| Connected Entity | Relationship Type |
Strength
(mentions)
|
Documents | Actions |
|---|---|---|---|---|
|
person
GHISLAINE MAXWELL
|
Business associate |
26
Very Strong
|
25 | |
|
person
MAXWELL
|
Business associate |
13
Very Strong
|
30 | |
|
person
Ms. Maxwell
|
Business associate |
13
Very Strong
|
23 | |
|
person
MAXWELL
|
Legal representative |
13
Very Strong
|
15 | |
|
location
United States
|
Legal representative |
13
Very Strong
|
19 | |
|
person
the defendant
|
Business associate |
12
Very Strong
|
9 | |
|
person
Lefkowitz
|
Client |
11
Very Strong
|
7 | |
|
organization
SDNY
|
Legal representative |
11
Very Strong
|
11 | |
|
person
Jack Goldberger
|
Client |
11
Very Strong
|
7 | |
|
person
CAROLYN
|
Abuser victim |
11
Very Strong
|
7 | |
|
person
defendant
|
Co conspirators |
11
Very Strong
|
11 | |
|
person
Ms. Maxwell
|
Co conspirators |
11
Very Strong
|
11 | |
|
person
Edwards
|
Legal representative |
11
Very Strong
|
10 | |
|
person
MAXWELL
|
Friend |
11
Very Strong
|
19 | |
|
person
MAXWELL
|
Co conspirators |
11
Very Strong
|
56 | |
|
person
Juan Alessi
|
Employee |
11
Very Strong
|
6 | |
|
person
MAXWELL
|
Co conspirator |
10
Very Strong
|
6 | |
|
person
Acosta
|
Prosecutor defendant |
10
Very Strong
|
6 | |
|
person
R. ALEXANDER ACOSTA
|
Legal representative |
10
Very Strong
|
6 | |
|
person
Lefcourt
|
Client |
10
Very Strong
|
6 | |
|
person
GHISLAINE MAXWELL
|
Friend |
10
Very Strong
|
6 | |
|
person
JANE
|
Abuser victim |
10
Very Strong
|
8 | |
|
person
the defendant
|
Co conspirators |
10
Very Strong
|
14 | |
|
location
Palm Beach residence
|
Ownership |
10
Very Strong
|
5 | |
|
person
USAO-SDFL
|
Legal representative |
10
Very Strong
|
5 |
| Date | Event Type | Description | Location | Actions |
|---|---|---|---|---|
| N/A | N/A | Provision regarding USAO's efforts to obtain Epstein's computers and the safeguarding of these co... | N/A | View |
| N/A | N/A | Epstein's alleged sexual molestation of minor girls on a daily basis for many years, including at... | West Palm Beach mansion | View |
| N/A | N/A | Discussion about Ghislaine Maxwell's relationship with Epstein continuing and her responsibilitie... | N/A | View |
| N/A | N/A | Litigation involving Epstein where his lawyers attacked the credibility of the girls. | N/A | View |
| N/A | N/A | Discovery process blocked by Epstein and co-conspirators, leading to the need for alternative inv... | N/A | View |
| N/A | N/A | Ghislaine Maxwell began looking for real estate for her dad and Epstein asked for help finding an... | N/A | View |
| N/A | N/A | Epstein asked Ghislaine Maxwell to continue helping him (find a house, etc.) after her father's d... | N/A | View |
| N/A | N/A | Epstein's alleged criminal scheme and the defense's efforts to secure non-prosecution and immigra... | N/A | View |
| N/A | N/A | Agreement provisions precluding criminal charges and immigration proceedings against certain indi... | N/A | View |
| N/A | N/A | Federal investigation resolved through a Non-Prosecution Agreement (NPA). | N/A | View |
| N/A | N/A | Epstein's plea agreement and sentencing for an 18-month incarceration, reduced from a 'non-negoti... | N/A | View |
| N/A | N/A | Plaintiffs' motion to deny a protective order, which seeks to exclude Epstein from depositions, i... | Court proceedings | View |
| N/A | N/A | Minor girl (Jane Doe #5) was taken to Epstein's mansion on El Brillo Way for massages and/or sex ... | Epstein's mansion on El Bri... | View |
| N/A | N/A | Epstein serving 12 months of house arrest at his Palm Beach home, with curfew, no unsupervised co... | Palm Beach home | View |
| N/A | N/A | District Court's findings and application of sentencing guidelines, including a four-level leader... | N/A | View |
| N/A | N/A | 11-month investigation by Palm Beach police into Epstein paying underage girls for massages and s... | El Brillo Way home | View |
| N/A | N/A | State Attorney Barry Krischer declined to prosecute Epstein on unlawful sex acts with minors, ins... | N/A | View |
