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DOJ Data Set 9
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EFTA 00066951
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From: "-(USANYS)" To: " SANYS Cc: (USANYS)" (USAN YS)" SANYS USANYS)" (USANYS) 1" Subject: RE: Disparities in Counsel and Discovery Access for Ghislaine Maxwell and Justin Rivera Date: Wed, 30 Dec 2020 21:23:34 +0000 la who is the Associate Warden at the MCC. There's a possibility that there will be a very short declaration from someone at the MDC to discuss the specific accommodations for Maxwell. I am working through that with From: (USANYS) Sent: Wednesday, December 30, 2020 2:45 PM To: (USANYS) (USANYS) (USANYS)<Ma; (USANYS) ) Cc: (USANYS) (USANYS) (USANYS) >; (USANYS) c En; (USANYS) 1 Subject: RE: Disparities in Counsel and Discovery Access for Ghislaine Maxwell and Justin Rivera Thanks. Who is signing the declaration for BOP? From: (USANYS) Sent: Wednesday, December 30, 2020 2:40 PM To: (USANYS) (USANYS) (USANYS) it ›; (USANYS) (USANYS) > (USANYS) Cc: (USANYS) (USANYS) (USANYS) ; (USANYS) <1. ›; (USANYS) 1 Subject: RE: Disparitie

