| Connected Entity | Relationship Type |
Strength
(mentions)
|
Documents | Actions |
|---|---|---|---|---|
|
person
Civil Attorney (Unnamed)
|
Conflict of interest |
6
|
2 | |
|
person
Roy Black
|
Legal representative |
5
|
5 | |
|
person
Judge Berman
|
Legal representative |
4
|
4 | |
|
person
Jack Goldberger
|
Legal representative |
4
|
4 | |
|
person
Martin G. Weinberg
|
Opposing counsel |
3
|
3 | |
|
person
Redacted Recipient
|
Business associate |
3
|
3 | |
|
person
Roberta Kaplan
|
Legal representative |
3
|
3 | |
|
person
Jeffrey Epstein
|
Investigator subject |
3
|
3 | |
|
person
Jeffrey Epstein
|
Prosecutor subject |
3
|
3 | |
|
person
USANYS Staff
|
Business associate |
3
|
3 | |
|
person
four FBI agents
|
Professional collaborative |
2
|
2 | |
|
person
victims
|
Investigator witness |
2
|
2 | |
|
person
FBI special agent
|
Professional collaborative |
2
|
2 | |
|
person
Jeffrey Epstein
|
Prosecutor defendant |
2
|
2 | |
|
person
Bruce Barket
|
Opposing counsel |
2
|
2 | |
|
person
Jeffrey Epstein
|
Legal representative |
2
|
2 | |
|
person
Roy Black
|
Opposing counsel |
2
|
2 | |
|
person
Judge Pitman
|
Legal representative |
2
|
2 | |
|
person
Jay
|
Legal representative |
2
|
2 | |
|
person
Victor Norris Hamilton
|
Contractor supervisor |
2
|
2 | |
|
person
SARAH NETBURN
|
Legal representative |
2
|
2 | |
|
person
Jeff
|
Business associate |
2
|
2 | |
|
person
GHISLAINE MAXWELL
|
Prosecutor subject |
2
|
2 | |
|
person
Jeffrey Epstein
|
Investigative |
1
|
1 | |
|
person
Lt. Craig
|
Professional interagency cooperation |
1
|
1 |
| Date | Event Type | Description | Location | Actions |
|---|---|---|---|---|
| N/A | N/A | Agreement to speak again in the near future for subsequent discussions. | N/A | View |
| N/A | Legal proceeding | The government is accused of violating due process by materially misrepresenting facts before a c... | court | View |
| 2022-06-29 | N/A | Email discussion regarding the submission of a 'Director's Award' nomination for the Epstein/Maxw... | New York | View |
| 2021-11-09 | N/A | Filing or transmission of a legal motion to preclude testimony/evidence regarding Dietz and Loftus | Southern District of New York | View |
| 2021-02-25 | N/A | Assistant U.S. Attorney received a call from a woman identifying as a former victim of Jeffrey Ep... | Phone call (Desk line) | View |
| 2021-02-25 | N/A | Initial call received by AUSA from a woman claiming to be an Epstein victim. | Phone (Desk line) | View |
| 2021-02-25 | N/A | Initial call received by AUSA from a woman identifying as an Epstein victim. | Desk line (Phone) | View |
| 2020-10-11 | N/A | Deletion of duplicate emails related to the Epstein case to maintain file integrity. | Southern District of New York | View |
| 2020-08-13 | N/A | Sending of next round of discovery materials via FedEx. | SDNY to MDC | View |
| 2020-08-11 | N/A | Proposed follow-up call between SDNY and Gary Bloxsome. | Phone (London/New York) | View |
| 2020-08-06 | N/A | Planned mailing of hard drive containing discovery materials to Ghislaine Maxwell at MDC. | MDC | View |
| 2020-08-03 | N/A | Scheduled call at 4:00 p.m. (LDN time) | Phone/Remote | View |
| 2020-07-27 | N/A | Conversation between SDNY and Gary Bloxsome | Phone/Remote | View |
| 2020-07-26 | N/A | Email sent regarding SDNY investigation with attached letter. | Southern District of New York | View |
| 2020-07-22 | N/A | Phone call from 'Brad' (Victims' Counsel) to Assistant U.S. Attorney regarding response to defens... | Phone Call | View |
| 2020-07-20 | N/A | WebEx discussion between SDNY and Fieldfisher attorneys. | Virtual (WebEx) | View |
| 2020-07-16 | N/A | Conversation between SDNY and recipients regarding estate materials. | Phone call (implied) | View |
| 2020-07-14 | N/A | Proposal of a 'Negotiation Period' regarding Prince Andrew's interview | Email Correspondence | View |
| 2020-07-09 | N/A | Submission of proposed protective order to defense counsel. | Southern District of New Yo... | View |
| 2020-07-08 | N/A | Request made to update website with new case information. | New York | View |
| 2020-07-01 | N/A | Communication regarding zip code 03221 (likely related to tracking/arrest of Maxwell). | New Hampshire (implied by z... | View |
| 2020-06-29 | N/A | Issuance and mailing of a subpoena to UBS. | Southern District of New York | View |
| 2020-05-22 | N/A | Internal SDNY correspondence regarding supplemental memo for Maxwell investigation and perjury. | Southern District of New York | View |
| 2020-05-06 | N/A | Email sent listing status of prosecution memos | Southern District of New York | View |
| 2020-04-09 | N/A | Assistant U.S. Attorney sends a 'crabby email' to chiefs regarding daily pressure and deadlines o... | Southern District of New York | View |
This document is a page from a legal filing in the Ghislaine Maxwell case (1:20-cr-00330-AJN), filed on February 4, 2021. The text argues that the government failed to acknowledge that a redacted individual had voluntarily approached prosecutors multiple times before a grand jury subpoena was issued. It references court appearances in March and April 2019 and alleges the Assistant U.S. Attorney omitted mention of prior contacts between the redacted individual and the government.
