Government officials

Person
Mentions
44
Relationships
1
Events
24
Documents
21
Also known as:
Chinese government officials Government French Government Officials (implied) French Government Officials Chinese think-tank scholars and government officials Government Officials/Public

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Event Timeline

Interactive Timeline: Hover over events to see details. Events are arranged chronologically and alternate between top and bottom for better visibility.
1 total relationships
Connected Entity Relationship Type
Strength (mentions)
Documents Actions
person Average American
Financial
5
1
View
Date Event Type Description Location Actions
N/A N/A Dershowitz negotiates Epstein's confidential non-prosecution agreement. Unknown View
N/A N/A An alleged event where the government told 'many of the girls' they would receive money at the co... Unspecified View
N/A Meeting Jane met with the government/FBI to discuss her case, after having already disclosed details to h... N/A View
2020-06-01 N/A Interview of 'Mr [Redacted]' by the government (likely SDNY). Unknown View
2020-03-12 N/A Submission of factual statement draft for non-prosecution discussion Email/Google Docs View
2020-01-01 N/A Government interview with Jane regarding her recollection of events. Unknown View
2019-12-20 N/A Meeting between Mr. [Redacted] (Patel's client) and the Government Office. Government Office View
2019-12-01 N/A Meeting between Andrew Patel's client and the Government (US Attorney's Office). Unknown View
2019-10-01 N/A Victim's meeting United States (implied by v... View
2019-09-01 N/A Witness's first meeting with the government, attended by her attorneys. Unknown View
2019-09-01 N/A Witness meeting with the government. Unknown View
2019-08-10 N/A Officials gave a statement regarding Jeffrey Epstein (referenced in email text 'given a statement... N/A View
2019-07-18 N/A Planned meeting at Court where Epstein's Austrian passport is to be inspected by his attorneys an... Court View
2019-04-05 N/A Attorney Proffer Meeting Government Offices (Redacted) View
2019-03-29 N/A Gathering involving the 'entire govt' (Macron government) at 'the pyramid'. The Pyramid (likely Louvre,... View
2019-03-29 N/A Gathering of government officials ('entire govt', 'ministers of the elite'). The Pyramid (likely Paris) View
2019-01-01 N/A Proposed trip to Florida for groundwork on relevant individuals/victims. Florida View
2018-01-01 N/A National People's Congress Beijing View
2017-05-01 N/A The 'Clinton investigation' was allegedly 'squelched'. Not specified View
2016-11-15 N/A Meeting with government regarding foreign workers and painters (Epstein mentions 'on the 15th', l... Unknown (likely Palm Beach ... View
2008-01-01 N/A Financial crisis involving executive bonuses and government bailout. USA View
2007-09-21 N/A Plea Deal Negotiation Florida View
2006-01-01 N/A Witness met with the government. Unspecified View
0013-06-01 N/A Conference on Bitcoin and regulation sponsored by Thompson Reuters and ICMEC. Carlucci Auditorium, United... View

DOJ-OGR-00008529.jpg

This document is page 73 of 82 from a court filing in Case 1:20-cr-00330-PAE (United States v. Ghislaine Maxwell), filed on December 17, 2021. It contains Jury Instruction No. 54, titled 'Persons Not on Trial,' which explicitly instructs the jury not to speculate why other individuals are not on trial or draw inferences from their absence. The document is stamped with Bates number DOJ-OGR-00008529.

Court document (jury instructions)
2025-11-20

DOJ-OGR-00008509.jpg

This document is page 53 of 82 from a court filing dated December 17, 2021, in Case 1:20-cr-00330-PAE (USA v. Ghislaine Maxwell). The text contains Jury Instruction No. 37 regarding Counts One, Three, and Five, specifically defining the 'Fourth Element' of Conspiracy to Violate Federal Law. It instructs the jury that the Government must prove an 'overt act' was committed to further the conspiracy, clarifying that such an act does not need to be inherently criminal on its own.

Court filing (jury instructions)
2025-11-20

DOJ-OGR-00001698.jpg

Page 9 of a court order (Protective Order) from case 1:20-cr-00330-AJN (United States v. Ghislaine Maxwell). The document defines 'Highly Confidential Information' as materials containing sexualized images of individuals and outlines the strict limitations on its use, specifically prohibiting use in civil proceedings. It also establishes the protocol for the Defense Counsel to challenge the Government's classification of such materials.