| N/A | N/A | Notification received by OPR from FBI and USAO regarding federal investigation and Epstein's plea. | N/A | View |
| N/A | N/A | Epstein's state plea hearing. | N/A | View |
| N/A | N/A | Menchel made substantive changes to Villafaña's draft letter concerning Epstein's plea deal, incl... | N/A | View |
| N/A | N/A | Epstein's plea deal (non-prosecution agreement) for two prostitution charges. | state court | View |
| N/A | N/A | Epstein served 13 months in Palm Beach County jail with work release privileges. | Palm Beach County jail | View |
| N/A | N/A | FBI investigation into Epstein's international sex trafficking organization was quashed. | N/A | View |
| N/A | N/A | Relocation of victims from Palm Beach to other places in the U.S. (including Southern District of... | Palm Beach, other places in... | View |
| N/A | N/A | Epstein's attempt to get out of the NPA after it was signed. | N/A | View |
This legal document, part of a court filing from July 2, 2020, provides background on a sealed indictment returned on June 29, 2020. The indictment charges the defendant, Maxwell, with multiple crimes related to a scheme with Epstein to sexually abuse underage girls between 1994 and 1997. The document alleges Maxwell, a close associate of Epstein, played a key role in identifying, grooming, and causing minors to travel to Epstein's properties in New York, Florida, and New Mexico for abuse.
This page of a legal indictment details specific allegations against Ghislaine Maxwell. It accuses her of facilitating the sexual abuse of two minors in the mid-1990s: providing an unsolicited massage to 'Minor Victim-2' in New Mexico and encouraging 'Minor Victim-3' to massage Jeffrey Epstein in London. The document also outlines Count Four, charging Maxwell with the transportation of a minor between 1994 and 1997 for the purpose of criminal sexual activity.
This legal document, part of a court filing, alleges that Ghislaine Maxwell groomed and facilitated the sexual abuse of a minor, referred to as Minor Victim-3, by Epstein in London between 1994 and 1995. The document further claims that in a 2016 deposition for a civil case, Maxwell committed perjury by providing false statements to conceal her role in these activities.
This legal document, part of a court filing, alleges Ghislaine Maxwell's direct involvement in the sexual abuse and trafficking of two minors alongside Jeffrey Epstein. It claims Maxwell facilitated the abuse of "Minor Victim-1" by involving her in sexualized massages and encouraging her travel to Epstein's residences in New York and Florida. The document also details Maxwell's alleged grooming of "Minor Victim-2" in New Mexico around 1996, stating Maxwell knew the victim was underage and actively prepared her for abuse by Epstein.
This document appears to be page 6 of a court filing (Case 1:20-cr-00330-AJN, filed June 29, 2020) related to the prosecution of Ghislaine Maxwell or associates. It formally identifies and provides photographic evidence of two properties owned by Jeffrey Epstein: an estate in Palm Beach, Florida, and a ranch in Santa Fe, New Mexico, labeling them as defined terms for the legal proceedings.
This page from a legal filing by the Law Offices of Bobbi C. Sternheim argues that recent voluminous discovery materials, including witness interviews, contain exculpatory information for Ms. Maxwell that requires significant time to investigate. The defense disputes the government's claim that no additional time is needed, asserting that millions of pages from Epstein's devices, previously irrelevant, are now pertinent due to the expanded scope of the superseding indictment.
This legal filing argues that the case against Ms. Maxwell is weak because the anonymous accusers' stories are contradictory, uncorroborated, and fabricated for money and fame, only emerging after Epstein's death. The document also contends that the district judge erred by accepting the indictment as proof of a strong case and that the government's reliance on legal precedents is misplaced due to a lack of meaningful evidence presented.
