the defendant

Person
Mentions
996
Relationships
332
Events
485
Documents
491

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.
332 total relationships
Connected Entity Relationship Type
Strength (mentions)
Documents Actions
person Juror 50
Legal representative
17 Very Strong
24
View
organization The government
Legal representative
15 Very Strong
65
View
person Jeffrey Epstein
Co conspirators
13 Very Strong
13
View
organization The government
Adversarial
13 Very Strong
21
View
person Jeffrey Epstein
Business associate
13 Very Strong
23
View
person Epstein
Business associate
12 Very Strong
9
View
person Juror 50
Juror defendant
11 Very Strong
7
View
organization The Court
Legal representative
11 Very Strong
13
View
person Defense counsel
Legal representative
11 Very Strong
10
View
person ALISON J. NATHAN
Judicial
10 Very Strong
6
View
person Defense counsel
Client
10 Very Strong
8
View
person Epstein
Co conspirators
10 Very Strong
14
View
organization GOVERNMENT
Legal representative
10 Very Strong
6
View
person MDC staff
Custodial
10 Very Strong
6
View
organization GOVERNMENT
Adversarial
10 Very Strong
7
View
person Defense counsel
Professional
9 Strong
5
View
person JANE
Abuser victim
9 Strong
5
View
person Giuffre
Legal representative
9 Strong
5
View
person Mr. Everdell
Legal representative
8 Strong
4
View
person Jeffrey Epstein
Co conspirator alleged
8 Strong
4
View
person Epstein
Financial
8 Strong
3
View
person Epstein
Legal representative
8 Strong
3
View
person Minor Victim-3
Abuser victim
7
3
View
location France
Citizenship
7
3
View
person Minor Victim-4
Legal representative
7
3
View
Date Event Type Description Location Actions
N/A Sexual abuse The defendant touched a 16-year-old girl's breasts under the guise of a massage, preparing her to... Epstein's ranch in New Mexico View
N/A Crime The defendant subjected Carolyn to a continuing cycle of sexual abuse, including touching her bre... N/A View
N/A Legal motion The defendant filed a motion (Def. Mot. 12) to preclude the use of the word 'victim' at trial. N/A View
N/A Testimony / deposition A colloquy where an unnamed defendant was questioned about Jeffrey Epstein's activities. The defe... N/A View
N/A Legal case A defamation case where Giuffre alleged she was a victim of a scheme and that Epstein and the def... N/A View
N/A Arrest The Defendant was arrested, at which time she was not living with her spouse and claimed to be ge... N/A View
N/A Law enforcement encounter FBI agents approached the defendant, and she fled, an act described as disobeying their directives. N/A View
N/A Hearing An initial bail hearing was held where the Government expressed doubt about the defendant's repor... N/A View
N/A Arrest The document refers to the year leading up to the defendant's arrest, during which she allegedly ... N/A View
N/A Criminal activity The Defendant allegedly worked with employees and associates to facilitate the exploitation of mi... New York and in Florida View
N/A Trial A high-profile trial lasting thirteen days, which resulted in a guilty verdict by twelve jurors. N/A View
N/A Legal proceeding The document describes the legal standards and procedures for a court making a bail determination... court View
N/A Trip The defendant took Jane on field trips. N/A View
N/A Trip Jane was enticed and coerced to travel to New York. New York View
N/A Crime Sexual abuse of Jane occurred in a room in New York. New York View
N/A Crime The defendant knowingly associated with and facilitated the abuse of Jane over multiple years. N/A View
N/A N/A Transport of minors across state lines Across state lines to Epste... View
N/A Interaction Victims met and interacted with the defendant and Jeffrey Epstein. unspecified times and locat... View
N/A Interaction The defendant and Epstein knew and interacted with certain minor victims when those victims were ... unspecified View
N/A N/A Massages/Sexual Abuse Palm Beach villa and Manhat... View
N/A Legal preparation The defendant reviews discovery materials provided by the Government and her defense counsel usin... MDC View
N/A Quarantine The defendant was previously in quarantine, during which the MDC made an exception to allow her t... isolation cell View
N/A Trial The legal proceeding for which this pre-trial motion's table of contents is prepared. The Court View
N/A Investigation The document outlines motions to preclude evidence or argument about current or prior investigati... N/A View
N/A Civil litigation A prior legal case where the defendant was a 'Prevailing Party', which the filing argues should b... N/A View

DOJ-OGR-00001015.jpg

This document is a transcript from a court proceeding on April 1, 2021. During the hearing, the defendant, after confirming consultation with their attorney, waives the public reading of the indictment and pleads not guilty. The court accepts the plea and then transitions to a scheduling conference, instructing the government's representative, Ms. Moe, to provide a status update on discovery.

