Laura Menninger

Person
Mentions
591
Relationships
42
Events
57
Documents
295

Relationship Network

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Event Timeline

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42 total relationships
Connected Entity Relationship Type
Strength (mentions)
Documents Actions
person Judge Nathan
Legal representative
2
2
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person Assistant United States Attorney (Redacted)
Opposing counsel
2
2
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person Redacted AUSA
Opposing counsel
1
1
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person CHRISTIAN EVERDELL
Legal representative
1
1
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person R
Professional correspondence
1
1
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person Bobbi C Sternheim
Professional correspondence
1
1
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person [Redacted] (Assistant United States Attorney)
Legal representative
1
1
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person Jeff Pagliuca
Co counsel recipients
1
1
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person MARK S. COHEN
Business associate
1
1
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person Bobbi C. Sternheim
Co counsel professional
1
1
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person Bobbi Sternheim
Co counsel
1
1
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person MAXWELL
Legal representative
1
1
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person [REDACTED SENDER]
Legal representative
1
1
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person Sigrid McCawley
Legal representative
1
1
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person Assistant United States Attorney (Redacted)
Legal representative
1
1
View
location USANYS
Opposing counsel
1
1
View
person Bobbi C Sternheim
Co counsel
1
1
View
Date Event Type Description Location Actions
N/A Legal stipulation The prosecution and defense formally agreed that Government Exhibits 52A, 52D, 52E, 52F, 52G, and... UNITED STATES DISTRICT COUR... View
N/A Pretrial conference A pretrial conference was held where counsel for the government and defendant made their appearan... Courtroom View
2022-08-10 Legal proceeding An opening statement was made by Ms. Sternheim on behalf of her client, Ghislaine Maxwell, in cas... Courtroom (implied) View
2022-08-10 Court proceeding The defense, led by Ms. Sternheim, delivers its opening statement in the criminal trial of Ghisla... Southern District Court (im... View
2021-12-18 N/A Jury Trial held before Judge Alison J. Nathan Court View
2021-12-17 Legal agreement A stipulation was agreed upon by the defense and prosecution to allow Defense Exhibit A1 to be re... New York, New York View
2021-12-17 Legal stipulation The prosecution and defense agreed that Government Exhibit 1010 may be received in evidence at tr... New York, New York View
2021-12-13 N/A Civil Trial Conflict Unknown View
2021-12-13 N/A Civil Trial Conflict for Laura Menninger Unknown View
2021-12-10 Legal agreement A stipulation was signed agreeing that Government Exhibit 1009 may be received in evidence at trial. New York, New York View
2021-12-09 N/A Jury Trial Proceedings SDNY Court View
2021-12-09 N/A Jury Trial proceedings held Court (before Judge Alison ... View
2021-12-06 N/A Jury Trial held Court (Judge Alison J. Nathan) View
2021-12-06 N/A Jury Trial as to Ghislaine Maxwell SDNY Court View
2021-12-02 N/A Jury Trial proceedings held before Judge Alison J. Nathan. SDNY Court View
2021-11-30 N/A Jury Trial SDNY Court View
2021-11-29 N/A Jury Selection / Jury Trial Begins Court View
2021-11-29 N/A Jury Selection / Jury Trial SDNY Court View
2021-11-28 N/A Stipulation agreed upon regarding the admission of Government Exhibits 1004 and 11-16. New York, New York View
2021-11-27 N/A Laura Menninger sends supplemental letter regarding anticipated testimony of Mr. [Redacted] to US... N/A View
2021-11-21 N/A Submission of proposed redactions regarding Witness-3 Southern District of New Yo... View
2021-11-20 N/A Exchange of legal documents regarding redactions for Witness-3 evidence. Southern District of New Yo... View
2021-11-20 N/A Hard drive with discovery materials sent via FedEx to Laura Menninger's office in Colorado. Colorado View
2021-11-17 Legal proceeding Jury selection continued for Ghislaine Maxwell's trial and was adjourned. Courtroom View
2021-11-16 Legal proceeding Voir Dire held for Ghislaine Maxwell's trial. Jury selection began and was adjourned. Courtroom View

EFTA00019599.pdf

A letter from the U.S. Attorney's Office (SDNY) to Ghislaine Maxwell's defense team responding to a discovery request. The Government declines to produce broad FOIA-related documents citing lack of legal basis under Rule 16, but provides specific materials related to Radar Online and FBI-NY's involvement in the SDFL investigation as a courtesy. The letter also corrects a defense assertion regarding the FBI Florida office's role in the prosecution team.

