DOJ-OGR-00002925.jpg
651 KB
Extraction Summary
5
People
3
Organizations
3
Locations
2
Events
2
Relationships
3
Quotes
Document Information
Type:
Legal correspondence / court filing
File Size:
651 KB
Summary
This document is a legal letter dated April 15, 2021, from defense attorney Bobbi C. Sternheim to Judge Alison J. Nathan regarding the case United States v. Ghislaine Maxwell. Sternheim requests a continuance of the July 12th trial, arguing that a new superseding indictment significantly expands the scope of the case from a four-year period in the 1990s to an eleven-year period (1994-2004). The letter claims the government is responsible for the delay by filing late charges based on a witness known to them since the Florida investigation.
People (5)
| Name | Role | Context |
|---|---|---|
| Bobbi C. Sternheim | Defense Attorney |
Author of the letter representing Ghislaine Maxwell.
|
| Alison J. Nathan | United States District Judge |
Recipient of the letter, presiding over the case.
|
| Ghislaine Maxwell | Defendant |
Subject of the criminal case (United States v. Ghislaine Maxwell).
|
| Unnamed Witness | Witness |
A witness known to the government since the Florida investigation, basis for the superseding indictment.
|
| Three Accusers | Accusers |
Referenced as the original accusers from the 1990s in the original indictment.
|
Organizations (3)
| Name | Type | Context |
|---|---|---|
| Law Offices of Bobbi C. Sternheim |
Legal firm representing the defendant.
|
|
| United States District Court |
Southern District of New York (implied by address/judge).
|
|
| Department of Justice (DOJ) |
Referenced in footer stamp DOJ-OGR.
|
Timeline (2 events)
1994-2004
2021-07-12
Scheduled trial date mentioned in the letter.
New York, NY
Locations (3)
| Location | Context |
|---|---|
|
Location related to a witness known to the government.
|
Relationships (2)
Sternheim is writing the defense letter on behalf of Maxwell.
Nathan is the judge presiding over Maxwell's case.
Key Quotes (3)
"The recently filed superseding indictment directly contravenes that agreement and adds two new charges which vastly expand the relevant time period from a four-year period in the 1990s to an eleven-year period stretching from 1994 to 2004."Source
DOJ-OGR-00002925.jpg
Quote #1
"We do not want to postpone the trial but have no choice but to ask for a continuance."Source
DOJ-OGR-00002925.jpg
Quote #2
"The government bears responsibility for this need, having filed a late-breaking superseding indictment based on a witness who has been known to the government since the Florida"Source
DOJ-OGR-00002925.jpg
Quote #3
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