| Connected Entity | Relationship Type |
Strength
(mentions)
|
Documents | Actions |
|---|---|---|---|---|
|
person
Lara Pomerantz
|
Employment |
5
|
1 | |
|
organization
FBI
|
Professional collaborative |
1
|
1 | |
|
organization
Southern District of Florida
|
Legal representative |
1
|
1 | |
|
organization
Southern District of Florida
|
Jurisdictional separation |
1
|
1 | |
|
organization
DEPARTMENT OF JUSTICE
|
Institutional independence |
1
|
1 | |
|
organization
OFF
|
Business associate |
1
|
1 | |
|
person
Epstein's attorneys
|
Legal representative |
1
|
1 | |
|
person
GHISLAINE MAXWELL
|
Subject of prosecution |
1
|
1 | |
|
person
Redacted Sender
|
Employment |
1
|
1 | |
|
person
Jack Scarola
|
Legal representative |
1
|
1 | |
|
person
[Redacted] AUSA
|
Employment |
1
|
1 | |
|
person
Efrain Reyes
|
Defendant prosecutor |
1
|
1 | |
|
organization
Oath Keepers
|
Legal representative |
1
|
1 | |
|
person
GHISLAINE MAXWELL
|
Investigation subject |
1
|
1 | |
|
person
Judge Nathan
|
Judicial |
1
|
1 | |
|
person
Epstein Investigation (2018R01618)
|
Investigating authority |
1
|
1 | |
|
organization
Southern District of Florida
|
Jurisdictional dispute |
1
|
1 | |
|
person
GHISLAINE MAXWELL
|
Legal representative |
1
|
1 | |
|
person
MAURENE COMEY
|
Employee |
1
|
1 | |
|
person
MR. EPSTEIN
|
Legal representative |
1
|
1 |
| Date | Event Type | Description | Location | Actions |
|---|---|---|---|---|
| N/A | N/A | Prosecution of Ghislaine Maxwell by the Southern District of New York | New York | View |
| N/A | N/A | Ghislaine Maxwell's lawyers were in touch with the Southern District of New York. | Southern District of New York | View |
| N/A | N/A | Southern District of New York was in touch with Mr. Epstein. | N/A | View |
| 2020-06-10 | N/A | UMB received a request/subpoena regarding Ghislaine Maxwell. | UMB (Kansas City, MO) | View |
| 2019-07-17 | N/A | Filing of detention submission document for JE (Jeffrey Epstein). | New York, NY | View |
| 2019-01-01 | N/A | Miami Herald filed federal court motion seeking access to sealed documents. | Southern District of New York | View |
This document contains an email exchange between Jeffrey Pop, an attorney, and an Assistant U.S. Attorney from the Southern District of New York, dated December 23-24, 2019. The correspondence concerns an ongoing SDNY investigation related to an unnamed individual's interactions with Jeffrey Epstein, with the AUSA stating that there is currently no reason to believe the individual has criminal exposure, while Pop indicates he will consult with an associate and advise on the timing of a future attorney proffer.
This document contains a chain of internal emails from the Southern District of New York (SDNY) requesting travel authorization for the investigation 'United States v. Epstein' (Case 2018R01618). The emails track multiple trips taken by Assistant U.S. Attorneys and their teams between March 2019 and December 2019 to Los Angeles, West Palm Beach, and Fort Lauderdale for the purpose of conducting interviews with victims and witnesses. Detailed booking information is provided for a trip in December 2019, including commercial flights on Delta and JetBlue and a stay at the DoubleTree in Santa Monica.
An email dated November 30, 2018, sent by an Assistant United States Attorney from the Southern District of New York regarding 'Epstein'. The email contains several attachments related to case 08-Civ-80736 (likely the CVRA lawsuit in Florida) and the Non-Prosecution Agreement (NPA).
An email thread from January 2019 involving the U.S. Attorney's Office for the Southern District of New York (SDNY). An Assistant U.S. Attorney requests the setup of a 'Relativity' database for the case 'U.S. v. Epstein' (Case ID 2018R01618 is referenced in a subject line) to manage FBI materials and reports. The correspondence discusses the logistical setup of user access via RSA tokens and mentions the anticipation of receiving a 'large amount of case files' in the near future.
This document is an email chain from December 10, 2018, involving members of an NYPD/FBI Child Exploitation Human Trafficking Task Force and an Assistant United States Attorney from the Southern District of New York (SDNY). The correspondence concerns the sharing of 'Epstein reports' and 'SOMU records' (likely Sex Offender Management Unit). The participants also coordinate a conference call to discuss items in preparation for an event scheduled for the following Wednesday.
This document is an email chain from December 10, 2018, involving a Detective from the NYPD/FBI Child Exploitation Human Trafficking Task Force and an Assistant United States Attorney from the Southern District of New York. They are exchanging reports related to Epstein, specifically mentioning 'DAS search', 'Parking Summons', and 'SOMU records'. The correspondence also involves coordinating a conference call to touch base, noting that the recipients are busy preparing for an event on the upcoming Wednesday.