Legal correspondence / government response letter
2025-12-25

EFTA00019422.pdf

A discovery letter dated December 16, 2020, from the U.S. Attorney's Office (SDNY) to Ghislaine Maxwell's defense team. The letter accompanies the production of materials stamped SDNY_GM_00274187 through SDNY_GM_0274302, which are identified in the index as a 'UBS Subpoena Return' dated 12-15-2020. The document notes that the letter and materials are subject to a protective order.

Legal correspondence / discovery letter
2025-12-25

EFTA00019420.pdf

A discovery letter dated December 16, 2020, from the U.S. Attorney's Office (SDNY) to Ghislaine Maxwell's defense team. The letter documents the production of materials designated as confidential, specifically referencing a 'UBS Subpoena Return' dated December 15, 2020. The document indicates ongoing discovery obligations and mentions that physical items are in FBI custody.

Legal correspondence / discovery letter
2025-12-25

EFTA00019092.pdf

This document is an email chain from March 2021 regarding discovery disputes in the Ghislaine Maxwell case. Defense attorney Christian Everdell outlines seven specific issues to the US Attorney's Office (USANYS), including technical problems with Maxwell accessing files on the prison computer, missing email attachments, and significant metadata discrepancies where files from Jeffrey Epstein's devices show creation/modification dates occurring after his death and the seizure of the devices (dates in 2020). The chain concludes with USANYS contractors scheduling an internal meeting to address these production issues.

Legal email correspondence / discovery dispute
2025-12-25

EFTA00019056.pdf

This document is an email from the Chambers of Judge Alison J. Nathan dated November 1, 2021, addressed to defense counsel (Pagliuca, Menninger, Sternheim, Everdell) and prosecutors (USANYS) in the case US v. Maxwell. The email serves to distribute an attached Order issued by the Judge which was scheduled to be docketed the following morning.

Email
2025-12-25

EFTA00018883.pdf

This document is a formal notice from the U.S. Department of Justice (SDNY) to Ghislaine Maxwell's defense team, dated April 23, 2021. The Government notifies the defense of its intent to call Dr. Lisa Rocchio as an expert witness to testify on trauma psychology, the dynamics of sexual abuse, grooming, and delayed disclosure, though she has not evaluated specific victims in this case. The letter also reiterates requests for reciprocal discovery and disclosure of defense expert witnesses.

Legal correspondence / rule 16 expert witness notice
2025-12-25

EFTA00018880.pdf

This document is an email dated November 4, 2021, from an Assistant United States Attorney to Judge Nathan's chambers regarding the trial of Ghislaine Maxwell. The email submits an unredacted request to charge (RTC) and verdict sheet, noting that redacted versions will be filed on the Electronic Court Filing (ECF) system and that the defense seeks to seal 'Exhibit A'. Defense attorneys Christian Everdell, Jeff Pagliuca, and Laura Menninger are copied on the correspondence.

Legal email correspondence
2025-12-25

EFTA00018879.pdf

An email chain from November 3, 2021, regarding the U.S. v. Maxwell case (S2 20 Cr. 330). Attorney Bobbi C. Sternheim circulates a courtesy copy of an ECF filing related to the disclosure of juror names to counsel. The email also serves to notify recipients of Sternheim's new office address.

Email
2025-12-25

EFTA00018837.pdf

An email chain from October 2021 between the US Attorney's Office (SDNY) and Ghislaine Maxwell's defense team regarding discovery production in the case US v. Maxwell. The correspondence confirms that discovery materials were shared via USAfx and discusses logistics for providing digital copies (CD or hard drive) to Maxwell at the Metropolitan Detention Center (MDC).

Email chain / legal correspondence
2025-12-25

EFTA00018708.pdf

This document is an email chain dated February 23, 2021, regarding the case 'U.S. v. Maxwell 20 Cr. 330 (AJN)'. Defense attorney Bobbi C. Sternheim sends a courtesy copy of a bail application filing (attached as 'MAXWELL_BAIL_APPLICATION_with_EXHIBIT_2-23-17.pdf') to USANYS prosecutors, copying co-counsel Christian Everdell, Laura Menninger, and Jeff Pagliuca. The email was subsequently forwarded internally within the US Attorney's office with the comment 'FYI'.