Legal document
2025-11-20

DOJ-OGR-00000996.jpg

This document is a page from a Government filing (Case 1:20-cr-00330-AJN) arguing against bail for the defendant (Ghislaine Maxwell). It highlights her significant flight risk due to access to millions of dollars in foreign accounts (Swiss and English banks), recent large financial transfers into a trust, and the cash purchase of a New Hampshire hideout property. The prosecution argues the proposed $5 million bond is insufficient given her wealth.

Court filing / government memorandum (bail argument)
2025-11-20

DOJ-OGR-00000995.jpg

This legal document is a filing by the Government arguing against granting bail to a defendant charged with serious crimes. The Government asserts the defendant is a significant flight risk due to her extensive foreign ties, significant assets including a multi-million dollar property in the United Kingdom, and citizenship in a country that does not extradite to the United States. The filing dismisses the proposed bail package, which relies on foreign property as collateral, as providing "effectively no security at all" because the U.S. Government cannot seize foreign assets.

Legal document
2025-11-20

DOJ-OGR-00000994.jpg

This legal document is a portion of a filing by the Government arguing against granting bail to the defendant. The prosecution contends that the defendant is a significant flight risk due to her considerable but undisclosed financial resources and her history of dishonesty, including alleged perjury in a 2016 civil suit. The document criticizes the defendant's bail proposal for offering no security and for her failure to submit a financial affidavit, which prevents the Court from assessing her true ability to flee.

Legal document
2025-11-20

DOJ-OGR-00000988.jpg

This page is from a government filing (Case 1:20-cr-00330-AJN, U.S. v. Ghislaine Maxwell) dated July 2, 2020, arguing for the defendant's detention pending trial. The government argues that despite COVID-19 concerns, the defendant should remain at the Metropolitan Detention Center (MDC) like other inmates, citing her significant assets, foreign ties, and history of evading detection as flight risks. The document also introduces an argument based on the Crime Victims' Rights Act (CVRA), noting that victims and their counsel have been contacted and seek her detention.

Court filing / government memorandum regarding detention
2025-11-20

DOJ-OGR-00000955.jpg

This document is the conclusion page of a legal memorandum submitted by the United States Government on July 2, 2020, in Case 1:20-cr-00330-AJN (United States v. Ghislaine Maxwell). The filing argues that the defendant poses an 'extreme risk of flight' and requests that any application for bail be denied, asserting that no conditions would assure the defendant's presence in court. It is signed by Assistant US Attorney Alison Moe on behalf of Acting US Attorney Audrey Strauss.

Legal filing (government submission/memorandum)
2025-11-20

DOJ-OGR-00000952.jpg

This document is page 6 of a court filing (Case 1:20-cr-00330-AJN) arguing for the detention of a female defendant (identified by context as Ghislaine Maxwell). The prosecution argues she is a significant flight risk due to her wealth, multiple citizenships (US, UK, France), and possession of three passports. It notes she has taken at least 15 international flights in the last three years to locations including the UK, Japan, and Qatar.

Court filing / legal memorandum (detention memo)
2025-11-20

DOJ-OGR-00000872.jpg

This legal document, a page from a court filing, analyzes the legal ambiguity surrounding the timing of nationality assessment for an extradition request under the U.S.-France Extradition Treaty. It presents conflicting interpretations, with the treaty and French law suggesting nationality is assessed at the time of the offense, while the Defendant's expert argues for the time of the request. This uncertainty complicates the Defendant's potential renunciation of French citizenship as a means to prevent extradition.

Legal document
2025-11-20

DOJ-OGR-00000869.jpg

This document is page 6 of a court order filed on March 22, 2021, in the case of United States v. Ghislaine Maxwell (Case 1:20-cr-00330-AJN). The Court denies the Defendant's third request for release on bail, concluding that she remains a significant flight risk and that no conditions can reasonably assure her appearance. The judge cites the nature of the charges involving a minor victim as a strong factor favoring continued detention.

Court order / legal opinion
2025-11-20

DOJ-OGR-00000865.jpg

This document is Page 2 of a Court Order filed on December 28, 2020 (Case 1:20-cr-00330-AJN), denying the Defendant's (Ghislaine Maxwell) third motion for release on bail. The Court rejects new proposals, including renouncing French and British citizenship and placing assets in a monitored account, reaffirming that she remains a flight risk with substantial resources and foreign ties. It references previous denials from July and December 2020 and notes her continued incarceration at the Metropolitan Detention Center.

