This document contains a docketing notice from the U.S. Court of Appeals for the Second Circuit regarding Jeffrey Epstein's appeal (19-2221) from a District Court decision (1:19-cr-490-1), dated July 23, 2019. It also includes the Notice of Appeal filed on July 22, 2019, detailing Epstein's legal representation and the pending charges of sex trafficking conspiracy and sex trafficking of children. The document lists multiple attorneys representing Jeffrey Epstein and the U.S. Attorney's Office representing the USA.
This document is an affidavit dated July 15, 2019, filed by attorney Martin G. Weinberg in the case United States v. Jeffrey Epstein (19-CR-490). Weinberg affirms his clean legal record (no felonies, censures, or pending disciplinary proceedings) in support of a motion to be admitted pro hac vice to represent Epstein in the Southern District of New York.
This document is a court order from the Southern District of New York filed on July 15, 2019, in the case of USA v. Jeffrey Epstein. Judge Richard M. Berman grants the motion for attorney Martin G. Weinberg to appear Pro Hac Vice as co-counsel for the defendant, Jeffrey Epstein. The document lists Weinberg's contact information in Boston, MA.
This document is a court order filed on July 15, 2019, in the Southern District of New York, granting attorney Martin G. Weinberg's motion to be admitted Pro Hac Vice. This admission allows Weinberg, a Massachusetts-based attorney, to serve as co-counsel for the defendant, Jeffrey Epstein, in criminal case No. 19 Cr 490 under Judge Richard M. Berman.
This document is an email thread from July 2019 between Jeffrey Epstein's defense attorneys (Martin Weinberg and Reid Weingarten) and the U.S. Attorney's Office for the Southern District of New York. The correspondence concerns the government's bail memorandum and discovery materials, specifically referencing records obtained from 'Institution 1.' The defense requests these records be provided as discovery rather than public filing, and the prosecution confirms they will be produced under Rule 16.
This document is a formal legal letter dated August 20, 2019, from attorneys Michael Miller and Martin Weinberg (representing Jeffrey Epstein's estate) to the FBI. The attorneys request the preservation and production of specific evidence related to Epstein's death at the MCC, including video recordings, entry/exit logs, and guard logs for the period of August 9-10, 2019. The letter cites Attorney General William Barr's comments about 'serious irregularities' at the facility and states the estate's intention to conduct an independent investigation into the death.
A legal letter from attorneys Michael C. Miller (Steptoe) and Martin G. Weinberg to the US Attorney's Office (SDNY) dated August 20, 2019. The attorneys, representing Jeffrey Epstein's estate, formally request evidence regarding his death in custody, including video recordings, entry logs, and guard logs from the MCC for the period of August 9-10, 2019. The letter cites statements by AG William Barr regarding 'serious irregularities' at the facility and declares the defense's intent to conduct an independent investigation.
This is a court order from the U.S. District Court for the Southern District of New York, dated July 16, 2019, in the case of United States v. Jeffrey Epstein. The order, signed by Judge Richard M. Berman, grants the motion for attorney Martin G. Weinberg of Boston, MA, to be admitted Pro Hac Vice, allowing him to serve as co-counsel for the defendant, Jeffrey Epstein.
This is a court order from the U.S. District Court for the Southern District of New York, filed on July 15, 2019, in the case of United States v. Jeffrey Epstein. The order, signed by Judge Richard M. Berman, grants the motion for attorney Martin G. Weinberg to be admitted "Pro Hac Vice," allowing him to practice in this specific case as co-counsel for the defendant, Jeffrey Epstein.
This document is a legal motion filed on July 15, 2019, in the Southern District of New York (Case 1:19-cr-00490-RMB). Attorney Martin G. Weinberg requests admission Pro Hac Vice (permission to practice in this specific jurisdiction for this case) to serve as co-counsel for the defendant, Jeffrey Epstein. Weinberg confirms his good standing with the Massachusetts Bar and provides his contact information in Boston.
This is a court order from the U.S. District Court for the Southern District of New York, filed on July 15, 2019, in the case of United States v. Jeffrey Epstein. The order, issued by Judge Richard M. Berman, grants attorney Martin G. Weinberg's motion for admission *pro hac vice*. This allows Weinberg, a member of the Massachusetts bar, to officially act as co-counsel for the defendant, Jeffrey Epstein, in this specific criminal case.
This document is the signature page of a legal motion filed on July 11, 2019, in the case United States v. Epstein (1:19-cr-00490-RMB). Jeffrey Epstein's attorneys (Weingarten, Weinberg, and Fernich) requested permission to file a supplemental financial disclosure under seal. Judge Richard M. Berman hand-wrote an order on the page granting the motion and requiring the materials be hand-delivered to chambers and opposing counsel by 9:00 AM the following day.
This document is the concluding section of a legal filing on behalf of Mr. Epstein, arguing for his pretrial release. The argument centers on the Sixth Amendment, stating that pretrial detention would materially impair his constitutional right to participate in his own defense, especially given the case involves voluminous discovery and events from over 14 years ago. The document concludes by asserting that Mr. Epstein is not a flight risk or a threat to the community and requests that the court grant his release.
This document is a comprehensive legal preservation and production request sent by attorneys representing Jeffrey Epstein's family (based out of Boston) to federal authorities including the MCC, FBI, and USAO. It demands the preservation of all physical, electronic, and video evidence regarding Epstein's detention, the July 23rd suicide attempt, and his death on August 10, 2019, specifically targeting logs, cell videos, and staff identities from the 9th floor SHU unit.
This document contains an email exchange from January 2019 and December 2018 between Jeffrey Epstein's attorney, Martin G. Weinberg, and Jack Browning (likely opposing or media counsel). Weinberg explicitly states that, on behalf of Epstein, they take 'no position' regarding a request to unseal appellate briefs, provided certain identities are redacted. The document includes contact information for Weinberg's Boston law office.
An email chain from March 19, 2015, in which Jeffrey Epstein (using the alias jeevacation@gmail.com) forwards a message from attorney Martin Weinberg to Kathy Ruemmler. The subject line references 'Mr. Clinton and Mr. Epstein.' The body of the attorney's email is heavily redacted, and the document bears a House Oversight Bates stamp.
An email chain from April 23, 2015, between attorney Martin Weinberg and Jeffrey Epstein (using the alias 'jeffrey E.' and email 'jeevacation@gmail.com'). The subject of the correspondence is 'ATTORNEY-CLIENT PRIVILEGE'. The actual content of the messages has been entirely redacted with 'Privileged - Redacted' stamps. The document includes standard legal disclaimers and Weinberg's Boston office address.
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