Email chain
2025-12-25

EFTA00018663.pdf

This document is an application for a search warrant and a supporting affidavit filed on July 1, 2020, in the United States District Court for the District of New Hampshire. It seeks to use a cell-site simulator to locate a cellular device (the 'Target Cellular Device') believed to be used by GHISLAINE MAXWELL, who is a subject of an arrest warrant for crimes including conspiracy and enticement/transportation of minors. The FBI has probable cause to believe the device is currently in New Hampshire and that its location will assist in arresting Maxwell, based on prior GPS and cell site data, AT&T records, and contact with her attorney's phone.

Application for a search warrant / affidavit in support of search warrant
2025-12-25

EFTA00018026.pdf

This document is an email thread from July 30, 2021, relating to the case United States v. Maxwell (20-Cr-330). Attorney David Oscar Markus emailed Judge Nathan's chambers to submit a responsive letter regarding a government filing from June 30, 2021, explaining that he lacked filing privileges in the SDNY. Judge Nathan's chambers replied with an attached order.

Email correspondence
2025-12-25

EFTA00017813.pdf

This document is an email chain between Ghislaine Maxwell's defense counsel (Christian Everdell) and the US Attorney's Office (SDNY) regarding discovery production disputes in November 2020. The defense expresses significant frustration regarding technical issues with hard drives provided to Maxwell at the MDC, including broken drives and a lack of consolidation, as well as severe restrictions on the hours Maxwell is permitted to use a laptop to review over 2 million pages of evidence. The prosecution responds by offering to consolidate materials onto a single drive and explaining that the limited laptop access (8:30am-3:30pm) is due to MDC security protocols requiring lieutenant supervision.

Email chain / legal correspondence
2025-12-25

EFTA00016953.pdf

An email dated October 20, 2021, from an Assistant United States Attorney in the Southern District of New York to defense attorneys (Everdell, Sternheim, Pagliuca, Menninger). The email attaches a 'Draft joint proposed request to charge' related to the Maxwell trial (inferred from attachment name) and sets a deadline for comments.

Email
2025-12-25

EFTA00016949.pdf

This document is a legal letter dated April 23, 2021, from the U.S. Attorney's Office (SDNY) to Ghislaine Maxwell's defense team. It serves as a formal notice pursuant to Rule 16(a)(1)(G) that the Government intends to call a clinical expert witness (name redacted) to testify about the psychology of sexual abuse, grooming, delayed disclosure, and the impact of trauma on minors. The letter outlines the scope of the expert's anticipated testimony and requests reciprocal discovery regarding any experts the defense intends to call.

Legal correspondence / government disclosure notice
2025-12-25

EFTA00016944.pdf

This document is an email chain from October 18-19, 2021, regarding the filing of Motions in Limine in the case U.S. v. Maxwell (Case No. 20 Cr. 330). Defense attorney Nicole Simmons submits the motions to Judge Nathan's chambers on behalf of Jeffrey Pagliuca. Subsequent internal emails among USANYS staff discuss accessing the files, revealing an internal DOJ file path labeled 'USvEpstein-2018R01618'.

Email chain
2025-12-25

EFTA00016768.pdf

This document is an email from attorney Christian Everdell of Cohen & Gresser LLP to Judge Nathan, dated December 19, 2020. It serves as a transmittal for filing a Renewed Bail Motion Reply Memorandum and accompanying exhibits under seal in the case U.S. v. Ghislaine Maxwell (20 Cr. 330). Other defense counsel, including Bobbi Sternheim, Jeff Pagliuca, and Laura Menninger, are copied on the correspondence.

Email correspondence / court filing transmittal
2025-12-25

EFTA00016726.pdf

This document is an email chain from October 2021 regarding the 'US v. Maxwell' case (20cr330). Defense attorney Bobbi Sternheim provides a list of attendees, including legal counsel and Maxwell's family members (Ian, Kevin, Pandora, Philip, Isabel, Christine), for an October 21 teleconference and a November 1 in-person pretrial conference. The email responds to a request from Judge Alison J. Nathan's chambers regarding logistics, COVID-19 protocols, and speaking rules for the upcoming hearings.

