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Public court records from Giuffre v. Maxwell (SDNY 1:15-cv-07433). No editorial judgment implied.

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Home/Documents/005 [DOJ-OGR-00001497—DOJ-OGR-00001498]
Document2 pages

005 [DOJ-OGR-00001497—DOJ-OGR-00001498]

Source: doj-jeffrey-epstein-first-production-2025

People Mentioned (6)
Ghislaine MaxwellNathanChristian EverdellAlison J. NathanMark CohenAlex Rossmiller / Alison Moe / Maurene Comey
Court Filing

005 [DOJ-OGR-00001497—DOJ-OGR-00001498]

2 pages
Page 1 of 2
Case 1:20-cr-00330-AJN Document5 Filed 07/05/20 Page 1 of 2 U.S. Department of Justice United States Attorney Southern District of New York The Silvio J. Mollo Building One Saint Andrew's Plaza New York, New York 10007 July 5, 2020 VIA 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: The Government respectfully submits this letter to request that the Court schedule an arraignment, initial appearance, and bail hearing in the above referenced case. On July 2, 2020, the defendant was arrested in Bradford, New Hampshire on the charges contained in the above- captioned Indictment and presented before a United States Magistrate Judge in the District of New Hampshire. At that appearance, the defendant waived her right to an identity hearing, consented to detention without prejudice to making a later application for bail, and consented to her transfer to the Southern District of New York. While the Government has no control over the timing of the defendant’s transport, the Government understands from the United States Marshals Service (“USMS”) that the USMS is acting expeditiously to transport the defendant into this District. In particular, the Government understands that the USMS expects that the defendant will arrive in this District early this week, well within the ten days contemplated by the Speedy Trial Act for transfer of a defendant from another district. See 18 U.S.C. § 3161(h)(1)(F). The Government has consulted with defense counsel, Christian Everdell, Esq., who has requested that the arraignment, initial appearance, and bail hearing in this matter take place on July 10, 2020. In advance of that proceeding, the parties jointly request that the defense be permitted to file a written bail application to the Court by 3:00 p.m. on July 9, 2020, and that the Government be permitted to file a written reply by 12:00 p.m. on July 10, 2020. If that schedule is acceptable to the Court, the parties respectfully request that the Court schedule an arraignment, initial appearance, and bail hearing in this matter for the afternoon of July 10, 2020. Additionally, the Government respectfully requests that the Court exclude time under the Speedy Trial Act between the defendant’s arrest on July 2, 2020 and the date of the arraignment, initial appearance, and bail hearing before Your Honor. In addition to part of this time being necessary to transport the defendant to this District, and thus subject to an automatic exclusion of up to ten days from Speedy Trial Act calculation, see 18 U.S.C. § 3161(h)(1)(F), the Government DOJ-OGR-00001497
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Text extracted via OCR — may contain errors. Refer to original documents for authoritative information.

People (6)

Ghislaine Maxwell1Nathan1Christian Everdell1Alison J. Nathan1Mark Cohen1Alex Rossmiller / Alison Moe / Maurene Comey1