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Extraction Summary

5
People
5
Organizations
0
Locations
1
Events
2
Relationships
4
Quotes

Document Information

Type: Court transcript
File Size: 619 KB
Summary

This document is page 44 of a court transcript from Case 1:20-cr-00330-AJN (United States v. Ghislaine Maxwell), filed on December 10, 2020. The defense attorney argues to the judge that the defendant, her associates, and the legal team at Haddon Morgan have received death threats and physical threats. The attorney contends these safety concerns are preventing individuals from coming forward to support a bail package and criticizes the government for dismissing the severity of these threats.

People (5)

Name Role Context
Speaker (Defense Attorney) Attorney
Arguing on behalf of the defendant regarding safety concerns and bail.
Defendant (The Client) Defendant
Subject of Case 1:20-cr-00330-AJN (Ghislaine Maxwell); described as receiving physical and death threats.
AJN (Alison J. Nathan) Judge
Referred to as 'Your Honor' and referenced in the case number suffix.
Colleagues at Haddon Morgan Legal Team
Received threatening emails and posts.
Potential Bail Co-signers Witnesses/Supporters
Folks who would normally come forward for a bail package but are afraid due to safety concerns.

Organizations (5)

Name Type Context
Haddon Morgan
Law firm representing the defendant (Haddon, Morgan and Foreman).
Pretrial Services
Agency that provided a report mentioned by the speaker.
The Government
Prosecution; accused by speaker of 'spinning' facts and downplaying threats.
Southern District Reporters, P.C.
Court reporting agency listed in footer.
DOJ
Department of Justice (referenced in footer code DOJ-OGR).

Timeline (1 events)

2020-12-10
Court hearing regarding bail and safety concerns.
Southern District (likely SDNY)
Defense Counsel Judge Government Prosecution

Relationships (2)

Defense Attorney Legal Representation Defendant
Refers to defendant as 'my client'.
Defense Attorney Employment/Collegial Haddon Morgan
Refers to 'my colleagues at Haddon Morgan'.

Key Quotes (4)

"Your Honor, people have received physical threats. My client has received them."
Source
DOJ-OGR-00001921.jpg
Quote #1
"They have received death threats. They have been injured in their jobs, in their work opportunities, in their reputations, simply for knowing my client."
Source
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Quote #2
"There are folks who would normally come forward as part of a bail package... who can't now, at least at this point, because of the safety and confidentiality concerns."
Source
DOJ-OGR-00001921.jpg
Quote #3
"Since last week our firm alone and my colleagues at Haddon Morgan have been besieged with e-mails and posts, some of them threatening."
Source
DOJ-OGR-00001921.jpg
Quote #4

Full Extracted Text

Complete text extracted from the document (1,616 characters)

Case 1:20-cr-00330-AJN Document 93 Filed 12/10/20 Page 44 of 91 44
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1 confidentiality, as your Honor pointed out. And as you will
2 see in a moment, that explains a lot of the spin the government
3 is putting on facts in this case.
4 Your Honor, people have received physical threats. My
5 client has received them. Most of those close to her have
6 received them. They have received death threats. They have
7 been injured in their jobs, in their work opportunities, in
8 their reputations, simply for knowing my client. It's real.
9 It's out there. The facts of all the steps the court had to go
10 through just to make the public access available to this
11 proceeding is also a reality.
12 There is a real thing out there having a very
13 significant impact on our client. There are folks who would
14 normally come forward as part of a bail package who your Honor
15 is aware of from the Pretrial Services report who can't now, at
16 least at this point, because of the safety and confidentiality
17 concerns. Since last week our firm alone and my colleagues at
18 Haddon Morgan have been besieged with e-mails and posts, some
19 of them threatening. This is all very real. The government
20 attempts to poo-poo it, to give it the back of the hand. It is
21 very real, and we submit it is a factor for the court to
22 consider in its discretion.
23 Before I go further, your Honor, I would like to go
24 through the 3142(g) analysis. But before I do that, I would
25 like to make one comment about the CVR -- CVRA proceeding under
SOUTHERN DISTRICT REPORTERS, P.C.
(212) 805-0300
DOJ-OGR-00001921

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