This legal document details Judge Nathan's reasoning for denying bail to Maxwell. The judge found that the government had proven Maxwell is a substantial flight risk, citing her failure to provide her whereabouts, her significant and opaque financial resources, and her demonstrated sophistication in hiding herself and her assets. Consequently, Judge Nathan concluded that even the most restrictive release conditions would be insufficient to ensure her appearance in court.
This legal document is a page from a court filing that discusses the enforceability of an anticipatory waiver of extradition, likely in the context of Ghislaine Maxwell's case. The author argues that the defendant has not provided cases where such waivers are enforceable and cites several past court decisions (e.g., Epstein, Morrison, Stroh) where courts have deemed such waivers unenforceable, invalid until a formal request is made, or an 'empty gesture'. The document contrasts these with cases cited by the defense (e.g., Cirillo, Salvagno) where waivers were considered but were not the central factor in the court's reasoning.
This document is page 10 of a court order filed on December 30, 2020, in the case against Ghislaine Maxwell (Case 1:20-cr-00330-AJN). The court argues that the government's case is strong, citing anticipated testimony from three witnesses regarding the enticement of minors and corroborating flight records linking the Defendant to Epstein. The court concludes that the strength of the case creates a flight risk, supported by the Defendant's international ties, foreign citizenships, and significant financial resources.
This document is a defense filing arguing that the government has not met its burden in opposing bail for Ms. Maxwell. It asserts that her spouse and friends have come forward to support her bond, demonstrating strong ties to the U.S., contrary to the government's claims. It also addresses footnotes regarding the government's failure to scrutinize accusers and the defense's ongoing legal challenges to the indictment.
This legal document, a letter dated December 15, 2020, from Boies Schiller Flexner LLP, contains a statement from Annie Farmer opposing Ghislaine Maxwell's renewed motion for bail. Farmer, a victim of Maxwell, details Maxwell's history of abuse, manipulative behavior, and flight risk, arguing that Maxwell is a psychopath who lacks remorse and would flee to avoid justice. The statement emphasizes the need for Maxwell to stand trial to ensure justice for her victims.
This legal document is a page from a court's analysis distinguishing the current defendant's case from several cited legal precedents regarding pre-trial detention. The court contrasts cases where defendants were released (Khashoggi, Bodmer) with cases where they were detained (Boustani, Ho, Epstein), focusing on factors that justify detention such as flight risk, substantial financial resources, dual citizenship, and ties to foreign countries without extradition treaties like Brazil.
This legal document discusses the corroboration of victims' accounts against a defendant involved in Epstein's criminal scheme to sexually abuse minors. It addresses the defense's arguments regarding the sufficiency of evidence and witness testimony, asserting that multiple victims will provide consistent testimony about the defendant's role in grooming and enticing minor girls. The document also notes that the defendant has abandoned certain legal challenges related to bail after receiving discovery.
This document is page 6 of a court filing (Document 100) from case 1:20-cr-00330 (United States v. Ghislaine Maxwell), filed on December 28, 2020. It details the procedural history following the defendant's arrest on July 2, 2020, specifically focusing on the July 14, 2020 bail hearing where the defense argued for release based on family ties, offers of private security, and cooperation with the government following Jeffrey Epstein's arrest. The text includes transcripts of defense counsel offering to provide further financial verification and suretor information to satisfy the court's concerns regarding flight risk and financial transparency.
This document is a 'Table of Authorities' from a legal filing dated June 25, 2018, associated with case number 201cr7-00330-AJN. It lists numerous U.S. federal court cases cited as legal precedent, with decisions spanning from 1985 to 2019. The vast majority of the cases listed are criminal proceedings with the United States as the plaintiff against various individual defendants.
This legal document, filed on behalf of Ghislaine Maxwell, argues that she was not a flight risk prior to her arrest. It asserts that she intentionally moved to New Hampshire to be within driving distance of New York prosecutors and that her legal counsel was in regular, documented contact with the government for months. The filing aims to counter the government's portrayal of her as a fugitive by demonstrating her intent to remain in the U.S. and face any potential charges.
