This document is a 'Table of Authorities' from a court filing dated February 4, 2021, associated with Case 1:20-cr-00330-AJN (the Ghislaine Maxwell trial). It lists legal precedents (cases), statutes, and rules relied upon in the main document. Key statutes cited include 18 U.S.C. ยง 2421, 2422, and 2423, which relate to the transportation of individuals for illegal sexual activity (Mann Act) and sexual exploitation of minors.
This legal document, filed on October 29, 2021, argues for the admissibility of testimony from 'Minor Victim-3' and other victims as direct evidence in a conspiracy case. The prosecution contends this evidence, including overt acts detailed in the indictment, is probative of the defendant's intent and not inadmissible 'other-acts' evidence. The document cites legal precedents, such as United States v. James, to support the argument that acts like drug possession can be considered direct evidence of a conspiracy when charged as overt acts.
This legal document is a motion arguing that the government must demonstrate the admissibility of any evidence related to 'Accuser-3' under Federal Rule of Evidence 404(b). The filing asserts that this evidence constitutes 'other acts' evidence, which is typically inadmissible to prove character, and therefore its relevance and purpose must be formally litigated before being introduced at trial.
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