From: (USANYS)" [=.
To: (USANYS)"
Cc: (USANYS)"
Subject: RE: Question re AJN/Maxwell Suppression Hearing
Date: Wed, 16 Jun 2021 15:58:13 +0000
Attachments: 2019-02-28,_JE,_letter re_all_writs_act_application,_15_Civ_7433_(RWS).pdf; 2019-02-
28,JEJetter_re_all_writs_act_application,_17_Civ_0616_(SN).pdf
Pottinger was a lawyer at Boies Schiller who represented the plaintiff in the civil action.
The two letters we submitted in connection with our All Writs Application are attached.
From: (USANYS)
Sent: Wednesday, June 16, 2021 11:53 AM
To: (USANYS)
Subject: RE: Question re A1N/Maxwell Suppression Hearing
Another Q: who's Stan Pottinger?
From: (USANYS)
Sent: Wednesday, lune 16, 202110:53 AM
To: (USANYS)
Cc: (USANYS) <a>
Subject: RE: Question re A1N/Maxwell Suppression Hearing
From: (USANYS) <
Sent: Wednesday, June 16, 2021 10:40 AM
To: (USANYS)
Cc: (USANYS) <a>
Subject: RE: Question re A1N/Maxwell Suppression Hearing
Can I see our original application to Judge Sweet? And I assume there was no transcript before Judge S?
From: (USANYS)
Sent: Tuesday, June 15, 2021 5:45 PM
To: (USANYS) <
Cc: (USANYS) (USANYS) <
Subject: RE: Question re A1N/Maxwell Suppression Hearing
In the spirit of completeness, I'm also attaching their replies.
From: (USANYS)
Sent: Tuesday, June 15, 2021 5:20 PM
To: (USANYS)
Cc: (USANYS) (USANYS) <
Subject: Re: Question re A1N/Maxwell Suppression Hearing
EFTA00032757
Goodness!
Associate U.S. Attorney
Southern District of New York
On Jun 15, 2021, at 5:06 PM, (USANYS) < wrote:
She filed 12 (!!) separate MOLs as a way to evade the Court's page limits. Defense attorneys have started doing that
over the last few years.
From: (USANYS) <
Sent: Tuesday, June 15, 2021 4:25 PM
To: (USANYS)
Cc: (USANYS) ; (USANYS) <
Subject: RE: Question re AJN/Maxwell Suppression Hearing
Dumb Q: why does Maxwell have two memos of law?
From: (USANYS)
Sent: Tuesday, June 15, 2021 2:19 PM
To: (USANYS) <
Cc: (USANYS)< >; (USANYS) <
Subject: RE: Question re AJN/Maxwell Suppression Hearing
Per our discussion, I am attaching: (1) Maxwell's two briefs raising the suppression argument; (2) the transcript of the
McMahon proceedings and her opinion (Ex D, E, G); (3) our brief (see pp 59-115); and (4) the exhibits we attached to our
motion (Ex 4-7). Judge Nathan has said that she will resolve the suppression motions "at a later time" ahead of trial.
Thanks very much.
From: (USANYS) <
Sent: Tuesday, June 15, 2021 10:09 AM
To: (USANYS)
Cc: (USANYS) (USANYS) <
Subject: RE: Question re AJN/Maxwell Suppression Hearing
Sure, set a time other than 2:00. I'm in the office. Or Webex
From: (USANYS)
Sent: Tuesday, June 15, 2021 9:11AM
To: (USANYS) <
Cc: (USANYS) ; (USANYS) <
Subject: Question re AJN/Maxwell Suppression Hearing
Hi=,
EFTA00032758
We had an issue come up related to the upcoming suppression hearing (no date set yet, although we expect one)
related to Rossmiller/Kramer that we'd like your thoughts on. Let us know a convenient time to stop by over the next
few days, thanks.
Chief, Public Corruption Unit
U.S. Attorney's Office
Southern District of New York
EFTA00032759