This legal document, filed on August 26, 2020, details numerous violent threats made against Ghislaine Maxwell on social media. It argues that the intense and threatening media attention, fueled by conspiracy theories like QAnon and Pizzagate, made it impossible for her to live a quiet life and forced her to separate from her spouse and leave her home for safety. The document includes direct quotes of the threats and a statement from her spouse describing the terrifying environment.
This legal document argues for Ms. Maxwell to be released on restrictive bail. Her defense contends that the government's case lacks corroborating evidence, relies on old testimony, and that her oppressive confinement conditions at the MDC, including a COVID-19 outbreak, are unjust and impede her ability to prepare her defense. The filing also asserts she is not a flight risk, citing expert opinions on extradition from the UK and France.
This document is a page from a court transcript dated April 1, 2021. Defense attorney Mr. Cohen argues to the Judge that the government is unfairly introducing new facts late in the process, depriving the defense of a written response. Cohen then pivots to defending his client's character, explicitly stating she is 'not Epstein' and not a 'monster,' emphasizing her strong family and professional support network present on the call anonymously for safety reasons.
This document is a legal defense filing arguing that Ms. Maxwell is not a flight risk because her potential prison sentence is likely only 10 years, contrary to the government's claims of "decades." It outlines significant legal challenges the defense intends to raise, including a prior non-prosecution agreement involving Epstein, statute of limitations issues, and the difficulty of prosecuting decades-old conduct.
This legal document argues that Ms. Maxwell is not a flight risk, citing prior court decisions where defendants who knew of impending charges did not flee. It emphasizes that the government had no evidence of Ms. Maxwell planning to leave the country and arrested her without warning before a holiday. The document further contends that Ms. Maxwell's actions to avoid public scrutiny after Epstein's arrest do not indicate an intent to flee.
This legal document, filed on behalf of Ghislaine Maxwell, argues that she is not a flight risk and should be granted release. It refutes the government's claim of her 'frequent international travel' by emphasizing that she has remained in the United States since Jeffrey Epstein's arrest in July 2019 and subsequent death in August 2019. The filing contends that her decision to stay in the U.S. despite intense media scrutiny and public calls for her prosecution demonstrates she has no intention of fleeing.
This legal document, filed on July 10, 2020, argues that Ms. Maxwell is not a flight risk and should be granted bail. It asserts that she has strong ties to the United States, including being a naturalized citizen since 2002, having close family in the country, and having resided there for almost 30 years. The document also states she has no prior criminal record and has actively participated in U.S. legal proceedings since 2015, demonstrating her intent to remain and fight the allegations against her.
This legal document argues for Ms. Maxwell's bail, asserting that the government's position on her danger to the community is inconsistent with its stance on Epstein. It highlights the COVID-19 pandemic as a health risk and an impediment to her defense, and contends that Ms. Maxwell is not a flight risk due to her strong community ties, U.S. citizenship, lack of criminal record, and continued presence in the U.S. since Epstein's arrest.
