An email dated July 26, 2020, from an Assistant U.S. Attorney in the Southern District of New York to Marc A. Weinstein and Andrew Tomback. The email concerns the 'SDNY investigation' and includes an attachment titled '2020-07-26,_JE,_letter_to_trustees_counsel.pdf', suggesting the recipients are counsel for the trustees (likely of the Epstein estate, denoted by 'JE').
This is a court order issued by Judge Alison J. Nathan on April 26, 2021, in the case of United States v. Ghislaine Maxwell. The order establishes a schedule for pretrial disclosures and motions, including deadlines for expert witnesses, victim disclosures, and filings related to the S2 indictment. It sets a presumed trial commencement date of July 12, 2021, pending resolution of a defense request for a continuance.
This document is an email thread from June 29, 2020, involving an Assistant U.S. Attorney from the Southern District of New York (SDNY). The correspondence concerns the administrative task of mailing and faxing subpoenas related to an investigation. The specific names of the targets and the attorney are redacted, but the document ID (EFTA...) indicates it is part of the Epstein/Maxwell investigation files.
This document contains an email chain from June 2020 between an Assistant US Attorney (SDNY) and a colleague regarding the preparation of a Grand Jury presentation. The emails request the creation of PowerPoint slides featuring specific excerpts from a deposition (where a witness denies giving massages or knowing of underage recruitment) and excerpts from flight records corresponding to specific dates in 1994, 1995, 1996, 1997, and 1998. The actual flight logs are mentioned as attachments but are not visible in the text.
This document is a transcript of the initial court conference for United States v. Jeffrey Epstein held on July 8, 2019, before Judge Richard M. Berman. Key topics discussed include the scheduling of a bail hearing, the controversy surrounding the 2007 Florida Non-Prosecution Agreement (NPA) which the defense argues bars this prosecution, and the government's stance that the NPA does not bind the Southern District of New York. The court also addresses Epstein's sex offender status, the recent search of his Manhattan townhouse, and sets a schedule for bail submissions and the next hearing on July 15, 2019.
This document is a short email dated August 14, 2019, from an Assistant United States Attorney in the Southern District of New York. The sender requests a copy of the 'Epstein Pros Memo' (likely referring to a Prosecution Memorandum) from redacted recipients.
This document is a Search and Seizure Warrant issued on July 7, 2019, by Judge Barbara Moses of the SDNY (Case No. 19 MAG 6572). The warrant authorizes the search of a multi-story single-family residence in New York (visually identifiable as Jeffrey Epstein's townhouse) in relation to sex trafficking investigations (18 U.S.C. 1591 and 371). Specific items to be seized include taxidermied dogs, massage tables, busts of female torsos, sex toys, and a binder labeled 'PB Girls'.
This document is an email chain dated August 12, 2019, shortly after Jeffrey Epstein's death. Attorney Bruce Barket writes to the US Attorney's Office (SDNY) asserting that his client, Mr. Tartaglione (presumably Epstein's cellmate), must not be questioned regarding Epstein's suicide or the associated FBI/IG investigations without counsel present. Assistant US Attorney Maurene responds, noting that she and 'Jason' are not handling the death investigation but will forward the request to the appropriate prosecutors.
This document is an email from an Assistant U.S. Attorney in the Southern District of New York to Epstein's defense lawyers (Weinberg, Miller, Weingarten) dated August 22, 2019 (shortly after Epstein's death). The email discusses a scheduled call regarding civil forfeiture and formally requests that the defense team return or certify the destruction of all discovery materials due to the expected 'nolle order' (dismissal of charges due to death). The prosecution aims to advise the Court at an upcoming Tuesday hearing that no discovery obligations remain.
This document is an email chain from August 2019 involving an Assistant United States Attorney for the Southern District of New York. The email discusses an attached spreadsheet ('2019.08.20_JE_Victim_List.xlsx') containing a list of identified victims. The attorney requests the recipient to coordinate with FBI victim specialists to verify which victims have been contacted since Jeffrey Epstein's death and to reach out to those who have not yet been contacted.
This document is a 'Touhy Request' dated June 8, 2020, sent by attorney Robert S. Glassman to US Attorney Geoffrey Berman. It requests the production of evidence gathered during the federal investigation of Jeffrey Epstein for use in a civil lawsuit (Jane Doe v. Indyke et al.). The request specifically seeks photographs, flight logs, videos, correspondence, and trust documents (specifically 'The 1953 Trust' dated August 8, 2019) related to a Jane Doe victim who met Epstein at a Michigan summer camp in 1994.
This document is a formal letter from U.S. Attorney Geoffrey Berman to Judge Richard Berman arguing two main points following Jeffrey Epstein's death. First, the Government asserts that the indictment must be dismissed (abated) because Epstein died before a conviction became final. Second, the Government argues that the Court lacks the constitutional authority to conduct its own independent investigation into Epstein's suicide, noting that the FBI and DOJ-OIG are already conducting active Grand Jury investigations into the matter.
