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efta-efta00072826DOJ Data Set 9Other

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EFTA 00072826
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From: ' To: Christian Everdell (USANYS)" Cc: Jeff Pagliuca , Laura Menninger Subject: RE: Letter to the Court -- Today Date: Tue, 02 Nov 2021 22:13:03 +0000 Attachments: 2021-11-02 Letter re trial length.docx Inline-Images: image001.gif; image003.jpg Hey Chris, The Government's trial estimate also hasn't changed, so in light of your email, attached is a draft short letter saying as much. We're happy to file if this works for you. On the timing of the 412/Daubert hearing, we're preparing a draft letter which we'll send you shortly. Thanks, From: Christian Everdell sti > Sent: Tuesday, November 2, 2021 5:15 PM To: I < >; (USANYS) a›; Cc: Jeff Pagliuca < >; Laura Menninger <a; Subject: [EXTERNAL] Letter to the Court -- Today and As you know, we have to report to the Court about two things today: (1) whether there has been any change to the anticipated length of trial, and (2) when the parties are free for the Rule 412/Daubert hearing. As to the first, the defense do

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From: ' To: Christian Everdell (USANYS)" Cc: Jeff Pagliuca , Laura Menninger Subject: RE: Letter to the Court -- Today Date: Tue, 02 Nov 2021 22:13:03 +0000 Attachments: 2021-11-02 Letter re trial length.docx Inline-Images: image001.gif; image003.jpg Hey Chris, The Government's trial estimate also hasn't changed, so in light of your email, attached is a draft short letter saying as much. We're happy to file if this works for you. On the timing of the 412/Daubert hearing, we're preparing a draft letter which we'll send you shortly. Thanks, From: Christian Everdell sti > Sent: Tuesday, November 2, 2021 5:15 PM To: I < >; (USANYS) a›; Cc: Jeff Pagliuca < >; Laura Menninger <a; Subject: [EXTERNAL] Letter to the Court -- Today and As you know, we have to report to the Court about two things today: (1) whether there has been any change to the anticipated length of trial, and (2) when the parties are free for the Rule 412/Daubert hearing. As to the first, the defense does not think we should modify the current 6-week estimate. Although the Court's rulings on the motions in limine provided some helpful guidance, we can't say at this point that it meaningfully impacted our estimate of the length of trial (assuming the government still believes its case-in-chief will be 3-4 weeks). As to the second, we are free for the Rule 412/Daubert hearing on Nov. 9 or 10, but have a preference for Nov. 10. Please advise what the government's preference is. I believe the Court requested that we give our preference about the date of the Rule 412/Daubert hearing in a joint letter to the Court filed on ECF. I think we could include our positions on the trial length in that letter as well. Please let me know if you will draft the letter or if you would like the defense to draft it. Thanks, Chris EFTA00072826 Christian R Everdell COHEN & GRESSER LLP 800 Third Avenue New York NY 10022 www.cohengresser.com I view bio New York I Paris I Washington DC I London CONFIDENTIALITY NOTICE: The information contained in this e-mail may be confidential and/or ptivileged. This e-mail is intended to be reviewed initially by only the individual named above. If the reader of this e-mail is not the intended recipient or a representative of the intended recipient. you are hereby notified that any review. dissemination or copying of this e-mail or the information contained herein is prohibited. If you have received this e-mail in error. please immediately notify the sender by telephone and permanently delete this e-mail. Thank you. PRIVACY: A complete copy of our privacy policy can be viewed at https:/kiww.cohengressercom/privacy-policx EFTA00072827

Related Documents (6)

DOJ Data Set 9OtherUnknown

From: Christian Everdell

From: Christian Everdell Cc: "Mark S. Cohen" To: a" lYin>, " (USANYS)" (USANYS)" < Bobbi Stcrnheim Jeff Pagliuca , "'Laura Menninger"' Subject: Discovery Requests Date: Thu, 07 Jan 2021 21:13:14 +0000 Attachments: 2020.11.18_Maxwell_Discovery_Letter.pdf; 2006.12.06_FBI_Report.pdf; PROD011- Ciaps.xlsx Inline-Images: image005.jpg; image006.jpg We write to raise a number of discovery issues. Please let us know your position on these issues at your earliest convenience. 1. In our email correspondence on 11/18/2020, you agreed to create a new hard drive containing the entire discovery production. We provided you with a 4TB hard drive for that purpose on 11/20/2020. It is very important for Ms. Maxwell to have this drive as soon as possible to prepare her defense. Do you have an update on when the drive will be ready? 2. We also informed you that the CD produced on November 18, 2020 did not work on the prison computer at the MDC (as you know, the laptop provided to Ms. Max

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Ghislaine Maxwell's defense team filed a motion to dismiss Counts One through Four of the superseding indictment for lack of specificity. The motion was filed on January 25, 2021, in the United States District Court for the Southern District of New York. The defense team is represented by multiple attorneys from different law firms.

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DOJ Data Set 8CorrespondenceUnknown

EFTA00019897

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Ghislaine Maxwell's defense team files a motion to suppress evidence obtained from a government subpoena and to dismiss Counts Five and Six of the indictment, citing the Due Process Clause. The motion is supported by a memorandum of law and exhibits. The defense attorneys representing Maxwell are listed, along with their contact information.

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The document is a notice of electronic filing from the US District Court, Southern District of New York, indicating that the appeal record in USA v. Maxwell has been transmitted to the US Court of Appeals. It includes details about the case, the charges against Ghislaine Maxwell, and the attorneys involved. The case involves charges of conspiracy, enticement, and transportation of minors for illegal sex acts, among others.

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DOJ Data Set 9OtherUnknown

To: Laura Menninger

From: To: Laura Menninger " Cc: Jeff Pa 'lima •, "Christian R Everdell - Cohen & Gresser LLP , 'BOBBI C STERNHEIM' Subject: RE: US v. Maxwell - 20 Cr. 330 (AJN) - Discovery request Date: Tue, 30 Mar 2021 02:32:42 +0000 Attachments: 2021-03-29_Letter_Re_Discovery_Requests_Re_FOIA.pdf Inline-Images: image001.jpg Counsel, Please see the attached correspondence. Best, Assistant United States Attorney Southern District of New York One Saint Andrew's Plaza New York, NY 10007 From: Laura Menninger Sent: Monday, March 8, 2021 2:00 PM To: >; Cc: Jeff Pagliuca <1 >; Christian R Everdell - Cohen & Gresser LLP 'BOBBI C STERNHEIM' < Subject: US v. Maxwell - 20 Cr. 330 (AJN) - Discovery request Counsel: Please see attached correspondence of today's date. -Laura Laura A. Menninger Haddon, Morgan and Foreman, P.C. 150 East 10th Avenue Denver, Colorado 80203 EFTA00078954 www.hmflaw.com CONFIDENTIALITY NOTICE: This e-mail transmission, and any documents, files or previo

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