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709 KB

Extraction Summary

4
People
3
Organizations
4
Locations
4
Events
3
Relationships
0
Quotes

Document Information

Type: Legal document
File Size: 709 KB
Summary

This is a letter dated November 25, 2020, from Ghislaine Maxwell's attorneys at Cohen & Gresser LLP to Judge Alison J. Nathan. The attorneys state their intention to file a renewed motion for bail for Ms. Maxwell and request an 'in camera' conference to discuss filing portions of the motion and supporting materials under seal. They argue for sealing to protect sensitive and private information concerning Ms. Maxwell and the third-party sureties (family and friends) supporting her bail application.

People (4)

Name Role Context
Mark S. Cohen Attorney
Attorney from Cohen & Gresser LLP representing Ghislaine Maxwell. Listed as a contact on the letterhead.
Christian R. Everdell Attorney
Attorney from Cohen & Gresser LLP representing Ghislaine Maxwell. Listed as a contact on the letterhead.
Alison J. Nathan Judge
The Honorable Judge of the United States District Court for the Southern District of New York, to whom the letter is ...
Ghislaine Maxwell Client/Defendant
The client on whose behalf the letter is written, seeking to file a renewed motion for release on bail.

Organizations (3)

Name Type Context
COHEN & GRESSER LLP Law firm
The law firm representing Ghislaine Maxwell and sending the letter.
United States District Court, Southern District of New York Government agency
The court where the case is being heard and to which the letter is addressed.
Pretrial Services Government agency
Mentioned as an entity that will receive a full set of materials related to the motion.

Timeline (4 events)

2020-11-25
Letter written by Ghislaine Maxwell's counsel to Judge Nathan.
2020-12-07
The document was electronically filed with the USDC SDNY.
United States District Court, Southern District of New York
Cohen & Gresser LLP
Plan to file a Renewed Motion for Release on Bail for Ghislaine Maxwell.
United States District Court, Southern District of New York
Ghislaine Maxwell Cohen & Gresser LLP
Request for an in camera conference to discuss filing procedures for the bail motion.
United States District Court, Southern District of New York
Alison J. Nathan Counsel for Ghislaine Maxwell Government counsel

Locations (4)

Location Context
Address of the law firm Cohen & Gresser LLP.
Address of the United States District Court, Southern District of New York.
The location of the United States District Court handling the case.
Location of the law firm and the court.

Relationships (3)

Ghislaine Maxwell Client-attorney Mark S. Cohen
The letter begins 'On behalf of our client, Ghislaine Maxwell...'
Ghislaine Maxwell Client-attorney Christian R. Everdell
The letter begins 'On behalf of our client, Ghislaine Maxwell...' and lists Christian R. Everdell as counsel.
Ghislaine Maxwell Personal Unnamed family members and close friends
The document states that 'family members and close friends' have agreed to serve as sureties and provide letters of support for her bail application.

Full Extracted Text

Complete text extracted from the document (2,619 characters)

Case 1:20-cr-00330-AJN Document 90 Filed 12/07/20 Page 1 of 4
C&G COHEN & GRESSER LLP
800 Third Avenue
New York, NY 10022
+1 212 957 7600 phone
www.cohengresser.com
Mark S. Cohen
Christian R. Everdell
+1 (212) 957-7600
mcohen@cohengresser.com
ceverdell@cohengresser.com
USDC SDNY
DOCUMENT
ELECTRONICALLY FILED
DOC #:
DATE FILED: 12/7/20
November 25, 2020
TO BE FILED UNDER SEAL
VIA EMAIL (SUBMITTED PURSUANT TO SECTION 2(B)
OF JUDGE NATHAN’S INDIVIDUAL PRACTICES IN CRIMINAL CASES)
The Honorable Alison J. Nathan
United States District Court
Southern District of New York
40 Foley Square
New York, New York 10007
Re: United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN)
Dear Judge Nathan:
On behalf of our client, Ghislaine Maxwell, we plan to file a Renewed Motion for Release on Bail (the “Motion”) and respectfully request an in camera conference, with all counsel present, to address the appropriate procedures for the filing and consideration of the Motion. For the reasons explained below, we intend to request, pursuant to Fed. R. Crim. P. 49.1(d), that the Court permit the filing of portions of the Motion and certain supporting materials under seal and require that any responsive materials be filed under seal. We believe an in camera conference would be the most efficient form to address these issues and other confidentiality concerns related to the Motion. We intend to provide a full set of materials to the government, Pretrial Services, and the Court when the Motion is filed. We are merely requesting that sensitive contents of the submission be accorded confidentiality protections similar to those that the government routinely requires in protective orders, including the one in this case.
In the four months since this Court denied Ms. Maxwell’s request for bail and granted the government’s motion for detention, Ms. Maxwell and her counsel have assembled substantial information that was not available to present at the initial hearing, as well as a comprehensive bail package co-signed by sureties who were unable to come forward at that time. Accordingly, Ms. Maxwell now seeks to renew her request for bail pursuant to 18 U.S.C. § 3142(f).
Ms. Maxwell’s renewed application will rely on sensitive and private information that, if made public, would be highly damaging to both Ms. Maxwell and third parties, including:
• Letters from Ms. Maxwell’s family members and close friends, who have agreed to serve as sureties to support Ms. Maxwell’s renewed bail application. The letters contain personal details that, if made public, would invite identification and
DOJ-OGR-00001862

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