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EFTA Disclosure
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From: "-(USANYS)" To: " SANYS Cc: (USANYS)" (USAN YS)" SANYS USANYS)" (USANYS) 1" Subject: RE: Disparities in Counsel and Discovery Access for Ghislaine Maxwell and Justin Rivera Date: Wed, 30 Dec 2020 21:23:34 +0000 la who is the Associate Warden at the MCC. There's a possibility that there will be a very short declaration from someone at the MDC to discuss the specific accommodations for Maxwell. I am working through that with From: (USANYS) Sent: Wednesday, December 30, 2020 2:45 PM To: (USANYS) (USANYS) (USANYS)<Ma; (USANYS) ) Cc: (USANYS) (USANYS) (USANYS) >; (USANYS) c En; (USANYS) 1 Subject: RE: Disparities in Counsel and Discovery Access for Ghislaine Maxwell and Justin Rivera Thanks. Who is signing the declaration for BOP? From: (USANYS) Sent: Wednesday, December 30, 2020 2:40 PM To: (USANYS) (USANYS) (USANYS) it ›; (USANYS) (USANYS) > (USANYS) Cc: (USANYS) (USANYS) (USANYS) ; (USANYS) <1. ›; (USANYS) 1 Subject: RE: Disparities in Counsel and Discovery Access for Ghislaine Maxwell and Justin Rivera : We are in the process of finalizing our response to the Maxwell/Rivera issue. We intend to explain that the discovery and counsel access accommodations that have been provided to Maxwell and Rivera, respectively, result from the specific circumstances of their cases, the specific requests of their lawyers, and their individual housing circumstances. On all of these factors, there are several important differences, including: - The Maxwell case has multiple times more discovery than the Rivera case. Hence, the need for such expanded discovery access is greater in the Maxwell case. EFTA00066951 - At the MDC, Maxwell has a unique housing situation, as she is in protective custody outside the general population. She therefore has sole access to a room to use a computer and phone for approximately 13 hours a day. Rivera, by contrast, is housed in the general population. - There are approximately 8o other inmates at the MCC in Rivera's unit that use the same VTC room for court appearances, probation interviews, and attorney meetings. By contrast, Maxwell shares access to the MDC VTC room with substantially fewer inmates. The MDC can therefore provide 15 hours of VTC meetings with her attorneys without compromising access for other MDC inmates. The same is not true for Rivera at the MCC. Going forward, even though Rivera's counsel have asked (and the Court has ordered) that Rivera receive three hours of laptop access each day, the MCC is now leaving the laptop with him all day long, and only takes it back at night to charge it. Therefore, the MCC is now providing the same amount of electronic discovery access to Rivera that Maxwell receives at the MDC. As for providing Rivera with up to 15 hours of VTC access, we will explain that doing so will compromise access for other inmates. If defense counsel expresses a need for additional time, the MCC will continue to find ways to accommodate those requests as best as they can. Please let me know if you have any questions or would like to discuss this further. Best, From: (USANYS) Sent: Monday, December 21, 2020 4:42 PM To: (USANYS) ; (USANYS) (USANYS) (USANYS) (e ; >; (USANYS) Cc: (USANYS) < :, (USANYS) > (USANYS) >, (USANYS) :, (USANYS) 1 itc M: Subject: RE: Disparities in Counsel and Discovery Access for Ghislaine Maxwell and Justin Rivera Thanks, Can you keep me posted on what we think will be the substance of the draft declaration when you know (that is, before we are submitting anything on 12/31)? And how much of this is attributable to differences between MCC and MDC, as well as specific differences in their housing situations? From: (USANYS) Sent: Monday, December 21, 2020 4:35 PM To: (USANYS) (USANYS) (USANYS) c ) (USANYS) d< > (USANYS) Cc: (USANYS) (USANYS) (USANYS) < M>.; (USANYS) (USANYS) 1 Subject: Disparities in Counsel and Discovery Access for Ghislaine Maxwell and Justin Rivera All: EFTA00066952 I wanted to bring to your attention a recent issue that's surfaced in United States v. Rivera et al., a sex trafficking case pending before Judge Engelmayer. As I'll describe in more detail below, Judge Engelmayer has asked us to submit a declaration from the BOP explaining why the discovery and counsel access accommodations provided to Ghislaine Maxwell (detained at the MDC outside the general population) cannot be extended to Justin Rivera (detained at the MCC in the general population). Justin Rivera was charged in February 2019 with sex trafficking conspiracy. He's been detained at the MCC since April 2019 on consent (he's also serving a state sentence). His trial, which was originally scheduled for April 2019, is expected to start on February 16, 2020. In July 2020, he had new counsel appointed, citing an irreconcilable breakdown with his former counsel. Since this fall, Judge Engelmayer has become increasingly frustrated with the MCC's treatment of Rivera. In particular, he's cited their failure to provide Rivera with adequate accommodations to review discovery and meet with his lawyers, who refuse to visit Rivera at the MCC for personal health concerns. We have two court orders in place to address these issues: (1) a laptop order, which requires the MCC to provide Rivera access to a laptop for three hours per day; and (2) a videoconference order, which requires the MCC to make available four hours of videoconferencing each week, in addition to any telephone or videoconference calls obtained through the Federal Defenders. At the moment, there's not a concern, at least from Judge Engelmayer, that the amount of time Rivera has for videoconferences and electronic discovery review is insufficient for trial preparation, although defense counsel has stated that they may request more time in the future. However, in a letter last night and during a court conference this morning (transcript attached), defense counsel cited the accommodations that the MDC has provided to Maxwell, describing them as "strikingly different and far superior" to those afforded to Rivera. Defense counsel further suggested that Rivera was being treated differently on account of his race, gender and class. Judge Engelmayer stated that the disparity in access "jumped off the page" and that the optics were "terrible," and asked us toe lain the rationale for the differing treatment. After conferring with and before our conference, we explained our understanding that the disparity comes down to the fact that Maxwell and Rivera have very different housing situations, with Maxwell's situation being more amenable to greater access to electronic discovery review and legal visits. Judge Engelmayer asked us to submit a declaration, from an appropriate person at the BOP, explaining in more detail why the accommodations provided to Maxwell cannot be extended to Rivera. Based on the recent bail opposition in the Maxwell case, I believe the differences in counsel/discovery access are as follows: Accommodation Maxwell Rivera Review of electronic discovery (NB: each defendant has laptop access) 13 hours per day/7 days per week (91 hours total) 3 hours per day/7 days per week (21 hours total) Counsel visits (by video) 3 hours per day/5 days per week (15 hours total) Four hours per week (plus an additional two hours scheduled through the Federal Defenders) (6 hours total) Weekend legal calls As needed Not available EFTA00066953 The declaration is due by December 31. Because Judge Engelmayer's request implicates at least two criminal cases, and potentially the ongoing civil litigation with the MCC, we wanted to make sure that you were all aware of this issue. We are also happ to set up a call to discuss this further. In the meantime, we are working with to identify the appropriate declarant and draft an explanation for the Court. Best, Bhaskaran Assistant United States Attorney United States Attorney's Office for the Southern District of New York One Saint Andrew's Plaza New York NY 10007 Tel: EFTA00066954

Related Documents (6)

DOJ Data Set 9OtherUnknown

From: '

From: ' (USANYS)" To: (USANYS)" Subject: FW: Disparities in Counsel and Discovery Access for Ghislaine Maxwell and Justin Rivera Date: Thu, 31 Dec 2020 19:03:11 +0000 Attachments: 2020.12.31_ Decl_re_Maxwell_(v.2).docx; 2020.12.31 on_Rivera_and_Maxwell_discovety_and_counsel_access_(v.3).docx; 2020.12.31 iecl_Re_Rivera_(v.2).docx I am sure you are swamped with pre-holiday craziness, so just wanted to flag that re: the below, our BOP contacts are eager to head out (and we have asked them to stay until this is filed in case there are any changes). So if there is any way to bump this up the list a bit it would help keep the peace. Thanksl From: (USANYS) Sent: Thursday, December 31, 2020 12:19 PM To: (USANYS) < :›; (USANYS) (USANYS) < (USANYS) < >; •c• ==.; Cc: (USANYS) ).; <1. ›;-(USANYS)1 < > Subject: RE: Disparities in Counsel and Discovery Access for Ghislaine Maxwell and Justin Rivera (USANYS) (USANYS) (USANYS) (USANYS) Hi Please see our propose

