EFTA00019869.pdf

31.8 KB

Extraction Summary

3
People
1
Organizations
2
Locations
4
Events
2
Relationships
3
Quotes

Document Information

Type: Email
File Size: 31.8 KB
Summary

This document is an email dated July 13, 2021, from an Assistant United States Attorney (SDNY) to a recipient named Reynolds and others. The email coordinates a meeting for the following day to prepare a witness for an upcoming trial scheduled to begin on November 29, 2021 (likely the Ghislaine Maxwell trial). The sender attaches a subpoena for the witness and outlines a plan for a refresher VTC and travel arrangements in November.

People (3)

Name Role Context
Reynolds Recipient
Listed in the 'To' field of the email.
[Redacted] Sender
Assistant United States Attorney, Southern District of New York.
[Redacted] Witness
Person being subpoenaed to testify at trial starting Nov 29, 2021; expected to testify in early Dec 2021.

Organizations (1)

Name Type Context
Southern District of New York (SDNY)
Sender's organization, US Attorney's Office.

Timeline (4 events)

2021-07-14
Meeting/Prep Session
Recipient's office
Assistant United States Attorney Reynolds Witness
2021-11-01
Planned VTC (Video Teleconference) for refresher prep
Virtual
Assistant United States Attorney Witness
2021-11-29
Trial Start Date
Southern District of New York (implied)
2021-12-01
Estimated Testimony Window
Trial
Witness

Locations (2)

Location Context
Address of the Assistant United States Attorney.
Location of the meeting scheduled for July 14, 2021.

Relationships (2)

Assistant United States Attorney Professional/Legal Reynolds
Email correspondence arranging meetings and legal subpoenas.
Assistant United States Attorney Prosecutor/Witness Witness (Redacted)
Sender is subpoenaing the individual to testify at a trial.

Key Quotes (3)

"I'm attaching a trial subpoena requiring [Redacted] to testify at our trial, which is scheduled to begin on November 29, 2021."
Source
EFTA00019869.pdf
Quote #1
"I expect we will call [Redacted] to testify sometime in early December 2021 during that trial."
Source
EFTA00019869.pdf
Quote #2
"I'll plan to reach back out in early November to arrange for a VTC on which we can conduct a refresher prep session and to arrange for [Redacted] travel and hotel for trial."
Source
EFTA00019869.pdf
Quote #3

Full Extracted Text

Complete text extracted from the document (1,011 characters)

From: [Redacted]
To: [Redacted] Reynolds
[Redacted]
Subject: [Redacted] - meeting tomorrow
Date: Tue, 13 Jul 2021 19:46:59 +0000
Attachments: 2021.07.13_Court_Subpoena_[Redacted].pdf
[Redacted],
Looking forward to meeting with you and [Redacted] at your office tomorrow at 9:30am. As we’ve previously discussed, I’m attaching a trial subpoena requiring [Redacted] to testify at our trial, which is scheduled to begin on November 29, 2021. I expect we will call [Redacted] to testify sometime in early December 2021 during that trial.
After our prep tomorrow, I do not think we will need to meet with [Redacted] again until we get closer to trial. I’ll plan to reach back out in early November to arrange for a VTC on which we can conduct a refresher prep session and to arrange for [Redacted] travel and hotel for trial.
Thanks and see you tomorrow.
Best,
[Redacted]
[Redacted]
Assistant United States Attorney
Southern District of New York
1 St. Andrew's Plaza
New York, NY 10007
[Redacted]
EFTA00019869

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