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643 KB

Extraction Summary

5
People
3
Organizations
2
Locations
2
Events
2
Relationships
2
Quotes

Document Information

Type: Legal letter / court filing
File Size: 643 KB
Summary

This is a legal letter dated July 22, 2025, from defense attorneys David Oscar Markus and Melissa Madrigal to Judge Paul A. Engelmayer regarding the case United States v. Ghislaine Maxwell. The defense requests permission to review grand jury transcripts that the government is seeking to unseal, noting that they have not previously seen them in their entirety. The letter states that Deputy Attorney General Todd Blanche has no objection to this request.

People (5)

Name Role Context
Ghislaine Maxwell Defendant
Client represented by Markus/Moss; subject of the case
Paul A. Engelmayer United States District Judge
Recipient of the letter; presiding judge
David Oscar Markus Defense Counsel
Author of the letter; attorney for Ghislaine Maxwell
Melissa Madrigal Defense Counsel
Co-signer of the letter; attorney for Ghislaine Maxwell
Todd Blanche Deputy Attorney General
Government official who has no objection to the defense's request

Organizations (3)

Name Type Context
MARKUS / MOSS PLLC
Law firm representing Ghislaine Maxwell
United States District Court for the Southern District of New York
Court where the case is filed
DOJ
Department of Justice (implied via footer code DOJ-OGR)

Timeline (2 events)

July 22, 2025
Court issued an Order directing the Government to file a supplemental memorandum regarding unsealing grand jury transcripts.
SDNY
The Court The Government
July 29, 2025
Deadline for Government to file supplemental memorandum and provide transcripts to the Court.
SDNY
The Government The Court

Locations (2)

Location Context
Address of the US District Court
Address of Markus/Moss PLLC

Relationships (2)

David Oscar Markus Attorney-Client Ghislaine Maxwell
We respectfully submit this letter in connection with our representation of Ghislaine Maxwell
David Oscar Markus Professional/Opposing Counsel Todd Blanche
We have discussed our request... with Deputy Attorney General Todd Blanche

Key Quotes (2)

"we would similarly like to review the grand jury transcripts at issue (we have not seen them and our understanding is that they have never been provided to the defense in their entirety)"
Source
DOJ-OGR-00015054.jpg
Quote #1
"We have discussed our request to review the grand jury transcripts with Deputy Attorney General Todd Blanche, and he has no objection to our application."
Source
DOJ-OGR-00015054.jpg
Quote #2

Full Extracted Text

Complete text extracted from the document (1,625 characters)

Case 1:20-cr-00330-PAE Document 793 Filed 07/22/25 Page 1 of 1
MARKUS / MOSS
July 22, 2025
By ECF
The Honorable Paul A. Engelmayer
United States District Judge
United Sates District Court for the
Southern District of New York
40 Foley Square
New York, New York 10007
Re: United States v. Ghislaine Maxwell, 20-CR-330 (PAE)
Dear Judge Engelmayer:
We respectfully submit this letter in connection with our representation of Ghislaine Maxwell in the above-referenced case.
Earlier today, the Court issued an Order directing the Government to file a supplemental memorandum, no later than Tuesday, July 29, 2025, addressing specific factors relevant to the Government’s application to unseal grand jury transcripts in this case. (Dkt. 789). Additionally, the Court ordered the Government to provide the Court with the grand jury transcripts that the Government seeks to unseal by July 29, 2025, for the Court’s review. Id. at 3.
As counsel for Ms. Maxwell, we would similarly like to review the grand jury transcripts at issue (we have not seen them and our understanding is that they have never been provided to the defense in their entirety) in order to craft a response and set out our position to the Court. We have discussed our request to review the grand jury transcripts with Deputy Attorney General Todd Blanche, and he has no objection to our application.
Thank you for your consideration in this matter.
Respectfully submitted,
/s/ David Oscar Markus
David Oscar Markus
Melissa Madrigal
MARKUS/MOSS PLLC
40 NW 3rd Street, PH 1
Miami, FL 33128
T 305 379-6667
F 305 379-6668
markuslaw.com
DOJ-OGR-00015054

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