DOJ-OGR-00020602.jpg

644 KB

Extraction Summary

3
People
4
Organizations
3
Locations
3
Events
2
Relationships
2
Quotes

Document Information

Type: Motion information statement (court filing)
File Size: 644 KB
Summary

This is a Motion Information Statement filed on January 12, 2023, in the U.S. Court of Appeals for the Second Circuit (Case 22-1426). Ghislaine Maxwell's attorney, John M. Leventhal, is requesting an unopposed extension of time to file her appellate brief, moving the deadline from January 30, 2023, to February 28, 2023, citing unforeseen circumstances.

People (3)

Name Role Context
Ghislaine Maxwell Appellant/Moving Party
Defendant appealing a conviction, requesting an extension to file a brief.
John M. Leventhal Moving Attorney
Attorney representing Ghislaine Maxwell, from firm Aidala, Bertuna & Kamins, P.C.
Lara Pomerantz Opposing Attorney
Attorney representing the United States of America.

Organizations (4)

Name Type Context
United States Court of Appeals for the Second Circuit
The court where the appeal is being heard.
Aidala, Bertuna & Kamins, P.C.
Firm representing Ghislaine Maxwell.
United States Attorney's Office
Prosecution/Opposing counsel's office.
United States of America
Plaintiff/Appellee in the case.

Timeline (3 events)

2023-01-12
Filing of Motion Information Statement
US Court of Appeals
2023-01-30
Original deadline for Appellant's brief
US Court of Appeals
2023-02-28
Requested new deadline for Appellant's brief
US Court of Appeals

Locations (3)

Location Context
Address of the Second Circuit Court of Appeals.
Address of moving attorney.
Address of opposing attorney.

Relationships (2)

Ghislaine Maxwell Attorney-Client John M. Leventhal
Leventhal listed as Moving Attorney for Moving Party Maxwell
Case Caption: United States of America v. Ghislaine Maxwell

Key Quotes (2)

"Appellant seeks permission to file her brief, currently due on January 30, 2023, to be filed on or beofre February 28, 2023."
Source
DOJ-OGR-00020602.jpg
Quote #1
"The emergency is that Appellant needs additional time to perfect her appeal due to unforeseen circumstances not known at the time of entering into the schedling order."
Source
DOJ-OGR-00020602.jpg
Quote #2

Full Extracted Text

Complete text extracted from the document (2,256 characters)

Case 22-1426, Document 40, 01/12/2023, 3451920, Page1 of 4
UNITED STATES COURT OF APPEALS FOR THE SECOND CIRCUIT
Thurgood Marshall U.S. Courthouse 40 Foley Square, New York, NY 10007 Telephone: 212-857-8500
MOTION INFORMATION STATEMENT
Docket Number(s): 22-1426
Caption [use short title]
Motion for: Extension of time to file Appellant's brief
Set forth below precise, complete statement of relief sought:
Appellant seeks permission to file her brief, currently due on January
30, 2023, to be filed on or beofre February 28, 2023.
United States of America v. Ghislaine Maxwell
MOVING PARTY: Ghislaine Maxwell
OPPOSING PARTY: United States of America
[ ] Plaintiff [ ] Defendant
[X] Appellant/Petitioner [ ] Appellee/Respondent
MOVING ATTORNEY: John M. Leventhal
OPPOSING ATTORNEY: Lara Pomerantz
[name of attorney, with firm, address, phone number and e-mail]
John M. Leventhal, Aidala, Bertuna & Kamins, P.C.
Lara Pomerantz, United States Attorney's Office
546 Fifth Avenue, 6th Floor
One St. Andrew's Plaza
New York, New York 10036
New York, New York 10007
Court- Judge/ Agency appealed from:
Please check appropriate boxes:
Has movant notified opposing counsel (required by Local Rule 27.1):
[X] Yes [ ] No (explain):
Opposing counsel's position on motion:
[X] Unopposed [ ] Opposed [ ] Don't Know
Does opposing counsel intend to file a response:
[ ] Yes [ ] No [X] Don't Know
FOR EMERGENCY MOTIONS, MOTIONS FOR STAYS AND
INJUCTIONS PENDING APPEAL:
Has this request for relief been made below? [ ] Yes [X] No
Has this relief been previously sought in this court? [ ] Yes [X] No
Requested return date and explanation of emergency:
We respectfully request the return date be as soon as possible for the court. The emergency is that Appellant needs additional time to perfect her appeal due to unforeseen circumstances not known at the time of entering into the schedling order.
Is oral argument on motion requested? [ ] Yes [X] No (requests for oral argument will not necessarily be granted)
Has argument date of appeal been set? [ ] Yes [X] No If yes, enter date:
Signature of Moving Attorney:
[Signature of John M. Leventhal]
Date: 1/12/23
Service by: [X] CM/ECF [ ] Other [Attach proof of service]
Form T-1080 (rev.12-13)
DOJ-OGR-00020602

Discussion 0

Sign in to join the discussion

No comments yet

Be the first to share your thoughts on this epstein document