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572 KB

Extraction Summary

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

Document Information

Type: Court transcript / legal proceeding
File Size: 572 KB
Summary

This document is a page from a court transcript filed on January 15, 2025, related to Case 1:20-cr-00330 (USA v. Ghislaine Maxwell). The Judge sets a firm hearing date for November 15th to discuss jury questionnaires and motions in limine, specifically mentioning defense motions regarding co-conspirator statements, 'alleged victim 3', and Exhibit 52. The court also plans to address government motions seeking to exclude testimony from experts Dr. Loftus and Dr. Dietz.

People (6)

Name Role Context
Ms. Pomerantz Prosecutor / Government Attorney
Addressed by the court regarding schedule concerns; confirms no concerns.
Ms. Sternheim Defense Attorney
Addressed by the court regarding schedule concerns; confirms no concerns.
The Court Judge
Presiding over the hearing, setting schedules for jury questionnaires and motion hearings.
Alleged Victim 3 Victim / Subject of Motion
Subject of Defense Motion 4 regarding admissibility or evidence.
Dr. Loftus Expert Witness
Subject of government motions regarding exclusion of testimony.
Dr. Dietz Expert Witness
Subject of government motions regarding exclusion of testimony.

Organizations (2)

Name Type Context
Southern District Reporters, P.C.
Listed in footer as the transcription service.
DOJ
Department of Justice, implied by Bates stamp DOJ-OGR.

Timeline (2 events)

Friday (upcoming relative to transcript)
Morning session for jury questionnaires
Court
Potential Jurors Court Staff
November 15th, Monday, 9:30
Firm hearing date to discuss pre-voir dire process, disputed questionnaires, and motions in limine
Court
The Court Defense Counsel Government Counsel

Locations (1)

Location Context
Implied by Southern District Reporters (likely SDNY).

Relationships (2)

Ms. Pomerantz Attorney-Judge The Court
Addressed formally in court proceeding.
Ms. Sternheim Attorney-Judge The Court
Addressed formally in court proceeding.

Key Quotes (5)

"my plan is to just do the morning session on Friday, which would give us about another hundred or so people filling out the questionnaire"
Source
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Quote #1
"I did previously set a tentative hearing for November 15th, which is Monday, at 9:30. So that's firm."
Source
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Quote #2
"I'll also use it to address any outstanding motions in limine if I can."
Source
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Quote #3
"address defense motion 1, on co-conspirator statements; defense motion 4, regarding alleged victim 3; and defense motion 7, on Exhibit 52."
Source
DOJ-OGR-00014880.jpg
Quote #4
"address the government's motions regarding exclusion of at least some testimony of Dr. Loftus and Dr. Dietz."
Source
DOJ-OGR-00014880.jpg
Quote #5

Full Extracted Text

Complete text extracted from the document (1,479 characters)

Case 1:20-cr-00330-PAE Document 782 Filed 01/15/25 Page 4 of 158 4
LBAAMAX1ps
1 that, my plan is to just do the morning session on Friday,
2 which would give us about another hundred or so people filling
3 out the questionnaire, which is what the target was in the 6 to
4 7 hundred range, presumably about 650 or so. And that will
5 give additional time for the parties to confer after they have
6 reviewed and a fewer number of questionnaires to review, given
7 that we got there sooner.
8 Any concerns with that, Ms. Pomerantz?
9 MS. POMERANTZ: No. Thank you, your Honor.
10 THE COURT: Ms. Sternheim?
11 MS. STERNHEIM: No.
12 THE COURT: Great. Thank you.
13 I did previously set a tentative hearing for November
14 15th, which is Monday, at 9:30. So that's firm. We'll have
15 that hearing, to the extent we need to, to go over any pre voir
16 dire process resolution of disputed questionnaires and the like
17 if we need to, and talk about that process more.
18 I'll also use it to address any outstanding motions in
19 limine if I can. In particular I think I will then have full
20 briefing, and hopefully be able to address defense motion 1, on
21 co-conspirator statements; defense motion 4, regarding alleged
22 victim 3; and defense motion 7, on Exhibit 52.
23 If I'm able to, I'll also address the government's
24 motions regarding exclusion of at least some testimony of
25 Dr. Loftus and Dr. Dietz.
SOUTHERN DISTRICT REPORTERS, P.C.
(212) 805-0300
DOJ-OGR-00014880

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