DOJ-OGR-00020357.jpg

929 KB

Extraction Summary

2
People
5
Organizations
1
Locations
6
Events
2
Relationships
2
Quotes

Document Information

Type: Legal document
File Size: 929 KB
Summary

This legal document, filed by the Law Offices of Bobbi C. Sternheim, details the allegedly abusive and overly restrictive detention conditions of Ms. Maxwell at the MDC. It claims she is subjected to constant, invasive surveillance, has been physically abused by guards, had property damaged, and had private information leaked to the press. The filing argues that these conditions are unwarranted and that her monitored communications with family demonstrate strong ties to the U.S., contradicting claims that she is a flight risk.

People (2)

Name Role Context
Ms. Maxwell Inmate/Defendant
The central figure of the document, whose conditions of detention are being described. She is alleged to be under ext...
BOBBI C. STERNHEIM Attorney
The attorney or law office submitting the document on behalf of Ms. Maxwell.

Organizations (5)

Name Type Context
LAW OFFICES OF BOBBI C. STERNHEIM Law firm
Appears in the header of the document, indicating the source of the legal filing.
MDC Detention facility
Metropolitan Detention Center where Ms. Maxwell is being held. The staff and guards of the MDC are accused of mistrea...
BOP Government agency
Mentioned as the Bureau of Prisons, whose procedures Ms. Maxwell attempted to follow by filing forms (BP-8s, BP-9s, B...
Court Judicial body
Invited to review phone call records to contradict the allegation that Ms. Maxwell is a flight risk.
government Government entity
Invited along with the Court to review phone call records.

Timeline (6 events)

MDC staff allegedly leaked to the press that Ms. Maxwell had been vaccinated.
MDC
Ms. Maxwell MDC staff
Ms. Maxwell completed two programs to qualify as a teacher aide and as a companion for suicide watch.
MDC
Guards allegedly harmed Ms. Maxwell by failing to provide adequate food, damaging her discovery hard drive, seizing legal documents, erasing her emails, and physically abusing her.
MDC
Ms. Maxwell MDC guards
Ms. Maxwell filed hundreds of administrative forms (BP-8s, BP-9s, and BP-10s) to advocate for herself, which were allegedly met with unhelpful responses or were lost/not filed.
MDC
Ms. Maxwell is under constant surveillance by at least three officers who watch and record her every move, including during private moments and legal consultations.
MDC
Ms. Maxwell MDC officers
MDC staff (psychological services) confronted Ms. Maxwell about the death of someone close to her, using information obtained from monitoring her phone calls.
MDC
Ms. Maxwell MDC staff

Locations (1)

Location Context
Mentioned as the location of Ms. Maxwell's family ties and her upcoming trial.

Relationships (2)

Ms. Maxwell Attorney-Client BOBBI C. STERNHEIM
The document is from the Law Offices of Bobbi C. Sternheim and advocates on behalf of Ms. Maxwell, detailing her conditions in detention.
Ms. Maxwell Adversarial (Inmate-Correctional Staff) MDC staff/guards
The document alleges that MDC staff and guards have leaked information about her, subjected her to extreme surveillance, and actively harmed her physically and by destroying her property.

Key Quotes (2)

"psych alerts"
Source
— Unknown (from a form) (Described as a baseless reason listed on a form concerning Ms. Maxwell.)
DOJ-OGR-00020357.jpg
Quote #1
"broad publicity"
Source
— Unknown (from a form) (Described as an accurate concern listed on a form, related to the risk of harm to Ms. Maxwell from other inmates.)
DOJ-OGR-00020357.jpg
Quote #2

Full Extracted Text

Complete text extracted from the document (2,834 characters)

Case 1:20-cr-00330-AJN Document 727-2 Filed 05/07/21 Page 2 of 3
LAW OFFICES OF BOBBI C. STERNHEIM
Form listed “psych alerts,” which are baseless, and “broad publicity,” which is accurate and concerns risk of harm to Ms. Maxwell via violence, extortion, and feed information to the press by other inmates. Ironically, it is the MDC staff who leaked to the press that Ms. Maxwell had been vaccinated.
Further, in her desire to interact and be helpful with other inmates, Ms. Maxwell completed two programs to assist other inmates- (1) to qualify as a teacher aide and offered to help update MDC learning curriculum and (2) to qualify as companion for suicide watch. Her de facto solitary confinement prevents her from utilizing that training to assist others.
Ms. Maxwell’s segregation and surveillance go way beyond the concerns posited by the MDC. It is not only other inmates who may harm Ms. Maxwell, but also the very guards tasked to her security detail who have already done harm to her: failing to provide adequate food or feed her at all in a 20-hour period, damaging her discovery hard drive, seizing her confidential legal documents, erasing her CorrLinks emails, physically abusing her. The list goes on and on. In an effort to advocate in compliance with BOP procedure, she has filed hundreds of BP-8s, BP-9s and BP-10s only to receive a response that is less than helpful, or in the absence of any response was told the form was either lost or never filed, Each and every day of her detention, she is guarded by at least three officers who watch and record, by writing and via a handheld camera, her every move: when she eats, showers, cleans her clothes, brushes her teeth, etc. As the guards feverishly write while observing Ms. Maxwell during videoconferencing with counsel, it appears that they go beyond their routine continual 15-minute reporting.
Further, her non-legal phone calls are monitored in real time. It was the staff who confronted Ms. Maxwell about the death of someone whom she was close to within hours on her learning about it, information derived from her phone calls. Ms. Maxwell does not discuss personal matters with MDC guards and did not provide information concerning the passing of someone quite dear to her. It was psychological services who confronted her regarding that information, which could only have been obtained through telephone surveillance. We invite the Court and government to review the calls which contradict the unsupported allegation that Ms. Maxwell is a flight risk and support her family strong ties. Her monitored communication with family and friends evidences her strong ties in the United States, her strong desire to return to her family in the United States, and her intention to establish her innocence at her trial in the United States.
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DOJ-OGR-00020357

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