is Side B from an original tape recording of a: opens but does not contain content. + 3501.149 e 3501.149-043: This folder contains two .BUP files, two .IFO files, and 4 .VOB files. It contains video files and related files. Regarding 3501.149-043, J and | are not sure of the source (i.e. what Florida entity produced it and when) of the video files. Given that, we were also not sure if deleting the accessory files that don’t contain any viewable/listenable info would affect the rest of the video, so we produced the entire thing under one 3500 number. EFTA00098331

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We'll let you know when the drive is loaded and ready to be sent to MDC via FedEx. Thanks! From: as ) <n > Sent: Thursday, August 12, 2021 1:24 PM To: EE (USANYS) (Contractor) <>; GE (USAN Ys) [Contractor] a CS SS (USA S) <a; ) - Subject: FW: US v. Maxwell - discovery production HE, you mind handling this, please? From: Christian Everdel| <q > Sent: Thursday, August 12, 2021 1:23 PM 1 a M2 S. Cohen i Menninger’ <>; Jeff Pagliuca' >; ‘Bobbi Sternheim' a Cc: TS ) <n >; es (SANYS) <i ; <> RE (USANYS) (Contractor) a; a <> RE (SANYS) (Contractor) <a Subject: RE: US v. Maxwell - discovery production —_ - Below are the files that our client is having trouble opening or are inaudible. They are all part of the non-testifying 3500 materials. Please load replacement copies of these onto the drive. 1. 3501.007-007 to 009 2. 3501.075-013 3. 3501.091-007 4. 3501.149-043 Thanks, Chris rom: a <i Sent: Monday, August 9, 2021 8:02 PM To: Christian Everdell <q >; Vark S. Cohen <>; GE VMenninger' ED: Pochos SD 20 Storch Ce: TS ) <>; es (SANS) <i -; <M (USANYS) (Contractor) <i; a <>; (USANYS) (Contractor) <> Subject: RE: US v. Maxwell - discovery production Got it, thanks very much. Once we hear from you what materials Ms. Maxwell needs on this drive, we will get it loaded. From: Christian Everdel| qq > Sent: Monday, August 9, 2021 4:39 PM 1 <>; Merk S. Cohen iE; Menninger iE; Jeff Pacliuca' iT ; ‘Bobbi Sternheim' EFTA00098332

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a Cc: A ) <r e; eS (SAN YS) <i; a) < | RE (USANYS) (Contractor) >; ee < | (SANS) [Contractor] <a Subject: RE: US v. Maxwell - discovery production mz - The drive is ID CGO001 and the PIN is i. Thanks. From: aS) (002 to TS Sent: Monday, August 09, 2021 1:32 PM To: Christian Everdell; Mark S. Cohen; | Menninger’; ‘Jeff Pagliuca’; 'Bobbi Sternheim' Ce: (USANYS); ); MEE (USANys) [Contractor]; H (USANYS) [Contractor] Subject: RE: US v. Maxwell - discovery production Hi Chris, The drive has arrived at our office. Is there JJ particular password we should use for this drive? Thanks, From: TT Sent: Monday, August 9, 2021 12:52 PM To: Christian Everdell <>; Vark S. Cohen <>; GE Venninger' Ee P2cliucs' NE; ‘Bobbi Sternheim' <i Cc: A) <a; es (SANS) <i; ED < R (USANYS) (Contractor) <>; ST ee <> RS (SANS) (Contractor) <i Subject: RE: US v. Maxwell - discovery production Got it, thanks very much. From: Christian Everdel| <q > Sent: Monday, August 9, 2021 12:49 PM 10: es) <>; Vark S. Cohen <a ; Menninger <>; Jeff Pagliuca' >; ‘Bobbi Sternheim' a aT - 2 (ue 27 <>; RE (USANYS) (Contractor) <a ; eS | RE (SANS) (Contractor) Subject: RE: US v. Maxwell - discovery production It was addressed to From: ) (nail o a Sent: Monday, August 09, 2021 12:47 PM To: Christian Everdell; Mark S. Cohen; ' Cc: i ; Menninger’; ‘Jeff Pagliuca’; ‘Bobbi Sternheim’ (USANYS); ); BE (USANYS) [Contractor]; EFTA00098333

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|; (SANS) [Contractor] Subject: RE: US v. Maxwell - discovery production Thanks very much. Was the drive addressed to me or someone else in the office? Once we track it down, we'll be happy to load it with whatever materials you request from the prior productions. Best, From: Christian Everdel| <q > Sent: Monday, August 9, 2021 12:43 PM ee Menninger’ <>; Jeff Pagliuca' >; ‘Bobbi Sternheim' > a1 cr 2 Cw. 9 | a) <>; RE (USANYS) [Contractor] <a; ee <; R (SANS) (Contractor) Subject: RE: US v. Maxwell - discovery production Thanks, J. We have also just shipped another padlock drive to you, which may have already arrived. Ms. Maxwell has told us she is having some trouble opening some of the discovery she recently received. | am trying to get ff sense of which files she is having trouble with. Once | do, | will likely ask you to load the new padlock drive with some previously produced files. Thanks. From: iS) (0020: as Sent: Monday, August 09, 2021 8:42 AM To: Christian Everdell; Mark S. Cohen; Menninger’; ‘Jeff Pagliuca’; ‘Bobbi Sternheim’ Ce: ; (USANYS); ); MEE (UsANYS) [Contractor]; ; (USANYS) [Contractor] Subject: RE: US v. Maxwell - discovery production Chris, We received the drives and have finished loading them. As you requested, the padlock drive does not have McAfee encryption software and instead uses the encryption on the drive. That drive for counsel is available to be picked up at 1 St. Andrews now. The drive for Ms. Maxwell is being shipped out to the MDC via FedEx today as well. Do i) uw td ’ Assistant United States Attorney Southern District of New York Sent: Friday, August 6, 2021 12:18 PM EFTA00098334

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1 a: V2ck S.Cohe Menninger iS; Jeff Pacliuca’ TT; ‘Bobbi Sterheim’ a a fe 2 ee SS (54S) (Contactor) a; ee Subject: RE: US v. Maxwell - discovery production mz - | should have mentioned this. To open the padlock drive, please use the info below: ID: PIN: Thanks, Chris From: Christian Everdell Sent: Friday, August 06, 2021 11:15 AM "; Mark S. Cohen; || Menninger; Jeff Pagliuca; Bobbi Sternheim (SANS); A PII (sANys) (Contractor; Subject: RE: US v. Maxwell - discovery production We are sending [J 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: ES) (00. a Sent: Thursday, August 05, 2021 8:53 PM To: Christian Everdell; Mark S. Cohen; Menninger; Jeff Pagliuca; Bobbi Sternheim Cc: TS ; (SANS); A NI (SANS) [Contractor Subject: US v. Maxwell - discovery production Counsel, As | previewed in my email to J yesterday, we now have §f set of discovery materials ready to produce to you. Attached please find the cover letter accompanying this production. which to load the materials. If you would please address those drives to Paralegal Specialist EE at For this production, we will need two 500GB hard drives (one for counsel's copy and one for Ms. Maxwell’s = on that will enable us to get the drives loaded more quickly. Best, EFTA00098335

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Assistant United States Attorney Southern District of New York EFTA00098336