Email correspondence / legal logistics
2025-12-25

EFTA00016723.pdf

This document is an email chain from October 2021 regarding the case U.S. v. Maxwell (Ghislaine Maxwell). Defense attorney Bobbi Sternheim filed a letter with the court, prompting Judge Nathan to order the prosecution (USANYS) to respond by 5 PM the following day. The prosecution notes internally that they have contacted the Bureau of Prisons (BOP) to set up a call, likely to gather information needed for their response.

Email thread
2025-12-25

EFTA00016509.pdf

An email dated November 28, 2021, from an Assistant US Attorney in the Southern District of New York to Judge Nathan's chambers regarding the case US v. Maxwell. The email submits a motion to preclude cross-examination under seal and copies defense attorneys including Jeff Pagliuca and Laura Menninger.

Email
2025-12-25

EFTA00016508.pdf

This document is an email chain from November 2021 regarding legal proceedings. Laura Menninger of Haddon, Morgan & Foreman, P.C. sends a supplemental letter to USANYS counsel regarding the anticipated testimony of a redacted individual (Mr. [Redacted]). The forwarding email references 'Flatley and their rebuttal expert,' suggesting the correspondence concerns expert witness testimony or rebuttal.

Email chain / legal correspondence
2025-12-25

EFTA00016492.pdf

Email correspondence from November 2021 between the US Attorney's Office (SDNY) and Ghislaine Maxwell's defense team (Bobbi Sternheim, et al.). The prosecution confirms they spoke with David Boies and Sigrid McCawley, who denied reports that their client (name redacted) intended to give press briefings during the upcoming trial, affirming compliance with court rules regarding extrajudicial statements.

Email correspondence
2025-12-25

EFTA00016484.pdf

This document is an email thread from November 24, 2021, related to the case US v. Maxwell (20cr330). It involves correspondence between the Chambers of Judge Alison J. Nathan and legal counsel (including Brian Burns, Patrick Smith, Jeff Pagliuca, and Laura Menninger) regarding the issuance of protective orders. An Assistant United States Attorney subsequently follows up with counsel to coordinate the transfer of materials via file sharing or thumb drive.

Email thread / legal correspondence
2025-12-25

EFTA00016470.pdf

An email correspondence dated November 24, 2021, from the Chambers of Judge Alison J. Nathan to counsel involved in the US v. Maxwell case (20cr330). The email serves to distribute two attached orders regarding protective orders and subpoenas. Recipients include attorneys Jeff Pagliuca and Laura Menninger, as well as representatives from the US Attorney's Office for the Southern District of New York (USANYS).

Email / court correspondence
2025-12-25

EFTA00016306.pdf

This document is an email chain from September 2020 within the US Attorney's Office for the Southern District of New York (USANYS). It forwards a 'Notice of Docket Activity' from the 2nd Circuit Court of Appeals regarding the filing of an interlocutory criminal appeal by Ghislaine Maxwell (Case 20-3061). A USANYS staff member asks a colleague to file a notice of appearance as additional counsel for the appeal.

Email chain / court notice of docket activity
2025-12-25
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As Sender
51
As Recipient
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Total
95

RE: US v. Maxwell - 20 Cr. 330 (AJN)

From: Assistant United State...
To: Laura Menninger

Detailed breakdown of 'Highly Confidential nude/partially nude images' (approx 2,100 from devices, 3,400 from discs, 7 hard copies). Explaining viewing protocols due to obscene material status.

Email
2021-03-16

RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view ev...

From: Assistant US Attorney
To: Laura Menninger

Provides details on 3 categories of highly confidential images (2,100 from devices, 3,400 from discs, 7 hard copy). Outlines logistics for review at FBI Bronx warehouse and 500 Pearl St.

Email
2021-03-16

RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view ev...

From: USANYS (Redacted)
To: Laura Menninger

Explaining categories of highly confidential images (2,100 from devices, 3,400 from discs, 7 hard copies); explaining restrictions on obscene material (cannot duplicate, single laptop reviews).

Email
2021-03-16

RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view ev...

From: [Redacted] (AUSA)
To: Laura Menninger

Detailed explanation of 'Highly Confidential' nude images (2,100 from devices, 3,400 from discs, 7 hard copies). Explaining constraints on reviewing obscene material. Detailing rules for Bronx warehouse review.

Email
2021-03-16

RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view ev...

From: [Redacted] AUSA
To: Laura Menninger

Detailed explanation of 2,100 electronic images (nude/partially nude); explanation of physical evidence storage in Bronx vs Florida list.