| Date | Type | From | To | Amount | Description | Actions |
|---|---|---|---|---|---|---|
| N/A | Paid | Epstein | GHISLAINE MAXWELL | $0.00 | Epstein paid for a lot in Ghislaine Maxwell's l... | View |
| N/A | Paid | Epstein | Unspecified recip... | $0.00 | Mention of a 'donation' Epstein had made on a d... | View |
| N/A | Paid | Epstein | underprivileged g... | $200.00 | Payment for massages | View |
| N/A | Paid | Epstein | underprivileged g... | $300.00 | Payment for massages | View |
| N/A | Paid | Epstein | Defense Attorneys | $0.00 | Cost of Epstein's defense | View |
| N/A | Paid | Epstein | victim | $300.00 | Payment for services (massage) | View |
| N/A | Paid | Epstein | Bill Richardson (... | $0.00 | Campaign donations from Epstein that Richardson... | View |
| N/A | Paid | Epstein | [REDACTED] | $350.00 | Payment for massage | View |
| N/A | Paid | Epstein | Harvard | $30,000,000.00 | Donation for a theoretical physics research cen... | View |
| N/A | Paid | Epstein | MD | $200.00 | Payment for providing a massage (first incident). | View |
| N/A | Paid | Epstein | MD | $200.00 | Payment for providing a massage (second incident). | View |
| N/A | Paid | Epstein | Jane Doe #5 | $200.00 | Payment for giving a massage. | View |
| N/A | Paid | Epstein | GHISLAINE MAXWELL | $0.00 | Epstein paid Ghislaine Maxwell millions and mil... | View |
| N/A | Paid | Epstein | The Defendant (Gh... | $10,000,000.00 | Bequest included in defendant's assets for dete... | View |
| N/A | Paid | Epstein | Edwards' clients | $0.00 | Settlement amounts Epstein voluntarily agreed t... | View |
| N/A | Paid | Epstein | Ms. Maxwell | $10,000,000.00 | Bequest listed as an asset | View |
| N/A | Paid | Epstein | Ms. Maxwell | $10,000,000.00 | Bequest from estate | View |
| N/A | Paid | Epstein | Interlochen Arts ... | $0.00 | Alleged payment for 'Jane'. The document text s... | View |
| N/A | Paid | Epstein | [REDACTED] | $300.00 | Payment for massage services | View |
| N/A | Paid | Epstein | Victims (implied) | $0.00 | Reference to 'Epstein's agreement... to provide... | View |
| N/A | Received | Edwards | Epstein | $0.00 | Epstein is attempting to force Edwards to pay '... | View |
| N/A | Paid | Epstein | Unknown (Construc... | $0.00 | Purchase or construction of a cabin at Interloc... | View |
| N/A | Paid | Epstein | Interlochen School | $0.00 | Possible donation of the cabin to the school (w... | View |
| N/A | Paid | Epstein | the defendant | $0.00 | Receipt of funds mentioned in context of missin... | View |
| N/A | Paid | Epstein | victims | $0.00 | General reference to victims' right to seek dam... | View |
Epstein encouraged girls to find other girls interested in performing massages for him.
If a girl had not been to his home before, Epstein asked for her phone number to contact her in the future.
Burt Fields or Eileen Guggenheim spoke to Epstein about Maria to help advance her artistic career.
After the alleged assault, Epstein told Jane Doe to write down her name and phone number.
Narrator told Epstein she wasn't coming back because she had fallen in love.
Epstein called Maria and offered her a job at his mansion in New York City.
Message pads entered at trial show Carolyn called Epstein several times in the summer of 2004: once in late April or early May, again on July 6, and again on July 30.
Epstein consistently notified Detective Deborah Anaya, a New Mexico official, whenever he spent time at his residence in New Mexico.
Epstein was on the phone at the beginning of the massage session with ML.
Epstein told ML to leave her telephone number with his assistant so she could be contacted for work again.
A message from 'Epstein' for Vanessa Grigoriadis of NY Magazine, to be delivered at 5:10 P.M. The message itself is simply 'Epstein'.
Copperfield called Epstein frequently and left messages indicating they socialized together.
Epstein called Carter to say he was having second thoughts about being a public figure.
The witness, Kate, describes her communications with Epstein during her twenties and early thirties as having a 'friendly' tone. She continued communicating because she did not want to admit what had happened to her and was fearful of disengaging.
During the second massage, JS told Epstein she didn't want to be touched after he attempted to touch her breasts.
Allegations that Edwards 'should have known' about the Ponzi scheme.
United States will provide notice to Epstein before disclosing agreement under FOIA.
Message pads entered at trial show Carolyn called Epstein several times in the summer of 2004: once in late April or early May, again on July 6, and again on July 30.
Epstein told Dobbs 'You can bring girls.'
Discussion regarding Annie's trip to New Mexico
Email communication regarding Eva being in Paris and flying back, suggesting a close relationship with Epstein.
A photograph was sent to Epstein with a note saying 'Thanks for rocking my world'.
A shipment from Epstein’s address in New York to Minor Victim-4, reflected in Federal Express records.
A shipment from Epstein’s address in New York to Minor Victim-4, reflected in Federal Express records.
Epstein called Annie's mom and talked to her about Ghislaine being present for a trip.
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