Assistant U.S. Attorney

Person
Mentions
59
Relationships
117
Events
159
Documents
29

Relationship Network

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Interactive Network: Click nodes or edges to highlight connections and view details with action buttons. Drag nodes to reposition. Node size indicates connection count. Line color shows relationship strength: red (8-10), orange (6-7), yellow (4-5), gray (weak). Use legend and help buttons in the graph for more guidance.

Event Timeline

Interactive Timeline: Hover over events to see details. Events are arranged chronologically and alternate between top and bottom for better visibility.
117 total relationships
Connected Entity Relationship Type
Strength (mentions)
Documents Actions
person Civil Attorney (Unnamed)
Conflict of interest
6
2
View
person Roy Black
Legal representative
5
5
View
person Judge Berman
Legal representative
4
4
View
person Jack Goldberger
Legal representative
4
4
View
person Martin G. Weinberg
Opposing counsel
3
3
View
person Redacted Recipient
Business associate
3
3
View
person Roberta Kaplan
Legal representative
3
3
View
person Jeffrey Epstein
Investigator subject
3
3
View
person Jeffrey Epstein
Prosecutor subject
3
3
View
person USANYS Staff
Business associate
3
3
View
person four FBI agents
Professional collaborative
2
2
View
person victims
Investigator witness
2
2
View
person FBI special agent
Professional collaborative
2
2
View
person Jeffrey Epstein
Prosecutor defendant
2
2
View
person Bruce Barket
Opposing counsel
2
2
View
person Jeffrey Epstein
Legal representative
2
2
View
person Roy Black
Opposing counsel
2
2
View
person Judge Pitman
Legal representative
2
2
View
person Jay
Legal representative
2
2
View
person Victor Norris Hamilton
Contractor supervisor
2
2
View
person SARAH NETBURN
Legal representative
2
2
View
person Jeff
Business associate
2
2
View
person GHISLAINE MAXWELL
Prosecutor subject
2
2
View
person Jeffrey Epstein
Investigative
1
1
View
person Lt. Craig
Professional interagency cooperation
1
1
View
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

EFTA00032972.pdf

This document is an email chain from July 8, 2019, concerning the government's bail memorandum in the case U.S. v. Epstein (19 Cr. 490). An Assistant U.S. Attorney for the Southern District of New York submits the detention memo to Judge Pitman's chambers and defense counsel (including Marc Fernich, Martin Weinberg, and Reid Weingarten) ahead of the arraignment and bail argument. Marc Fernich acknowledges receipt of the document.

Email chain
2025-12-25

EFTA00030698.pdf

This document is an email chain from January 2020 between Gary Bloxsome (Blackfords LLP) and prosecutors from the U.S. Department of Justice, Southern District of New York (SDNY). The SDNY formally requests a 'consensual, voluntary law enforcement interview' with Bloxsome's client, HRH The Duke of York (Prince Andrew), regarding the investigation into Jeffrey Epstein and his associates. Bloxsome confirms he represents the Duke and arranges a preliminary telephone call for January 10, 2020.

Email correspondence / legal communication
2025-12-25

EFTA00029275.pdf

This document is an email thread from February 10, 2020, between Assistant U.S. Attorneys regarding the Epstein/Maxwell investigation. The discussion focuses on managing concerns from witnesses' counsel regarding confidentiality following public comments made about Prince Andrew on January 27. The emails mention that two potential witnesses who worked for Maxwell/Epstein have expressed willingness to be interviewed, while another witness has already met with prosecutors multiple times. There is also a reference to reviewing depositions related to Ghislaine Maxwell.

Email thread
2025-12-25

EFTA00028528.pdf

This document is an email exchange from July 30, 2019, primarily discussing an individual's potential late arrival to an event due to an 'issue came up with Epstein.' The email chain shows three messages, with the latest sent at 17:48 +0000 and the earliest at 1:46 PM, all related to the subject 'Head over?'. The document also includes contact information for an Assistant U.S. Attorney from the Southern District of New York.

