epstein-docs.github.io/results/IMAGES002/DOJ-OGR-00005140.json
2025-10-06 18:37:37 +11:00

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{
"document_metadata": {
"page_number": "7",
"document_number": "336-3",
"date": "09/07/21",
"document_type": "court document",
"has_handwriting": false,
"has_stamps": false
},
"full_text": "Case 1:20-cr-00330-PAE Document 336-3 Filed 09/07/21 Page 7 of 22\nd. . 3. Communications between You and between 2015 and the date of this subpoena about or referencing Ghislaine Maxwell, Jeffrey Epstein, or any meeting with the United States Attorney. 4. Any Contingent Fee Agreement or Engagement Agreement between You and any of the following individuals: a. Annie Farmer; b. Maria Farmer; c. ; d. . 5. Any Communications between You and any member of the media or press about or referencing the following topics: a. Ghislaine Maxwell, including all of the \"notes\" that You shared with Julie Brown, or b. any meetings with the U.S. Attorney's Office, including statements to any affiliate of the New York Daily News concerning your meeting(s) or communications with Amanda Kramer; 6. All notes, reports, records or summaries reflecting any meetings or communications You had with , Annie Farmer, or Maria Farmer (or their counsel). 7. All notes, reports, records or summaries reflecting any meetings or communications You had with or Virginia Giuffre (or their counsel) when You were not counsel for such individual. 8. All photographs, diaries, journals, or other documentary evidence in Your possession obtained from any person who has made accusations against Ghislaine Maxwell, including any photographs or diaries of or Virginia Giuffre. Such documents should be produced in their native format for inspection and copying. 9. The Maria Farmer Physical Evidence for inspection and copying. 10. Any \"EVCP Material.\" DOJ-OGR-00005140",
"text_blocks": [
{
"type": "printed",
"content": "Case 1:20-cr-00330-PAE Document 336-3 Filed 09/07/21 Page 7 of 22",
"position": "header"
},
{
"type": "printed",
"content": "d. . 3. Communications between You and between 2015 and the date of this subpoena about or referencing Ghislaine Maxwell, Jeffrey Epstein, or any meeting with the United States Attorney. 4. Any Contingent Fee Agreement or Engagement Agreement between You and any of the following individuals: a. Annie Farmer; b. Maria Farmer; c. ; d. . 5. Any Communications between You and any member of the media or press about or referencing the following topics: a. Ghislaine Maxwell, including all of the \"notes\" that You shared with Julie Brown, or b. any meetings with the U.S. Attorney's Office, including statements to any affiliate of the New York Daily News concerning your meeting(s) or communications with Amanda Kramer; 6. All notes, reports, records or summaries reflecting any meetings or communications You had with , Annie Farmer, or Maria Farmer (or their counsel). 7. All notes, reports, records or summaries reflecting any meetings or communications You had with or Virginia Giuffre (or their counsel) when You were not counsel for such individual. 8. All photographs, diaries, journals, or other documentary evidence in Your possession obtained from any person who has made accusations against Ghislaine Maxwell, including any photographs or diaries of or Virginia Giuffre. Such documents should be produced in their native format for inspection and copying. 9. The Maria Farmer Physical Evidence for inspection and copying. 10. Any \"EVCP Material.\"",
"position": "main content"
},
{
"type": "printed",
"content": "DOJ-OGR-00005140",
"position": "footer"
}
],
"entities": {
"people": [
"Ghislaine Maxwell",
"Jeffrey Epstein",
"Annie Farmer",
"Maria Farmer",
"Julie Brown",
"Amanda Kramer",
"Virginia Giuffre"
],
"organizations": [
"United States Attorney",
"U.S. Attorney's Office",
"New York Daily News"
],
"locations": [],
"dates": [
"2015",
"09/07/21"
],
"reference_numbers": [
"1:20-cr-00330-PAE",
"336-3",
"DOJ-OGR-00005140"
]
},
"additional_notes": "The document appears to be a court filing with redactions. The redactions are likely due to sensitive information being withheld."
}