This document is a legal memo endorsed by Judge Richard M. Berman on August 5, 2025, filed by the law firm Edwards Henderson on behalf of Jeffrey Epstein's victims. The attorneys request specific safeguards, including conferral, in-camera review, and pre-release review, before the unsealing of grand jury materials to ensure compliance with the Crime Victims' Rights Act (CVRA). They argue that the Department of Justice failed to properly notify victims before seeking to unseal these materials, raising concerns about the privacy and safety of the survivors.
A letter motion filed on March 14, 2017, by attorney Paul G. Cassell to Judge Robert W. Sweet in the case Giuffre v. Maxwell. Cassell requests a one-week continuance for a hearing regarding a Motion to Quash a subpoena served on his client, Bradley J. Edwards, citing a scheduled medical procedure preventing him from traveling to New York. The opposing counsel is noted as having agreed to reschedule the hearing to March 23, 2017.
This document is a Reply Memorandum filed by attorney Bradley J. Edwards in support of his motion to quash a subpoena served on him by Ghislaine Maxwell. Edwards argues that Maxwell's requests for his communications with 'prospective witnesses' are overbroad, unduly burdensome, and seek protected attorney work-product. The filing notably alleges that Maxwell has failed to explain her presence on 23 flights with a teenaged Virginia Giuffre or the message pads documenting underage girls calling Epstein's mansion for 'massages'.
A legal motion filed on March 13, 2017, in the US District Court for the Southern District of New York (Case 1:17-mc-00025-RWS). Attorney Paul G. Cassell requests admission Pro Hac Vice to represent Plaintiff Bradley J. Edwards in his lawsuit against Ghislaine Maxwell. Cassell attests to his good standing with the Utah Bar and lack of criminal or disciplinary history.
This document is a legal declaration filed on March 13, 2017, in the U.S. District Court for the Southern District of New York. Attorney Paul G. Cassell submits this declaration to support his application for admission Pro Hac Vice to represent the plaintiff, Bradley J. Edwards, in his case against Ghislaine Maxwell. Cassell attests to his clean legal record, stating he has no felony convictions or disciplinary actions against him and is a member in good standing of the Utah bar.
A letter dated July 31, 2015, from Paul G. Cassell (University of Utah College of Law) to an Assistant Commissioner at New Scotland Yard. Cassell is following up on a previous correspondence from May 2015 regarding an investigation into international sex trafficking by Jeffrey Epstein and Ghislaine Maxwell. He reiterates his client's (name redacted) offer to assist with the investigation.
This document is an email chain from July 2019 between attorney Paul Cassell (representing victims of Jeffrey Epstein) and a redacted government official (likely a federal prosecutor). Cassell invokes the Crime Victims' Rights Act (CVRA) to request that Epstein be detained for the safety of the victims and to oppose any 'private jail' arrangement for Epstein's release. The recipient confirms they will convey these concerns to the Court.
In this July 14, 2019 email, attorney Paul Cassell contacts a redacted recipient (likely a prosecutor) regarding the legal representation of Jane Doe 1 and 2. Cassell discusses a forthcoming brief responding to Jeffrey Epstein's claims about the Non-Prosecution Agreement (NPA), specifically arguing that the NPA is limited to the Southern District of Florida. He offers to share the draft with the recipient's office prior to filing to ensure coordination and avoid interference.
This document is the signature page (page 18 of 27) of a legal filing submitted to Judge Paul A. Engelmayer in Case 1:20-cr-00330. Attorneys Bradley Edwards, Brittany Henderson, and Paul G. Cassell argue for the protection of victim rights under the CVRA, specifically requesting privacy protections and victim participation regarding the release of grand jury materials. The filing date listed in the header is August 6, 2025.
A legal letter dated February 7, 2018, from the law firm Emery Celli Brinckerhoff & Abady LLP, representing intervenor Alan Dershowitz in the Giuffre v. Maxwell case. The letter is addressed to attorneys J. Stanley Pottinger, Paul G. Cassell, Sigrid S. McCawley, and Laura A. Menninger. The correspondence begins an allegation that the plaintiff's counsel improperly leaked submissions from a pending disciplinary proceeding to the Washington Post.
This document is the first page of a 2005 law review article by Paul G. Cassell titled 'Recognizing Victims in the Federal Rules of Criminal Procedure'. It discusses the Crime Victims' Rights Act (CVRA) of 2004 and proposes amendments to federal rules to better integrate victims into criminal proceedings. The document bears a 'HOUSE_OVERSIGHT' Bates stamp and the name 'DAVID SCHOEN' in the footer, suggesting it is part of a production related to congressional oversight, likely involving the Epstein case where the CVRA was a central legal issue.
This document is the first page of a 2014 legal article published in the Journal of Criminal Law & Criminology, co-authored by Bradley J. Edwards (a key attorney for Epstein victims). The article argues that the Crime Victims' Rights Act (CVRA) should apply during criminal investigations before charges are filed, explicitly referencing a 'notorious federal sex abuse case' (the Epstein case) where victims were deprived of rights due to the DOJ's narrow interpretation. The document bears a 'HOUSE_OVERSIGHT' Bates stamp and the name David Schoen, indicating it was part of a production to the House Oversight Committee.
This document is page 18 of 20 from a court filing in the case 'Edwards, Bradley vs. Dershowitz' (Case No. CACE 15-000072), specifically a response to a motion regarding the confidentiality of court records. It contains the signature blocks and contact information for the Utah Attorney General's office, plaintiffs Bradley J. Edwards and Paul G. Cassell, and a counsel list including Thomas Emerson Scott, Jr. The document bears a 'HOUSE_OVERSIGHT' Bates stamp, indicating it was part of a congressional inquiry.
This document is an email thread from January 23, 2015, between Donna Paine, a freelance TV producer for ITN News, and attorneys Paul Cassell and Brad Edwards. Paine is requesting to be added to a media contact list in anticipation of a ruling by Judge Marra regarding the Jeffrey Epstein case and specific allegations made by Jane Doe #3 against Prince Andrew. Cassell confirms he will have his assistant, Joan, add Paine to their contacts list.
This document is a page from a rough draft deposition transcript of Paul G. Cassell, questioned by Mr. Simpson. They discuss a 'motion for joinder' filed in a previous 'CVRA action' on behalf of Jane Doe 3 and Jane Doe 4. The document confirms that Cassell and attorney Bradley J. Edwards were co-signatories on this motion.
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