Email exchange
2025-12-25

EFTA00027856.pdf

An email chain between US Attorney's Office (SDNY) staff from August 6 to August 9, 2019, discussing a draft legal response to preservation requests filed by Jeffrey Epstein's defense team. The prosecutors debate whether to send the response on Friday, August 9th, or wait until Monday, August 12th, noting that the delay wouldn't significantly impact the case. This correspondence occurred immediately prior to Epstein's death on August 10, 2019.

Email chain
2025-12-25

EFTA00027239.pdf

This document is an internal email chain from the Southern District of New York (SDNY) dated August 6-7, 2019, discussing Jeffrey Epstein's historical state plea transcript. An Assistant U.S. Attorney highlights specific quotes from the plea hearing where the non-prosecution agreement (NPA) with the Southern District of Florida was detailed, explicitly noting that federal prosecutors agreed not to prosecute Epstein federally in SDFL if he completed probation. The email also notes that SDFL representatives were present in court during the plea.

Email chain
2025-12-25

EFTA00026683.pdf

An email chain from July 2019 between the U.S. Attorney's Office (SDNY) and Roberta Kaplan's legal team regarding the 'U.S. v. Epstein' case. The Assistant U.S. Attorney reaches out to inform victims' counsel of their rights under the Crime Victims' Rights Act to be heard during upcoming bail proceedings. Roberta Kaplan responds requesting a discussion.

Email chain
2025-12-25

EFTA00026681.pdf

This document is an email chain from July 2019 between an Assistant U.S. Attorney for the Southern District of New York and attorney Roberta Kaplan (along with her team). The AUSA contacts Kaplan regarding 'U.S. v. Epstein, 19 Cr. 490' to inform her of her client's rights under the Crime Victims' Rights Act to be heard during upcoming bail proceedings. Kaplan responds briefly asking to talk.

Email correspondence
2025-12-25

EFTA00024566.pdf

This document contains a chain of emails between the FBI's NY Computer Analysis Response Team (CART) and the US Attorney's Office (SDNY) regarding the processing of digital evidence seized from Jeffrey Epstein's properties in New York and the Virgin Islands. The correspondence, spanning February to July 2020, details technical challenges including incompatible file formats, encryption (specifically APFS on Mac devices), and delays caused by FBI network upgrades and COVID-19 staffing reductions. The prosecutors express frustration with the pace and format of data production, eventually proposing to hire an outside vendor (BRG) to complete the work.

Email correspondence chain
2025-12-25

EFTA00024440.pdf

This document is an internal email from July 8, 2020, within the U.S. Attorney's Office for the Southern District of New York. It requests the creation of a new Victim & Witness Services webpage for the Ghislaine Maxwell case (United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN)), modeling it after the previous Epstein case page. The email provides specific text to be posted regarding the unsealing of charges on July 2, 2020, and contact information for victims.

Email
2025-12-25

EFTA00021008.pdf

This document is an automated 'Notice of Docket Activity' email from the Court of Appeals, 2nd Circuit, dated September 23, 2020. It confirms the filing of a letter on behalf of Appellant Ghislaine Maxwell in the case 'United States of America v. Maxwell' (Case Number 20-3061). The original filename indicates the letter was a response to a government opposition regarding a motion to consolidate.

Court notice / email
2025-12-25

EFTA00020670.pdf

This document contains an email chain from July 27, 2020, between the prosecution (Southern District of New York) and the defense team in the case United States v. Maxwell. The correspondence concerns scheduling a 'meet and confer' regarding a protective order, specifically addressing the Government's concerns about the defendant potentially naming victims of Jeffrey Epstein or Ghislaine Maxwell in public filings. The Government also requests a 1 terabyte hard drive from the defense to facilitate the production of discovery materials.

