DOJ-OGR-00007060.json 4.5 KB

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  2. "document_metadata": {
  3. "page_number": "9",
  4. "document_number": "465",
  5. "date": "11/15/21",
  6. "document_type": "court document",
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  10. "full_text": "Case 1:20-cr-00330-PAE Document 465 Filed 11/15/21 Page 9 of 127\nLB1TMAX1\n\n1 Moreover, any potential prejudice in this regard can\n2 be cured with an appropriate instruction explaining that the\n3 reason for the precaution is regard for the witnesses' and\n4 alleged victims' privacy, and that no inference can or should\n5 be drawn against the defendant because of these precautions\n6 My colleagues in this district and elsewhere have used\n7 such an instruction in similar cases. The defense's concern\n8 that this sort of instruction affords \"Court-sanctioned\n9 sympathy and credibility\" is unfounded. My instructions on the\n10 law will clearly and repeatedly instruct the jury on the\n11 presumption of innocence and their sole role in assessing\n12 witness credibility\n13 Nor am I persuaded by the defense's arguments that the\n14 fact that some alleged victims have previously publicly\n15 disclosed some of their allegations obviates the need to limit\n16 disclosure. As another district court has held, \"just because\n17 some victims' names are publicly available does not mean that\n18 the details of their experience are already available.\"\n19 Raniere, Docket No. 662 at 34, n. 17\n20 As I acknowledged in my protective order for this\n21 case, \"Not all accusations and public statements are equal.\n22 Deciding to participate in or contribute to a criminal\n23 investigation or prosecution is a far different matter than\n24 simply making a public statement relating to Ms. Maxwell or\n25 Jeffrey Epstein.\" Docket No. 37 in this case at 2.\n\nSOUTHERN DISTRICT REPORTERS, P.C.\n(212) 805-0300\nDOJ-OGR-00007060",
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  14. "content": "Case 1:20-cr-00330-PAE Document 465 Filed 11/15/21 Page 9 of 127",
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  19. "content": "LB1TMAX1",
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  24. "content": "1 Moreover, any potential prejudice in this regard can\n2 be cured with an appropriate instruction explaining that the\n3 reason for the precaution is regard for the witnesses' and\n4 alleged victims' privacy, and that no inference can or should\n5 be drawn against the defendant because of these precautions\n6 My colleagues in this district and elsewhere have used\n7 such an instruction in similar cases. The defense's concern\n8 that this sort of instruction affords \"Court-sanctioned\n9 sympathy and credibility\" is unfounded. My instructions on the\n10 law will clearly and repeatedly instruct the jury on the\n11 presumption of innocence and their sole role in assessing\n12 witness credibility\n13 Nor am I persuaded by the defense's arguments that the\n14 fact that some alleged victims have previously publicly\n15 disclosed some of their allegations obviates the need to limit\n16 disclosure. As another district court has held, \"just because\n17 some victims' names are publicly available does not mean that\n18 the details of their experience are already available.\"\n19 Raniere, Docket No. 662 at 34, n. 17\n20 As I acknowledged in my protective order for this\n21 case, \"Not all accusations and public statements are equal.\n22 Deciding to participate in or contribute to a criminal\n23 investigation or prosecution is a far different matter than\n24 simply making a public statement relating to Ms. Maxwell or\n25 Jeffrey Epstein.\" Docket No. 37 in this case at 2.",
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  29. "content": "SOUTHERN DISTRICT REPORTERS, P.C.\n(212) 805-0300",
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  34. "content": "DOJ-OGR-00007060",
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  37. ],
  38. "entities": {
  39. "people": [
  40. "Jeffrey Epstein",
  41. "Ms. Maxwell"
  42. ],
  43. "organizations": [
  44. "SOUTHERN DISTRICT REPORTERS, P.C."
  45. ],
  46. "locations": [],
  47. "dates": [
  48. "11/15/21"
  49. ],
  50. "reference_numbers": [
  51. "1:20-cr-00330-PAE",
  52. "Document 465",
  53. "Docket No. 662",
  54. "Docket No. 37",
  55. "DOJ-OGR-00007060"
  56. ]
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