An August 29, 2019, email chain between an Assistant United States Attorney (SDNY) and a contractor regarding the retrieval of an original proffer agreement file for the 'Epstein investigation.' The AUSA requests the file because they are flying to Florida the following Tuesday (likely September 3, 2019) for a proffer meeting with a redacted individual. The contractor agrees to bring the file to the AUSA's office.
This document contains an email thread between the US Attorney's Office (SDNY) and legal counsel for the Metropolitan Correctional Center (MCC) regarding Jeffrey Epstein. The emails discuss an investigation into Epstein's injuries (dated July 30, 2019) in preparation for a court conference, and a later exchange (August 27, 2019) regarding Judge Berman inviting the MCC Warden and Staff Attorney to a hearing, which the Warden declined.
This document is an email thread between an Assistant U.S. Attorney (SDNY) and a Staff Attorney at the Metropolitan Correctional Center (MCC) regarding inmate Tartaglione, Jeffrey Epstein's former cellmate. The emails discuss Tartaglione's recreation habits, a past interaction involving Epstein and recreation schedules, complaints about water leaks in the cell, and the receipt of newspapers. It also references a legal filing by Tartaglione's counsel, Bruce Barket.
An email chain from December 1, 2020, between Assistant United States Attorneys in the Southern District of New York (USANYS). The topic is drafting a letter regarding 'GM' (Ghislaine Maxwell) and a defense request concerning the MDC Warden. The prosecutors discuss editing the draft to explicitly quote 'Bobbi' (likely defense attorney Bobbi Sternheim) rather than characterizing her views.
An email chain between SDNY officials dated November 30, 2020, discussing the death of Efrain Reyes. An Assistant US Attorney reports learning from Probation that Reyes died (possibly drug-related) and verifies that his testimony was not needed for the Epstein/MCC investigation.
This document is an email dated February 21, 2020, from an Assistant United States Attorney (AUSA) in the Southern District of New York to supervisors ('Chiefs'). The subject is 'MCC Discovery Response,' likely relating to the legal proceedings surrounding the guards at the Metropolitan Correctional Center (MCC) following Jeffrey Epstein's death. The attachments include a response to defense discovery requests and a specific file named 'Michael_Thomas_-_Discovery_Request.pdf,' referencing one of the guards charged.
This is a subpoena issued by the United States District Court for the Southern District of New York on July 13, 2021. It commands an unnamed (redacted) individual to appear on November 29, 2021, to testify in the case of United States v. Ghislaine Maxwell (20 Cr. 330). The document is signed by US Attorney Audrey Strauss and Clerk of Court Ruby J. Krajick.
This document is an email thread from August 5-6, 2019, within the US Attorney's Office for the Southern District of New York (SDNY). An Assistant U.S. Attorney requests a contractor to burn a disc containing 'Fourth Production and Fifth Production' materials, specifically Deutsche Bank subpoena returns, for an FBI Special Agent and a Detective working on the Epstein investigation. The email provides the specific network file path for the data and the password 'USAO_sdny2018!' for the encrypted disc.
This document is an unexecuted template of a Proffer Agreement ('Queen for a Day' letter) from the Office of the United States Attorney for the Southern District of New York, dated January 14, 2019. The agreement outlines the terms under which a client provides information to the government, specifying that it is not a cooperation agreement and establishing limited use immunity for statements made during the meeting, with exceptions for impeachment, rebuttal, and derivative leads.
This document is an email chain from August 14, 2019, involving an Assistant United States Attorney from the Southern District of New York (USANYS). The correspondence concerns a request for the 'Epstein Pros Memo,' as well as an 'ODAG memo' and 'UMR' from the time of charging. The participants also discuss the case docket number, identified as '19-490', and request a timeline of court dates and events.
An email dated September 30, 2019, from an Assistant U.S. Attorney (SDNY) to an FBI agent regarding materials seized from Epstein's New York house. The attorney notes that the 'taint team' received fewer documents than expected and asks for clarification on the processing status of approximately 38 computers/storage devices and 55 CDs sent to CART.
This document is an email dated October 19, 2019, from an Assistant United States Attorney (SDNY) to the court and Xavier Donaldson. The email requests that a letter and exhibit regarding proposed redactions to a sentencing transcript (from a September 12, 2019 proceeding) be filed under seal because they contain information about an ongoing criminal investigation. The case number is identified as 13 Cr. 416 (PGG).
An email dated November 1, 2019, from an Assistant U.S. Attorney (SDNY) to Marc Weinstein and Andrew Tomback regarding 'Epstein estate subpoenas.' The email provides contact information (heavily redacted) and confirms a meeting scheduled for the following Wednesday at 9:30 AM at the U.S. Attorney's office. The document contains significant redactions covering the sender's name, email addresses, and phone numbers.
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