Email correspondence / legal correspondence
2025-12-25

EFTA00019473.pdf

This document is an email from an Assistant U.S. Attorney in the Southern District of New York, dated December 19, 2018, detailing a phone call regarding the opening of an investigation into Jeffrey Epstein. The call discussed identifying potential witnesses, the role of victim attorneys, and the need for confidentiality due to the sensitive and early stage of the investigation. The parties agreed to maintain confidentiality and to continue discussions.

Email
2025-12-25

EFTA00019173.pdf

An email chain from June 2010 involving the US Attorney's Office (USAFLS). The core of the document is a forwarded list of 17 pointed questions from an inquirer asking why Jeffrey Epstein received such lenient treatment, why federal trafficking charges were dropped, why Ghislaine Maxwell was not charged, and questioning the involvement of the US Attorney General (USAG) in stopping the investigation. Internal commentary from the USAFLS notes they likely cannot answer the questions.

Email correspondence / legal inquiry
2025-12-25

EFTA00018647.pdf

This document is an email chain between the U.S. Attorney's Office for the Southern District of New York (SDNY) and the FBI's Litigation Support Unit regarding the 'Epstein investigation.' The correspondence, spanning from January 2019 to October 2020, focuses on discovery materials, specifically the processing of CDs and media files found in boxes from Florida. The document includes a specific report on technical difficulties accessing 48 audio files from 2006 Grand Jury testimony and lists other media including a 2007 FBI interview and a 2010 deposition of Jeffrey Epstein provided by attorney Brad Edwards.

Email chain / correspondence
2025-12-25

EFTA00014172.pdf

An email from an Assistant U.S. Attorney to Barry Krischer discussing the confidentiality clauses of Jeffrey Epstein's Non-Prosecution Agreement. The sender informs Krischer that Epstein's defense team (Lefkowitz, Black, Goldberger) must be notified before any disclosure, specifically regarding a request or potential lawsuit from the 'Shiny Sheet' (Palm Beach Daily News). The email also notes that the defense has failed to file the complete agreement with the Court as previously ordered.

Email
2025-12-25

EFTA00013965.pdf

An email chain between Assistant U.S. Attorneys discussing the filing of Epstein's Non-Prosecution Agreement. The correspondence highlights significant 'misstatements' made by Epstein during his change of plea, specifically regarding the 'Florida Science Foundation' (FSF). The emails reveal that the FSF was incorporated much later than Epstein claimed, operated out of Jack Goldberger's law office without signage or staff knowledge, and that Epstein could not have worked there daily as he claimed.

Email chain
2025-12-25

EFTA00013867.pdf

This document is an email chain from June 2008 involving Jack Goldberger, an Assistant U.S. Attorney, and other legal counsel (Roy and Jay Lefkowitz). The key content is a notification that the Deputy Attorney General determined federal prosecution of Jeffrey Epstein was appropriate. Epstein was given a deadline of June 30, 2008, to comply with a plea agreement that required him to plead guilty, be sentenced, and surrender for imprisonment.

Email chain
2025-12-25

EFTA00013448.pdf

This document is an email chain from February to May 2020 between the US Attorney's Office (SDNY) and a forensic/technical team regarding the processing of digital evidence seized from Jeffrey Epstein's properties in New York and the US Virgin Islands. The correspondence highlights significant technical difficulties, including the inability to link emails to attachments (using 'flight records' as an example), mismatched load files, and a 'disaster' in tracking over 1 million documents. The technical team notes delays due to COVID-19 work reductions and a major network replacement that required the deletion of 400 TB of old data.

Email chain / legal correspondence
2025-12-25

EFTA00011386.pdf

This document is the 2007 Non-Prosecution Agreement (NPA) and subsequent Addendum between the United States (represented by US Attorney R. Alexander Acosta) and Jeffrey Epstein. In the agreement, Epstein agrees to plead guilty to state solicitation charges and serve a recommended 30-month sentence (18 months in jail plus probation) in exchange for federal non-prosecution. Crucially, the agreement also grants immunity from federal prosecution to any potential co-conspirators of Epstein, with specific names redacted in the text.

