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708 KB
Extraction Summary
4
People
2
Organizations
0
Locations
2
Events
1
Relationships
2
Quotes
Document Information
Type:
Legal document
File Size:
708 KB
Summary
This legal document, filed on March 11, 2022, argues that Juror No. 50 was not impartial and failed to honestly disclose his past as a victim of sexual abuse during jury selection. The filing contends that this omission prevented the Court and defense from properly assessing his ability to be fair, particularly regarding the testimony of Dr. Loftus and the defense of Ms. Maxwell. The document suggests that had the juror been truthful, further inquiry would have been made, and his claim of impartiality is not credible.
People (4)
| Name | Role | Context |
|---|---|---|
| Juror No. 50 | Juror |
The central figure of the document, accused of not honestly answering questions during voir dire, which allegedly pre...
|
| Dr. Loftus | Witness |
Mentioned as a witness whose testimony Juror No. 50 may have been unable to fairly evaluate due to his personal exper...
|
| Ms. Maxwell | Defendant |
The defendant in the case, whose defense Juror No. 50 was allegedly unable to impartially assess.
|
| Wainwright |
Mentioned in a legal citation (Wainwright, 469 U.S. at 424) related to a juror's duties.
|
Organizations (2)
| Name | Type | Context |
|---|---|---|
| Court | government agency |
The judicial body that was allegedly not alerted to issues with Juror No. 50's impartiality.
|
| government | government agency |
The prosecuting party whose burden of proof Juror No. 50 was tasked with evaluating.
|
Timeline (2 events)
2021-10-21
A transcript (TR) from this date is quoted regarding the process of questioning jurors (voir dire).
Court
Juror No. 50 allegedly failed to honestly answer material questions (specifically Question 48 and Question 25) about his past experiences as a victim of sexual abuse and a victim of a crime.
Court
Relationships (1)
The document argues that Juror No. 50 was not fair and impartial in his role as a juror for Ms. Maxwell's trial due to his undisclosed personal history, which allegedly prevented him from impartially assessing her defense.
Key Quotes (2)
"I will individually, one-on-one, question[] the jurors, and with the parties present, I feel confident that I can discern any clear dishonesty. This is not just going to be a summary voir dire; it will be probing. . . . If a juror’s going to lie and be dishonest, we will smoke that out."Source
— Unidentified (from TR 10/21/2021)
(Quoted from a court transcript to illustrate the intended thoroughness of the jury selection process.)
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Quote #1
"prevent[ed] or substantially impair[ed] the performance of his duties as a juror in accordance with his instructions and his oath."Source
— Juror No. 50
(A description of the effect of Juror No. 50's personal experiences, based on what he has said to the media, and cited in the context of a legal standard from Wainwright.)
DOJ-OGR-00009743.jpg
Quote #2
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