This legal document, filed on February 4, 2021, argues that the government failed to acknowledge it had approached prosecutors multiple times before a grand jury subpoena was issued. It cites legal appearances in March and April 2019 and references testimony from an Assistant U.S. Attorney (in Exhibits D and E) who allegedly omitted mentioning these prior contacts.
This legal document, filed on February 4, 2021, argues that the government failed to acknowledge that prosecutors had been approached multiple times by another party prior to a grand jury subpoena being issued. The document alleges that the government and an Assistant U.S. Attorney continued to omit mention of these prior contacts during court appearances in March and April 2019.
This document is page 6 of a letter to the Honorable Mark Filip, dated May 19, 2008, detailing complaints about the conduct of federal prosecutors in the Jeffrey Epstein case. The text alleges that prosecutors made unprecedented financial demands, including a requirement for Epstein to pay $150,000 to alleged victims (most of whom were later found to be adults, not minors) and to fund a specific civil attorney chosen by the prosecution. It further alleges a conflict of interest where an Assistant U.S. Attorney recommended a civil lawyer connected to their boyfriend, and notes that First Assistant Sloman's former law partner, Mr. Herman, began filing civil suits against Epstein.
| Date | Type | From | To | Amount | Description | Actions |
|---|---|---|---|---|---|---|
| 2019-05-28 | Paid | Assistant U.S. At... | Airline (implied) | $100.00 | Cancellation fee for personal flight caused by ... | View |
Requesting sample itineraries as meeting is not fully confirmed.
Informing that the requested return flight (PNS-LGA at 6:44pm) is unavailable and offering an alternative (PNS-JFK at 5:53pm).
Requesting permission for two people to travel to Pensacola, FL on 2/18-2/19 for a witness interview in the Epstein investigation (2018R01618).
Attorneys checking in to see if the prosecution needed anything; AUSA stated investigation is ongoing.
Requesting hotel invoice and taxi receipts for travel claim reimbursement.
Providing list of expenses paid on personal credit card for California trip.
Inquiry about status of electronic evidence from NY residence (iMacs/laptops) and Island materials. Concerns about timing.
Inquiry about status of electronic evidence from NY residence (iMacs/laptops) and Island materials. Mention of CART processing.
Generating load files, expects readiness by Thursday COB. Requests drive to copy files.
Asks for size of materials to provide appropriate hard drive. Asks about Island materials status and if they are being checked for CP images.
Has everything with him. HQ is working on the Island DVR system.
Requests hard drive size needed immediately.
1TB should do it. 'Ton of emails, but they don't take up much space.'
Request to borrow 1TB hard drive to transfer FBI data.
Explaining delays due to complex process. Files expected by Thursday COB. Requesting hard drive.
Asking about Island materials status and if they are being checked for 'CP images'.
Confirming HQ is working on the 'Island DVR system'.
Confirming load files are being generated, apologizing for delays due to complexity, anticipating completion by Thursday COB, and requesting a hard drive.
Follow-up on previous conversation regarding New York residence electronic evidence (iMacs/laptops). Expressing concern about timing and status of 'island materials'.
Suggesting Thursday for the meeting, assuming proposal from 'BB' (Bruce Barket) is received by Tuesday.
Proposing a meeting to discuss schedule early next week; hopes to finalize proposal by Tuesday.
Offering next Friday afternoon for a meeting.
Discussed anticipation that electronic evidence from NY residence would be completed by late October.
Checking on travel plans due to incoming storm (Hurricane Dorian).
Inquiry about the date the facilities manager tested the shower.
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