Email
2021-03-16

RE: US v. Maxwell - 20 Cr. 330 (AJN)

From: Assistant United State...
To: Laura Menninger

Providing spreadsheets of physical evidence. Detailing 2,100 electronic images seized from Epstein's devices (highly confidential/nude), 3,400 images from discs, and 7 hard copy nude images.

Email
2021-03-16

RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view ev...

From: Laura Menninger
To: Assistant US Attorney

Follows up on when questions will be answered now that FBI team is back.

Email
2021-03-15

RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view ev...

From: Assistant US Attorney
To: Laura Menninger

States expectation to answer questions by tomorrow.

Email
2021-03-15

RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view ev...

From: [REDACTED]
To: Laura Menninger

Expects to answer questions about evidence review by tomorrow. Hopes to have a response to discovery request next week.

Email
2021-03-15

RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view ev...

From: Laura Menninger
To: [REDACTED]

Asks when answers to questions will be available, and when a response to the discovery request from last Monday will be provided. Mentions FBI team is back.

Email
2021-03-15

RE: US v. Maxwell - 20 Cr. 330 (AJN)...

From: US Attorney's Office
To: Laura Menninger

Details on FBI Bronx warehouse rules (no electronics, 2 weeks notice).

Email
2021-03-15

RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view ev...

From: [REDACTED]
To: Laura Menninger

FBI team was out of office, will answer questions next week. Client can review confidential images at 500 Pearl Street on 5/18. Unsure if all questions about images can be answered or if evidence vault can be visited.

Email
2021-03-12

RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view ev...

From: Assistant US Attorney
To: Laura Menninger

Informs that FBI team is out of office and answers will be delayed until next week.

Email
2021-03-12

RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view ev...

From: Assistant United State...
To: Laura Menninger

Informing counsel that FBI team is out of office; discussing scheduling a visit to 500 Pearl Street to review highly confidential images on a laptop around Thursday 5/18.

Email
2021-03-12

RE: US v. Maxwell - 20 Cr. 330 (AJN)...

From: Laura Menninger
To: Redacted (USANYS)

Asking if the attached index is the only index of physical evidence available.

Email
2021-03-09

RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view ev...

From: [REDACTED]
To: Laura Menninger

Requests a call to discuss the requests in the letter and asks for availability tomorrow.

Email
2021-03-09

RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view ev...

From: Laura Menninger
To: [REDACTED]

Proposes 1:30 p.m. ET / 11:30 a.m. MST for a call tomorrow and asks for an alternative if not suitable.

Email
2021-03-09

RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view ev...

From: [REDACTED]
To: Laura Menninger

Agrees to the proposed meeting time and provides dial-in information.

Email
2021-03-09

RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view ev...

From: [Redacted AUSA]
To: Laura Menninger

Requesting a call to discuss requests contained in a previous letter.

Email
2021-03-09

RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view ev...

From: [REDACTED]
To: Laura Menninger

Attached an index of physical items in FBI-Miami custody, previously produced August 21, 2020. Mentions scans of items are in Bates range SDNY_GM_00172218-SDNY_GM_00173007 for tomorrow's call.

Email
2021-03-09

RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view ev...

From: Laura Menninger
To: [REDACTED]

Asks if the provided index is the only one available for physical evidence.

Email
2021-03-09

RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view ev...

From: [REDACTED]
To: Laura Menninger

Confirms that the provided excel spreadsheet is the only index of physical evidence produced in discovery, and it does not include all items in FBI custody. Mentions August 20, 2020 discovery production included search warrant returns for items seized from Epstein's residences. FBI asked to compile a similar excel index.

Email
2021-03-09

RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view ev...

From: Assistant United State...
To: Laura Menninger

Clarifying that the provided Excel spreadsheet is not the only index of physical items; mentioning search warrant returns from 2019 searches of Epstein's NY and USVI residences; offering to ask FBI for a similar index for NY office items.

Email
2021-03-09

RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view ev...

From: Laura Menninger
To: Assistant United State...

Asking if the provided index is the only one available.

Email
2021-03-09

RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view ev...

From: Assistant United State...
To: Laura Menninger

Sending copy of index of physical items from FBI-Miami office produced Aug 21, 2020, and referencing scans within Bates range SDNY_GM_00172218-SDNY_GM_00173007.

Email
2021-03-09

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