Court order / legal filing
2025-11-20

DOJ-OGR-00000809.jpg

This legal document details the extensive financial assets of a defendant, including hundreds of millions in equities and numerous high-value properties, to argue against a bail package. The government contends that these assets, along with recently discovered cash and diamonds, provide the defendant with the means to flee the jurisdiction. The document also references the defendant's past alleged criminal conduct, including working with associates to exploit minors.

Legal document
2025-11-20

DOJ-OGR-00000620.jpg

This is page 9 of a court transcript from Case 1:19-cr-00490-RMB (United States v. Jeffrey Epstein), filed on August 6, 2019. The Judge (The Court) rules to exclude time from the Speedy Trial Act calculations to allow for extensive pretrial preparation and tentatively schedules a trial for June 8, 2020. Defense attorney Mr. Weinberg requests oral arguments for motions, which the court schedules for October 28, 2019.

Court transcript
2025-11-20

DOJ-OGR-00000598.jpg

This document is page 4 of a court order from case 1:19-cr-00490-RMB, filed on July 25, 2019, related to Jeffrey Epstein. The order prohibits the defense team (including the Defendant, counsel, staff, and experts) from publicly filing any information from the Discovery materials without prior authorization from the Government or the Court. It mandates that any court filings incorporating Discovery information must be filed under seal and also addresses the handling of materials marked as "confidential" by the Government.

Legal document
2025-11-20

DOJ-OGR-00000597.jpg

This document is Page 3 of a Protective Order filed on July 25, 2019, in the case USA v. Jeffrey Epstein (Case 1:19-cr-00490-RMB). It outlines strict protocols for handling 'Discovery' materials, including requirements for encryption and password protection when sharing with defense staff or experts. It explicitly prohibits the Government, the Defendant, or Counsel from posting any discovery information on the Internet or social media.

Court filing / protective order (page 3 of 9)
2025-11-20

DOJ-OGR-00000596.jpg

This document is page 2 of a court order filed on July 25, 2019, in case 1:19-cr-00490-RMB. The order establishes strict rules for handling discovery materials, stipulating they are for defense purposes only and cannot be copied or transmitted by the defendant. It specifies that only the Defense Counsel can disclose the information to a limited group of 'Designated Persons,' including defense staff, experts, and others authorized by the Court.

Legal document
2025-11-20

DOJ-OGR-00000576.jpg

This document is a page from a court transcript dated July 24, 2019, from a case in the Southern District. A speaker, likely a prosecutor, argues against granting bail to a defendant, claiming he is a flight risk due to a lengthy, covert government investigation and his recent indictment. The judge ('THE COURT') questions the speaker about a recent submission that mentioned victims or their counsel oppose the defendant's release and asks if any of them wish to be heard.

Legal document
2025-11-20

DOJ-OGR-00000572.jpg

This document is page 62 of a court transcript from July 24, 2019, appearing to be a bail hearing for Jeffrey Epstein (Case 1:19-cr-00490-RMB). A prosecutor argues against the defendant's request for home detention, describing it as a 'gilded cage' and 'private jail' that necessitates actual detention. The prosecutor also clarifies that the SDNY case was independently investigated by the FBI, CBP, and NYPD, explicitly stating there was no coordination with the Southern District of Florida regarding the initiation of this specific case.

Court transcript
2025-11-20

DOJ-OGR-00000557.jpg

This document is page 47 of a court transcript from July 24, 2019, in the case United States v. Epstein (1:19-cr-00490). Defense attorney Mr. Weinberg is arguing against the government's claim that payments of $250,000 and $100,000 made by the defendant constituted witness tampering or obstruction of justice. Weinberg contends these were acts of generosity to employees or friends and argues that, under the Aguilar Supreme Court precedent, these actions do not rise to federal obstruction because there was no pending judicial proceeding at the time.

Court transcript (detention hearing)
2025-11-20

DOJ-OGR-00000526.jpg

This court transcript from July 24, 2019, captures a government representative, Mr. Rossmiller, arguing against a defendant's request for home confinement. Rossmiller contends the defendant's vast financial resources make them a flight risk, a claim bolstered by the recent discovery of a safe in the defendant's mansion containing large amounts of cash, diamonds, and a fraudulent foreign passport. The Court questions the specifics of this new evidence, such as whether the cash had been counted.

Legal document
2025-11-20

DOJ-OGR-00000525.jpg

This document is page 15 of a transcript from a bail hearing filed on July 24, 2019, in the case against Jeffrey Epstein (Case 1:19-cr-00490-RMB). The prosecutor argues that the defendant's financial disclosure is insufficient, unsworn, and fails to list accounts, currencies, or high-value assets like diamonds and art found during the search of his Manhattan mansion. The government further argues that the Manhattan mansion cannot be used as security for a bond because the government has already designated it for seizure.