Legal agreement (non-prosecution agreement and addendum)
2025-12-25

DOJ-OGR-00002366.jpg

This legal document argues that the government violated due process by misrepresenting facts and failing to disclose information, which likely impacted a Protective Order. It cites several legal precedents to assert that prosecutors have a duty to seek justice, are presumed to have knowledge of their office's investigations, and must ensure the truthfulness of representations made to a federal judge. The document concludes that the Assistant U.S. Attorney failed in this fundamental duty.

Legal document
2025-11-20

DOJ-OGR-00002366(1).jpg

This legal document, filed on February 4, 2021, argues that the government violated due process by materially misrepresenting facts to a court. It cites several legal precedents to assert that a prosecutor's primary duty is to seek justice, not just convictions, and that the prosecutor is presumed to have full knowledge of their case file, with their actions being attributable to the government as a whole. The document concludes that the Assistant U.S. Attorney failed in their basic duty to ensure their representations to a federal judge were true and complete.

Legal document
2025-11-20

DOJ-OGR-00002361.jpg

This document is page 9 (filed as page 14 of 23) of a legal filing in United States v. Ghislaine Maxwell (Case 1:20-cr-00330-AJN). It discusses David Boies' frustration that the government initially failed to pursue perjury charges against Maxwell despite his belief they had her 'dead to rights.' The filing argues that a redacted individual (likely a judge, referred to as 'she') modified a protective order based on misrepresentations made by an Assistant U.S. Attorney. A large portion of the page is redacted.

Legal filing / court motion
2025-11-20

DOJ-OGR-00002361(1).jpg

This is page 14 of a legal filing (Document 134) from the Ghislaine Maxwell criminal case (1:20-cr-00330-AJN), filed on February 4, 2021. The text argues that the government previously failed to act on perjury charges despite attorney David Boies claiming they had Maxwell 'dead to rights.' The filing alleges that a judicial officer (name redacted) was misled by an Assistant U.S. Attorney's misrepresentations, leading to the modification of a Protective Order. A large portion of the page is redacted.

Legal filing / court motion (defense filing)
2025-11-20

DOJ-OGR-00002359.jpg

This legal document, filed on February 4, 2021, is page 12 of a court filing that accuses the government of misrepresentation. The text alleges that the government failed to acknowledge that prosecutors had been approached multiple times before a grand jury subpoena was issued. It references court appearances in March and April 2019 and claims an Assistant U.S. Attorney omitted mentioning these prior contacts.

Legal document
2025-11-20
Total Received
$0.00
0 transactions
Total Paid
$100.00
1 transactions
Net Flow
-$100.00
1 total transactions
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
As Sender
50
As Recipient
31
Total
81

Re: Letter from Tartaglione counsel

From: Assistant U.S. Attorney
To: Staff Attorney (MCC)

Inquiry about the date the facilities manager tested the shower.

Email
2019-08-21

Letter from Tartaglione counsel

From: Assistant U.S. Attorney
To: Staff Attorney (MCC)

Notification that Bruce Barket filed a letter on ECF and request for a call.

Email
2019-08-20

Re: [Redacted] - Epstein

From: Assistant U.S. Attorney
To: Joseph E. Nascimento

Asking if client is available for a 'proffer' on September 4th.

Email
2019-08-19

Contacting witness

From: Assistant U.S. Attorney
To: Witness's Lawyer

AUSA spoke with the lawyer, who suggested contacting the witness directly and provided her number.

Call/meeting
2019-07-23

RE: financial documents (Epstein)

From: Hamilton (Contractor)
To: Assistant U.S. Attorney

Confirmation that discs are ready; asking where to bring them.

Email
2019-07-18

RE: financial documents (Epstein)

From: Assistant U.S. Attorney
To: Hamilton, [Redacted] [...

Request to burn specific folders (American Express and Deutsche Bank subpoena returns) to a disc for a Special Agent and Detective.

