Cast: 2QOrOCRRBP AEN DocumentGZy AbetOReORs222 Pagpeye afat 2
Haddon, Morgan and Foreman, P.C
Jeffrey S. Pagliuca
My wrath 950 17th Street
Seton: . Suite 1000
Ae yas cee RONICALLY FILED Denver, Colorado 80202
MORGAN DATE iors ED: 3/3/22 PH 303.831.7364
Aan wa Ow ATE FILED:_3/3/22 FX 303.832.2628
www.hmilaw.com
[email protected]
The requested two-month adjournment to May is not justified
and is therefore DENIED. Two of the Defendant’s four
March 2, 2022 attorneys are able to be present and represent the Defendant at
the March 8 hearing. The Court will conduct the questioning at
VIA EMAIL the hearing, and the parties have already submitted briefing and
proposed questions. The public interest in a reasonably prompt
The Honorable Alison J. Nathan hearing outweighs the Defendant’s preference for an
United States District Court adjournment. SO ORDERED.
Southern District of New York
40 Foley Square
New York, NY 10007
Na Quali
3/3/22
Re: — United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN)
Maxwell Request for adjournment of hearing on Motion for New Trial
Dear Judge Nathan,
Ms. Maxwell respectfully requests that the Court continue the hearing scheduled to occur
on March 8, 2021. Unfortunately, Ms. Maxwell’s Colorado based counsel are unavailable.
Mr. Pagliuca will be in a criminal jury trial in Eagle County Colorado, People v. Robert
Fergus-Jean, 2020 CR 000304. Both sides announced ready on February 9, 2022. The trial will
begin on March 7 and will last approximately 10 days. Ms. Menninger is
DEE sd unavailable to travel to New Yor
es
On March 16, 2022, Ms. Sternheim starts a trial, of approximately six-week duration,
before the Honorable Jesse M. Furman in United States v. Marquez-Alejandro and Blondet, 16
Cr. 387 (JMF), the trial that was rescheduled to accommodate commencement of Ms. Maxwell’s
trial last November.
DOJ-OGR- 00009622