Court transcript (bail hearing)
2025-11-20

DOJ-OGR-00000524.jpg

This document is a page from a court transcript (dated July 24, 2019) in the case of United States v. Jeffrey Epstein (Case 1:19-cr-00490-RMB). Prosecutor Mr. Rossmiller argues against bail, citing a strengthened investigation, the defendant's potential 45-year sentence, and the admission that the government can prove the defendant engaged in sex acts with minors. Rossmiller also criticizes the defendant's financial disclosure form as cursory and insufficient.

Court transcript
2025-11-20

DOJ-OGR-00000520.jpg

This document is a page from a court transcript dated July 24, 2019, from case 1:19-cr-00490-RMB. In the transcript, a government lawyer, Mr. Rossmiller, argues before a judge for the pretrial detention of a defendant, citing an extraordinary risk of flight and danger to the community. Rossmiller states that for the sex trafficking offense charged, there is a legal presumption for detention which the defendant has not provided any information to rebut.

Legal document
2025-11-20

DOJ-OGR-00000497.jpg

This document is a page from a government filing (July 18, 2019) arguing against bail for Jeffrey Epstein. It details his immense wealth, listing specific property values totaling hundreds of millions of dollars, and notes the discovery of over $70,000 in cash and loose diamonds in his safe, which the government argues indicates a flight risk. The document also asserts that Epstein previously used employees to facilitate the exploitation of minors in New York and Florida.

Court filing (government memorandum regarding bail/detention)
2025-11-20

DOJ-OGR-00000428.jpg

A transcript page from a July 16, 2019 court hearing (Case 1:19-cr-00490-RMB). Prosecutor Rossmiller argues that the previous non-prosecution agreement was limited to the Southern District of Florida and that current charges involve New York victims, distinct from previous conduct. The Judge interrupts to object to the minimization of 'statutory rape' with the word 'only'.

Court transcript
2025-11-20

DOJ-OGR-00000424.jpg

This document is page 19 of a court transcript from Case 1:19-cr-00490-RMB, filed on July 16, 2019. Defense attorney Mr. Weingarten requests an adjournment of the detention hearing to the end of the week to prepare a written bail package, noting they had just met the client that day. The government attorney, Mr. Rossmiller, does not object, provided the defendant consents to detention in the interim under statute 3142(f).

Court transcript
2025-11-20
Total Received
$459,768,958.00
14 transactions
Total Paid
$45,550,000.00
31 transactions
Net Flow
$414,218,958.00
45 total transactions
Date Type From To Amount Description Actions
N/A Paid the defendant Security Guards $0.00 Defendant proposes to pay for on-premises secur... View
N/A Paid the defendant Young girls $0.00 Cash payments handed to girls after massage app... View
N/A Paid the defendant Bank Accounts $0.00 Placing assets into accounts held under other n... View
N/A Paid the defendant Unnamed real esta... $0.00 Purchasing a home using a trust in another name. View
N/A Paid the defendant Unknown (Employee... $250,000.00 Payment discussed by The Court and Defense as p... View
N/A Paid the defendant Unknown (Employee... $100,000.00 Payment discussed by The Court and Defense as p... View
N/A Paid the defendant Security Guards $0.00 Proposal that Defendant would pay for on-premis... View
N/A Received Epstein the defendant $0.00 Receipt of funds mentioned in context of missin... View
N/A Paid the defendant Spouse/Husband $0.00 Transfer of 'millions of dollars' of assets thr... View
N/A Paid the defendant CAROLYN $0.00 Paid twice as much when she brought friends to ... View
N/A Paid the defendant Virginia $0.00 Paid more as encouragement to recruit additiona... View
N/A Received Sale of Property the defendant $0.00 Sale of the Manhattan townhouse, noted as the p... View
N/A Paid the defendant Various Accounts $0.00 Placing assets into accounts held under other n... View
N/A Paid the defendant Unknown seller $0.00 Purchase of a real estate transaction under a f... View
N/A Paid the defendant US $0.00 Purchasing a home using a trust in another name. View
N/A Received Jeffrey Epstein the defendant $0.00 Hypothetical 'absence of payments' mentioned as... View
N/A Paid the defendant Real Estate Selle... $0.00 Purchase of a real estate transaction under a f... View
N/A Paid the defendant Virginia $0.00 Monetary incentives used to encourage Virginia ... View
N/A Paid the defendant Security Guards $0.00 Proposal that Defendant would pay for on-premis... View
N/A Received N/A the defendant $70,000.00 Cash found in safe at NY home. View
N/A Paid the defendant Unknown $0.00 Purchase of Kinnerton Street residence View
2025-03-01 Paid the defendant Marital Assets $20,000,000.00 Amount brought to the marriage by the defendant... View
2023-02-28 Paid the defendant Court/Government $750,000.00 Fine imposed as part of sentencing View
2022-07-08 Paid the defendant Court/Government $750,000.00 Fine imposed as part of sentencing. View
2022-07-08 Paid the defendant Court/Government $750,000.00 Criminal Fine imposed during sentencing View
As Sender
73
As Recipient
17
Total
90