An internal email dated March 26, 2021, from an Assistant United States Attorney at the Southern District of New York (SDNY). The attorney is circulating specific documents (attachments USVP00157303.pdf and USVP00157304.pdf) that were found during a review process.
This document is an internal email chain between Assistant United States Attorneys in the Southern District of New York dated March 24-25, 2021. The correspondence concerns drafting a response to a discovery demand made by Ghislaine Maxwell (referred to as 'GM' and 'Maxwell'). The emails include attachments referencing a letter to the USAO regarding discovery and FOIA requests.
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.
This document is an email chain from August and September 2019 involving the Southern District of New York (SDNY) regarding the case 'US v. Epstein'. The correspondence discusses the technical processing of evidence seized from Jeffrey Epstein's Manhattan residence, specifically loading data extracted from hard drives into the Relativity platform for privilege review. It clarifies that the data in question originated from the Manhattan search warrant returns and explicitly excludes materials seized from the US Virgin Islands.
An email dated July 13, 2020, from a U.S. Pretrial Services Officer in the Southern District of New York regarding Ghislaine Maxwell. The email attaches a bail report (filename: 6653181._Maxwell,_Ghislaine.pdf) and notes that Maxwell is scheduled for a remote appearance the following day. It includes strict confidentiality warnings citing Local Rule 57.1 and Title 18 U.S.C. § 3153(c)(1).
An email dated July 13, 2020, from a U.S. Pretrial Services Officer Specialist in the Southern District of New York. The email conveys a corrected final report regarding Ghislaine Maxwell (attached as a PDF) to replace a previous version that contained a minor typo regarding dates.
This document is an internal email chain from July 2020 within the Southern District of New York (SDNY) US Attorney's Office. A Victim Witness Coordinator requests confirmation that the Ghislaine Maxwell case (20 Cr 330) is designated as a 'victim case.' A colleague confirms this, noting that it falls under the 'Epstein investigation USAO,' identified by the reference number 2018R01618.
An email dated November 24, 2021, from an Assistant United States Attorney (SDNY) to opposing counsel regarding a deadline for a protective order related to Rule 17(c) subpoena materials. The email includes an attachment with 'GM' in the filename, strongly suggesting the context is the Ghislaine Maxwell trial proceedings.
This document is an email dated November 20, 2021, from an Assistant United States Attorney in the Southern District of New York regarding witness travel for the Ghislaine Maxwell trial. The email attaches a travel request form for a male witness who is scheduled to testify under a pseudonym.
This document is an email from an Assistant United States Attorney (SDNY) to the Chambers of Judge Alison J. Nathan regarding the case US v. Maxwell. Dated November 20, 2021, the email submits proposed redactions for the transcripts of the voir dire (jury selection) proceedings that took place on November 16, 17, and 18, 2021.
An email dated November 19, 2021, from an Assistant United States Attorney in the Southern District of New York regarding the case 'US v. Maxwell'. The email conveys a letter motion submitted by the Government temporarily under seal. Key participant names and contact details are redacted.
An email dated March 27, 2020, sent by an unnamed Assistant U.S. Attorney from the Southern District of New York. The email transmits two PDF attachments related to a 'draft submission' and 'redlined' documents, likely legal filings or agreements. The specific subject matter and identities are redacted.
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.
An email chain from November 2021 between personnel at the Southern District of New York regarding the opening of the Ghislaine Maxwell trial. An Assistant U.S. Attorney sends a motivational message distinguishing the SDNY from Florida prosecutors who handled previous Epstein cases, asserting the office's commitment to justice for historical crimes, and providing logistical details for staff wishing to attend the opening statements.
This document is an email dated November 17, 2021, from an Assistant United States Attorney in the Southern District of New York. The email discusses an outline for a conversation/interview with a redacted individual scheduled for that day. It references the recipient currently being busy with 'jury selection,' which aligns with the timeline of the Ghislaine Maxwell trial.
This document is an email exchange dated August 14, 2019, between an Assistant United States Attorney for the Southern District of New York and a colleague. They are collaborating on a PowerPoint presentation and outline regarding 'Brass materials' to be sent to their supervisors ('the chiefs'). The exchange involves sharing updated files and coordinating content contributions.
This document is an email chain dated August 14, 2019, between an Assistant United States Attorney from the Southern District of New York and redacted recipients. The correspondence coordinates a 'Proffer with witness' scheduled for the following day at 2:30 PM. Notably, the email references the inclusion of a 'lead OIG agent' in the meeting and includes an attachment titled 'Epstein_Investigative_Reports.pdf', indicating the investigation relates to Jeffrey Epstein shortly after his death (which occurred on Aug 10, 2019).
An email dated August 14, 2019—four days after Jeffrey Epstein's death—from an Assistant United States Attorney at the Southern District of New York. The email transmits an attachment titled 'MCC_Timeline.xlsx', described as a 'chron' (chronology) the team put together, likely detailing events at the Metropolitan Correctional Center related to Epstein's detention or death.
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