EFTA00021424.pdf

28.8 KB

Extraction Summary

5
People
3
Organizations
1
Locations
1
Events
2
Relationships
2
Quotes

Document Information

Type: Email / legal correspondence
File Size: 28.8 KB
Summary

This document is an email dated July 15, 2019, from an Assistant U.S. Attorney in the Southern District of New York to the chambers of Judge Berman. It serves to transmit a legal filing requesting the exclusion of speedy trial time for the case U.S. v. Epstein (19 Cr. 490) for the period between July 15 and July 18, 2019, noting that defense counsel consents to the request.

People (5)

Name Role Context
Martin Weinberg Defense Counsel
Cc'd on the email regarding the speedy trial time exclusion request.
Reid Weingarten Defense Counsel
Email address 'rweingarten@steptoe.com' appears in the Cc line.
Judge Berman Judge
The email is addressed 'To the Chambers of Judge Berman'.
Jeffrey Epstein Defendant
Mentioned in the subject line 'U.S. v. Epstein'.
Unknown Sender Assistant U.S. Attorney
Sender of the email representing the Government (SDNY).

Organizations (3)

Name Type Context
Southern District of New York
The sender's office (U.S. Attorney's Office).
Steptoe
Law firm associated with the email address 'rweingarten@steptoe.com'.
Government
Refers to the prosecution in the legal case.

Timeline (1 events)

2019-07-15
Government request for exclusion of speedy trial time submitted to Judge Berman's chambers.
Southern District of New York
Government Defense Counsel Judge Berman

Locations (1)

Location Context
Location of the U.S. Attorney's office involved.

Relationships (2)

Martin Weinberg Legal Representation Jeffrey Epstein
Cc'd on legal correspondence regarding U.S. v. Epstein.
Reid Weingarten Legal Representation Jeffrey Epstein
Cc'd on legal correspondence regarding U.S. v. Epstein.

Key Quotes (2)

"Attached please find a courtesy copy of the Government’s request for the exclusion of speedy trial time in the above-captioned case between July 15, 2019, and July 18, 2019."
Source
EFTA00021424.pdf
Quote #1
"Defense counsel consents to this request and is copied here."
Source
EFTA00021424.pdf
Quote #2

Full Extracted Text

Complete text extracted from the document (765 characters)

From: "[REDACTED]" <[REDACTED]>
To: "[REDACTED]"
Cc: "[REDACTED]", "Martin Weinberg" <[REDACTED]>, "rweingarten@steptoe.com" <[REDACTED]>, "[REDACTED]" <[REDACTED]>, "[REDACTED]" <[REDACTED]>
Subject: RE: U.S. v. Epstein, 19 Cr. 490 (RMB), Government bail memorandum
Date: Mon, 15 Jul 2019 22:16:50 +0000
Importance: Normal
Attachments: 2019-07-15,_JE,_speedy_trial_time_exclusion_request.pdf
To the Chambers of Judge Berman:
Attached please find a courtesy copy of the Government’s request for the exclusion of speedy trial time in the above-captioned case between July 15, 2019, and July 18, 2019. Defense counsel consents to this request and is copied here.
Thank you,
[REDACTED]
[REDACTED]
Assistant U.S. Attorney
Southern District of New York
EFTA00021424

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