Argument on the merits of Juror 50's motion to intervene

From: the defendant
To: THE COURT

Previews argument regarding Juror 50's motion, claiming it is a discovery request.

Letter
N/A

Legal Defense

From: the defendant
To: attorneys

Review of discovery materials and legal consultation.

Meeting
N/A

N/A

From: the defendant
To: victims

Hypothetical 'absence of phone calls' mentioned as a potential argument by the defense regarding missing phone records.

Call
N/A

Sexual Topics

From: the defendant
To: Girls

Defendant discussed sexual topics with girls to make them comfortable with sexual contact involving Epstein.

Conversation
N/A

Legal Consultation

From: the defendant
To: Defense counsel

5 hours per weekday (25 hours/week) of attorney calls.

Video teleconference (vtc)
N/A

Legal Consultation

From: the defendant
To: attorneys

Calls placed from the day room phone.

Phone call
N/A

Sentencing Arguments

From: the defendant
To: THE COURT

Defendant's brief cited at page 12 regarding legislative history.

Legal brief
N/A

Questioning regarding guilt

From: the defendant
To: Interviewer

Defendant was asked 'did you do that' and answered 'no', leading to perjury charges.

Deposition
N/A

Motion for a New Trial

From: the defendant
To: THE COURT

Referenced as 'The Defendant's Motion for a New Trial'

Legal motion
N/A

Identification

From: FBI agents
To: the defendant

Announced themselves as federal agents.

Verbal
N/A

Financial Assets

From: the defendant
To: Pretrial Services

Defendant reported approximately $3.8 million in assets; Government claims this was less than candid.

Interview
N/A

Recruitment of minors

From: Giuffre's Counsel
To: the defendant

Q. Can you list for me all the girls that you have met and brought to Jeffrey Epstein’s house that were under the age of 18?

Deposition questioning
N/A

Request 2(c)

From: the defendant
To: THE COURT

Request seeking documentation of dates on which Juror 50 opened and closed social media accounts.

Subpoena request
N/A

No Subject

From: the defendant
To: Unknown

Defendant stated ''92, '93 was when I was there' regarding the residence.

Deposition transcript
N/A

Appointments

From: the defendant
To: CAROLYN

Called to set up appointments with Carolyn at Epstein's mansion.

Call
N/A

Personal Life

From: the defendant
To: CAROLYN

Talked about family problems, traumatic personal experiences, and goals; compliemented her body.

Conversation
N/A

Legal Defense

From: the defendant
To: Defense counsel

Communications regarding defense preparation and review of discovery

Meeting
N/A

Response Letter (Dkt. No. 331)

From: the defendant
To: THE COURT

Raised two issues: seeking identities of co-conspirators and disclosure of co-conspirator statements.

Letter
N/A

Mem. of Law (Dkt. No. 293)

From: the defendant
To: THE COURT

Pretrial motions requesting identification of uncharged co-conspirators.

Memo
N/A

Legal consultation

From: the defendant
To: Defense counsel

Phone conversations observed visually but not audibly by MDC staff.

Call
N/A

Dkt. No. 569

From: the defendant
To: THE COURT

Informing the Court about the juror's interviews.

Letter
N/A

Dkt. No. 570

From: the defendant
To: THE COURT

Opposing the Government's request for a hearing and arguing for a new trial.

Letter
N/A

Civil matter depositions

From: the defendant
To: litigants

Two depositions in a civil matter where the defendant allegedly made false material declarations.

Deposition
N/A

Code of Silence

From: the defendant
To: Employees

Instructed employees not to speak directly with Epstein, not to talk to visitors, and to 'see nothing, hear nothing, say nothing.'

Instructions/rules
N/A

Instruction

From: the defendant
To: Virginia

Directed Virginia to show Carolyn how to sexually gratify Epstein.

Instruction
N/A

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