Email
2019-07-17

Representation of pilot

From: Kate Cassidy
To: Assistant U.S. Attorney

Discussed representation of Epstein's pilot, subpoena service, and status in investigation.

Call
2019-07-16

RE: case records scanning

From: FBI DocLab/Scanning Team
To: Assistant U.S. Attorney

Clarifying that discs were copied but not processed, and discussing flagging locations of unscanned images.

Email
2019-07-15

RE: case records scanning

From: FBI DocLab/Scanning Team
To: Assistant U.S. Attorney

Scanning finished. Notes that 3 '1As' (evidence items 1A10, 1A28, 1A84) were missing from jackets but retrieved from network. Notes that pornographic images of young girls were NOT scanned per protocol and replaced with 'DocLab kicksheets'.

Email
2019-07-12

RE: [Redacted] - Epstein

From: Assistant U.S. Attorney
To: Joseph E. Nascimento

Confirming meeting location at the Hilton in West Palm Beach.

Email
2019-07-11

N/A

From: Assistant U.S. Attorney
To: Kaiser

Phone conversation discussing the client and scheduling the meeting.

Call
2019-07-10

Re: [Redacted] - Epstein

From: Joseph E. Nascimento
To: Assistant U.S. Attorney

Requesting a meeting on Friday afternoon and asking: 'Please send me your proffer letter.'

Email
2019-07-09

RE: [Redacted] - Epstein

From: Assistant U.S. Attorney
To: Joe

Confirming call time at 10:00 AM after negotiation regarding 'Florida approach agents' briefing schedule.

Email
2019-07-08

RE: U.S. v. Epstein, 19 Cr. 490

From: Assistant U.S. Attorney
To: Pretrial Services/Counsel

Sending Government bail memorandum arguing against release conditions.

Email
2019-07-08

Re: [Redacted] - Epstein

From: defense attorney
To: Assistant U.S. Attorney

Agreeing to set a time for Tuesday morning.

Email
2019-07-07

RE: [Redacted] - Epstein

From: Assistant U.S. Attorney
To: Joe

Agreeing to schedule a call for Tuesday.

Email
2019-07-07

Re: [Redacted] - Epstein

From: Assistant U.S. Attorney
To: defense attorney

Offering to schedule a call on Tuesday, possibly before the attorney meets with the client.

Email
2019-07-07

[Redacted] - Epstein

From: Joe (Attorney)
To: Assistant U.S. Attorney

Informing SDNY that a former client of late partner Alan Ross was served a grand jury subpoena by an agent earlier that day. Requesting a call.

Email
2019-07-06

RE: case records scanning

From: Assistant U.S. Attorney
To: FBI DocLab/Scanning Team

Requesting a full new scan rather than relying on 2013 data to ensure accuracy for discovery.

Email
2019-07-03

RE: case records scanning

From: Assistant U.S. Attorney
To: FBI DocLab/Scanning Team

Initial introduction from prosecutors. Identifies 23 boxes of papers from FBI case files 72-MM-113327 and 31E-MM-108062.

Email
2019-06-27

FW: travel approval request

From: Legal Assistant (SDNY)
To: Assistant U.S. Attorney

Forwarding info to Budget Admins regarding personal credit card refunds.

Email
2019-05-28

Re: travel approval request

From: Assistant U.S. Attorney
To: Approver (Redacted)

Requesting to fly straight to San Francisco for a wedding after Florida interviews instead of returning to NYC.

Email
2019-05-24

RE: documents for Relativity

From: Assistant U.S. Attorney
To: Redacted Recipient

Request to load 'Boies Schiller first subpoena response' into Relativity folder structure for US v. Epstein.

Email
2019-03-25

travel approval request

From: Assistant U.S. Attorney
To: Approver (Redacted)

Initial request for travel for United States v. Epstein investigation.

Email
2019-03-14

RE: Epstein investigation

From: Assistant U.S. Attorney
To: Unit Chief

Follow up on scanned records (16,000 vs 29,000 pages) and requesting an index.

Email
2019-02-13

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