EFTA00024664.pdf

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Extraction Summary

6
People
2
Organizations
1
Locations
3
Events
2
Relationships
5
Quotes

Document Information

Type: Email thread / legal correspondence
File Size: 321 KB
Summary

This document is an email thread between the defense team for Ghislaine Maxwell (led by Bobbi Sternheim) and US Government prosecutors regarding the scheduling of the trial start date in 'US v. Maxwell'. The defense advocates strongly for a November 8, 2021 start date, citing Maxwell's health in detention and holiday conflicts, while the Government proposes November 29, 2021, citing witness availability. The defense suggests that consenting to bail would resolve the scheduling flexibility issues.

People (6)

Name Role Context
Bobbi C. Sternheim Defense Attorney
Lead correspondent for the defense, negotiating trial dates.
Christian Everdell Defense Attorney
Cc'd on correspondence.
Laura Menninger Defense Attorney
Cc'd on correspondence; noted as having a civil trial conflict on Dec 13.
Jeff Pagliuca Defense Attorney
Cc'd on correspondence.
Ghislaine Maxwell Defendant
Subject of the trial; defense mentions her extended detention and health.
[REDACTED] Government Prosecutor
Correspondent representing the US Government (US Attorney's Office).

Organizations (2)

Timeline (3 events)

2021-11-08
Proposed Trial Start Date (Defense Preference)
US District Court
Ghislaine Maxwell Defense Counsel Government
2021-11-29
Proposed Trial Start Date (Government Preference)
US District Court
Ghislaine Maxwell Defense Counsel Government
2021-12-13
Civil Trial Conflict
Unknown

Locations (1)

Location Context
Location of Bobbi Sternheim's office (noted as closed due to Covid-19).

Relationships (2)

Bobbi C. Sternheim Attorney-Client Ghislaine Maxwell
Sternheim advocates for Maxwell's release and trial date on her behalf.
Laura Menninger Co-Counsel Bobbi C. Sternheim
Cc'd on emails; Sternheim mentions Menninger's scheduling conflicts.

Key Quotes (5)

"We are not able to agree to a November 8th trial date, given the need for continuity of counsel and the potential unavailability of a trial witness"
Source
EFTA00024664.pdf
Quote #1
"Starting the trial on 11/29 - besides disrupting Thanksgiving holiday plans - will push the trial to the end of the year... interfering with Christmas and New Year's plans"
Source
EFTA00024664.pdf
Quote #2
"This will cast the defense and defense case in a negative light as jurors impatiently wait for the trial to conclude before Christmas, which it won't."
Source
EFTA00024664.pdf
Quote #3
"These scheduling conflicts can be easily eliminated by consenting to bail for Ms. Maxwell."
Source
EFTA00024664.pdf
Quote #4
"In light of Ms. Maxwell's extended period of detention and its deleterious effect on her health and well-being, we cannot agree to a date far beyond 11/8."
Source
EFTA00024664.pdf
Quote #5

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