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DOJ Data Set 9OtherUnknown

From: '

From: ' r To: ' " •cl (USANYS)" Subject: FW: Disparities in Counsel and Discovery Access for Ghislaine Maxwell and Justin Rivera Date: Thu, 31 Dec 2020 00:38:23 +0000 r Attachments: 2020.12.31 tt S r on_Rivera_and_Maxwell_discovery_and_counsel_access_(v.2).docx; 2020.12.31 ecl re Rivera and_ Maxwell Jv.3).docx _ This all appears accurate to me and seems fine to file. Any issues from your perspective? From: (USANYS) Sent: Wednesday, December 30, 2020 5:29 PM To: (USANYS) <IM ; (USANYS) ) (USANYS) Cc: (USANYS) ; (USANYS) -(USANYS)1 (USANYS) (USANYS) Subject: FW: Disparities in Counsel and Discovery Access for Ghislaine Maxwell and Justin Rivera Hey everyone: Here's the latest draft of our letter and declaration on this issue. We are still confirming a few things, but they shouldn't impact the substance of the Maxwell discussion. There is also a chance that there's a separate declaration from the MDC; if there is, it should contain the same substance

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DOJ Data Set 9OtherUnknown

90A-NY-3151227 Serial 64

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DOJ Data Set 9OtherUnknown

UNITED STATES DISTRICT COURT

UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK x UNITED STATES OF AMERICA, v. GHISLAINE MAXWELL, Defendant. x 20 Cr. 330 (AJN) MEMORANDUM OF GHISLAINE MAXWELL IN SUPPORT OF HER RENEWED MOTION FOR BAIL Mark S. Cohen Christian R. Everdell COHEN & GRESSER LLP New York, NY 10022 Phone: Jeffrey S. Pagliuca Laura A. Menninger HADDON, MORGAN & FOREMAN P.C. Denver, CO 80203 Phone: Bobbi C. Stemheim Law Offices of Bobbi C. Stemheim New York, NY 10011 Phone: Attorneys for Ghislaine Maxwell EFTA00094289 TABLE OF CONTENTS Page PRELIMINARY STATEMENT 1 ARGUMENT 7 I. Reconsideration of the Court's Bail Decision is Appropriate Under 18 U.S.C. § 3142(O 7 II. Ms. Maxwell Should Be Granted Bail Under the Proposed Strict Bail Conditions 10 A. Ms. Maxwell Has Deep Family Ties to the United States and Numerous Sureties to Support Her Bond 10 1. Ms. Maxwell is Devoted to Her Spouse and Stepchildren and Would Never Destroy Her Family By Leaving th

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DOJ Data Set 9OtherUnknown

No. 21-770 & 21-58

No. 21-770 & 21-58 In the ZiRita) *tates Court of Apprat5 for the *mufti Circuit UNITED STATES OF AMERICA, Appellee, v. GHISLAINE MAXWELL, Appellant. On Appeal from the United States District Court for the Southern District of New York, 20-CR-330 (AJN) Appellant Ghislaine Maxwell's Appendix to the Renewed Motion for Pretrial Release Leah S. Saffian LAW OFFICES OF LEAH SAFFIAN 15546 Meadowgate Road Encino, California 91436-3429 Tel: (858)488-2765 David Oscar Markus *Counsel of Record MARKUS/MOSS PLLC 40 N.W. Third Street, PH 1 Miami. Florida 33128 Tel: mar aw.com EFTA00089465 Appendix* App. 86 Doc. 282 Doc. 256 Second Circuit Court Order April 27, 2021 Lower Court Order May 14, 2021 Ghislaine Maxwell letter regarding conditions at Metropolitan Detention Center April 29, 2021 .0 Doc. 270 Government's Response to Ghislaine Maxwell's conditions at Metropolitan Detention Center May 5, 2021 Doc. 272 Ghislaine Maxwell's Reply regarding conditions at

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DOJ Data Set 9OtherUnknown

Case 1:20-cr-00330-AJN Document 78 Filed 12/02/20 Page 1 of 2

Case 1:20-cr-00330-AJN Document 78 Filed 12/02/20 Page 1 of 2 U.S. Department of Justice United States Attorney Southern District of New York The Silvio J. Mono Building One Saint Andrew's Plaza New York. New York 10007 December 1, 2020 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 Re: United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN) Dear Judge Nathan: USDC SONY DOCUMENT ELECTRONICALLY FILED DOC 0: DATE FILED: 1212120 The parties jointly submit this letter in response to the Court's November 24, 2020 order directing the parties to meet and confer regarding the defendant's request that the warden of the Metropolitan Detention Center ("MDC") report directly to the Court and counsel on the defendant's conditions of detention. (Dkt. No. 76). Over the past week, the Government has spoken with MDC legal counsel regarding the defendant's conditions

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