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efta-efta00027753DOJ Data Set 8Correspondence

EFTA00027753

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DOJ Data Set 8
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EFTA Disclosure
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Case 1:20-cr-00330-AJN Document 350 Filed 10/15/21 Page 1 of 3 U.S. Department of Justice United States Attorney Southern District of New York BY ECF The Honorable Alison J. Nathan United States District Court Southern District of New York United States Courthouse 40 Foley Square New York, New York 10007 the Silvio J. Mono Building One Saint Andrew's Plaza New York. New York 10007 October 15, 2021 USDC SDNY DOCUMENT ELECTRONICALLY FILED DOC 0: DATE FILED: 1 On 5/21 Re: United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN) Dear Judge Nathan: The Government respectfully submits this letter in response to the Court's Order dated October 15, 2021 (Dkt. No. 348) ordering the Government to respond to the defendant's October 14, 2021 letter regarding delivery of the defendant's legal mail at the Metropolitan Detention Center ("MDC") (Dkt. No. 346). The Government conferred with legal counsel at the MDC in response to the Court's Order and was informed of the following: As a general matter, legal mail from a defendant's counsel is delivered to the defendant within one business day of receipt at the MDC. Legal mail sent to a defendant from the Government via FedEx goes to the MDC's warehouse. Staff at the MDC's warehouse process and log the mail in a tracking system and then contact the relevant department—in this case, the legal department—about the mail. The legal department has to then go to the warehouse to retrieve the mail, log the mail, assign the mail an internal number for tracking purposes, and fill out a form authorizing the delivery of the mail to the inmate before delivering the mail to the inmate. Legal counsel at the MDC has explained to the Government that these are the MDC's EFTA00027753 Case 1:20-cr-00330-AJN Document 350 Filed 10/15/21 Page 2 of 3 Page 2 standard procedures for legal mail, and these protocols apply to each one of the approximately 1,700 inmates at the MDC. Legal counsel at the MDC has further explained that defense counsel's request that the MDC be ordered to provide the defendant with all legal mail within one day of receipt by the MDC would be extremely burdensome and is not practicable in light of the various responsibilities of the MDC's legal department, which is responsible for issues relating to the approximately 1,700 inmates at the MDC. The Government respectfully submits that there are no circumstances that merit special expedited delivery for this defendant, and that the delivery of the defendant's mail should not receive priority over the services the legal department's staff provides to other inmates. As noted in the defense's letter, the Government sent a hard drive containing Court-ordered disclosures to the defendant via FedEx on October 11, 2021. The hard drive was received by the MDC on October 12, 2021. Legal counsel at the MDC informed the Government that there was an institutional emergency impacting the safety and security of the MDC on October 13, 2021, such that no inmate at the MDC received any legal mail from the warehouse that day. On the morning of October 14, 2021, legal counsel at the MDC personally delivered the hard drive to the defendant. The Government has made best efforts to obtain accurate information and respond to the Court's Order within a short time frame. Should the Court have any questions or require any additional details regarding this topic, the Government will confer with legal counsel at the MDC and provide additional information. EFTA00027754 Case 1:20-cr-00330-AJN Document 350 Filed 10/15/21 Page 3 of 3 Page 3 Respectfully submitted, DAMIAN WILLIAMS United States Attorney By: c/ Assistant United States Attorneys Southern District of New York Cc: Defense Counsel (By ECF) Based on the information in this letter, the Court will not enter the Defendant's requested order. See Dkt. No. 346. However, it is the Court's firm expectation that a defendant in a pre-trial posture like Ms. Maxwell will in most circumstances receive legal mail within approximately 1 business day. Going forward, if another delay occurs, the Defendant may renew the request for a specific order requiring delivery within that time frame. With this understanding and in light of the unusually early pre-trial disclosure schedule set by the Court, the Court remains confident that Ms. Maxwell and her attorneys are fully able to prepare for trial. This resolves Dkt. No. 346. SO ORDERED. Oi 10/15/21 EFTA00027755

Related Documents (6)

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Court Filing: 650

The United States Attorney's office requests that the court exclude time under the Speedy Trial Act from April 1, 2022, to April 22, 2022, due to pending post-trial motions in the case against Ghislaine Maxwell. The defense counsel consents to this request. The court had previously excluded time through April 1, 2022, to allow the parties to research and brief post-trial motions.

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DOJ Data Set 8CorrespondenceUnknown

EFTA00010037

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Court UnsealedDepositionApr 17, 2024

P007796-031024-001-463

P007796-031024-000001 P007796-031024-000002 P007796-031024-000003 P007796-031024-000004 P007796-031024-000005 Serial Number Date Obs Time Citation Operator Last Name Operator Agency Code BrAC 1 IR BrAC 1 EC ES IR ES EC BrAC 2 IR BrAC2 EC Sts ARKC-0062 9/24/2018 20:07:00 1826701771 FETTER, ARTHUR R 0270400 0.268 0.274 0.085 0.089 0.273 0.273 0 ARKC-0062 10/16/2018 00:46:00 1828900025 FETTER, ARTHUR R 0270400 0.117 0.12 0.086 0.089 0.118 0.119 0 ARKC-0060 10/18/2018 17:38:00 1829101593

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