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Document 1:20-cr-00330-PAE Document 135 Filed 05/04/21

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5/4/2021 Case 1:20-cr-00330-PAE Document 135 Filed 05/04/21 Page 2 of 3 Re: Memorandum endorsement in 20-cr-330, US v Maxwell Sophia Papapetru Tue 5/4/2021 11:54 AM To: Nathan NYSD Chambers Cc: John Wallace CAUTION - EXTERNAL: Good afternoon Your Honor, I write in regards to the letter filed by Christian Everdell on April 30, 2021. Based on prior discussions with defense counsel and the U.S. Attorney's, the MDC Brooklyn is only permitted to accept external hard drives which were loaded and certified by the U.S. Attorney's Office. However, after internal discussions, we are not opposed to accepting the external hard drive from defense counsel. It is our position that there is no need for an Order, as MDC will be working with Defense on acceptance of the hard drive. We will be in contact with defense counsel in coordinating acceptance of the delivery. Please let us know if the Court requires any additional information, which we will be happy to provide. Sincerely, Sophia Papapetru Staff Attorney U.S. Department of Justice Federal Bureau of Prisons Metropolitan Detention Center Brooklyn 80 29th Street Brooklyn, New York 11232 SENSITIVE/PRIVILEGED COMMUNICATION The information contained in this electronic message and any and all accompanying documents constitutes sensitive information. This information is the property of the U.S. Department of Justice. If you are not the intended recipient of this information, any disclosures, copying, distribution, or the taking of any action in reliance on this