EFTA00030276.pdf
75.4 KB
Extraction Summary
5
People
3
Organizations
1
Locations
2
Events
1
Relationships
3
Quotes
Document Information
Type:
Email thread
File Size:
75.4 KB
Summary
An email thread from July 2019 between an Assistant U.S. Attorney for the Southern District of New York and attorney Roberta Kaplan's team. The prosecutor reaches out to inform Kaplan, who represents a victim, of their client's rights under the Crime Victims' Rights Act to be heard at Jeffrey Epstein's upcoming bail hearing. Kaplan responds requesting a call, and the prosecutor provides availability via cell phone.
People (5)
| Name | Role | Context |
|---|---|---|
| Roberta Kaplan | Attorney |
Partner at Kaplan Hecker & Fink LLP, representing a victim/client in the Epstein case.
|
| Jenna Dabbs | Attorney |
Recipient of email, Kaplan Hecker & Fink LLP.
|
| Alexandra Elenowitz-Hess | Attorney |
Recipient of email, Kaplan Hecker & Fink LLP.
|
| Conlon | Legal Staff |
Recipient of email, Kaplan Hecker & Fink LLP (email aconlon@kaplanhecker.com).
|
| Redacted Sender | Assistant U.S. Attorney |
Prosecutor from Southern District of New York (SDNY) communicating with victims' counsel regarding bail hearing rights.
|
Organizations (3)
| Name | Type | Context |
|---|---|---|
| Kaplan Hecker & Fink LLP |
Law firm representing the victim.
|
|
| Southern District of New York |
U.S. Attorney's Office prosecuting the case.
|
|
| U.S. District Court |
Venue for the proceedings (implied).
|
Timeline (2 events)
2019-07-10
Email correspondence regarding victims' rights at bail hearing.
New York
Roberta Kaplan
Assistant U.S. Attorney
2019-07-12
Bail submission due date mentioned in email.
Southern District of New York
SDNY
Defense Counsel
Locations (1)
| Location | Context |
|---|---|
|
Location of Kaplan Hecker & Fink LLP and SDNY.
|
Relationships (1)
Roberta Kaplan
→
Professional/Adversarial (Defense/Victim Counsel vs Prosecutor)
→
Assistant U.S. Attorney
Email correspondence regarding legal proceedings and victim rights.
Key Quotes (3)
"pursuant to the Crime Victims’ Rights Act, specifically 18 U.S.C. 3771(a)(4), a crime victim has the right to be reasonably heard at certain public proceedings in the district court, including proceedings involving release."Source
EFTA00030276.pdf
Quote #1
"we wanted to be in touch consistent with our responsibilities and obligations—and your client’s rights—under that statute, to see whether your client would like to be heard in any fashion"Source
EFTA00030276.pdf
Quote #2
"representation that we can include in our bail submission due Friday"Source
EFTA00030276.pdf
Quote #3
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