Court filing / protective order
2025-11-20

DOJ-OGR-00001695.jpg

This is page 6 of a court filing (Document 36) from Case 1:20-cr-00330-AJN (United States v. Ghislaine Maxwell), filed on July 30, 2020. The document outlines protocols for handling 'Confidential Information' during discovery, specifically regarding the protection of PII for victims and witnesses, while noting that victims who have publicly identified themselves on the record are exempt from this confidentiality. It also establishes the procedure for Defense Counsel to challenge confidentiality designations made by the Government.

Court filing (protective order/discovery protocol)
2025-11-20

DOJ-OGR-00001653.jpg

This document is page 7 of a court filing (Case 1:20-cr-00330-AJN, United States v. Ghislaine Maxwell) dated July 27, 2020. It outlines protocols for handling 'Confidential Information' during the discovery process, specifically defining what constitutes confidential material and how personal identification of victims and witnesses must be protected. It also notes that victims or witnesses who have publicly identified themselves are not subject to these specific confidentiality restrictions.

Court filing (protective order)
2025-11-20

DOJ-OGR-00001278.jpg

This document is page 5 (marked page 7 of 12 in the PDF) 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 text outlines the legal standards for bail and detention under 18 U.S.C. § 3142(e)(3), citing Second Circuit precedents regarding the presumption of detention and the burden of proof. The 'Discussion' section notes that the Defendant (Maxwell) is filing her third motion for bail, arguing that new proposed conditions and pending pre-trial motions warrant a reconsideration of her detention.

Legal filing / court order (page from a bail determination)
2025-11-20

DOJ-OGR-00002010.jpg

This document is page 38 of a legal filing (Document 97) in the case against Ghislaine Maxwell, filed on December 14, 2020. The defense argues that the discovery provided by the government lacks contemporaneous evidence (emails, texts, diaries, police reports) implicating Maxwell in the alleged 1994-1997 conspiracy and claims that existing police reports are exculpatory rather than incriminating. Large portions of the text, specifically appearing to detail specific evidence or lack thereof, are redacted.

Legal filing / court motion (defense)
2025-11-20

DOJ-OGR-00021967.jpg

This is page 9 of a court transcript from Case 1:19-cr-00830-AT, filed on December 16, 2019. The Judge is addressing counsel regarding the release conditions for a defendant named Ms. Noel. The Judge clarifies that while the defense and government have reached an agreement, the Court has final authority, and discusses a specific pretrial service policy regarding firearms, noting that the case involves allegations about documents, not violence.

Court transcript
2025-11-20

DOJ-OGR-00019539.jpg

This page documents a protective order regarding discovery procedures in the case United States v. Ghislaine Maxwell (Case 1:20-cr-00330). It defines 'Confidential Information' as materials containing personal details of victims and witnesses, while explicitly excluding those who have publicly identified themselves on the record. It also establishes a mechanism for Defense Counsel to challenge the Government's confidentiality designations.

Court document (protective order/discovery protocol)
2025-11-20

DOJ-OGR-00019532.jpg

This document is page 11 of a court order (likely a Protective Order) from the case United States v. Ghislaine Maxwell (1:20-cr-00330). It outlines the strict protocols for the Defense Counsel regarding the handling, return, or destruction of 'Discovery' and 'Confidential Information' provided by the Government. It stipulates that materials must be destroyed or returned within 30 days of the finalization of the case (including appeals) and mandates that both parties meet to discuss evidence presentation before trials.

Court filing / protective order
2025-11-20

DOJ-OGR-00019512.jpg

This document is page 11 of a court order (Document 292) filed on July 27, 2020, in the case of United States v. Ghislaine Maxwell (Case 1:20-cr-00330). It outlines strict protocols for handling confidential discovery materials, mandating that the Defendant may only review certain materials in the presence of counsel and cannot possess copies. It also prohibits public filing of confidential information without authorization and mandates the return or destruction of discovery materials at the conclusion of the case.

Court order / protective order (legal document)
2025-11-20

DOJ-OGR-00019309.jpg

Page 7 of a court filing (Case 1:20-cr-00330-AJN, United States v. Ghislaine Maxwell) detailing a Protective Order. It outlines strict conditions under which the Defendant and Defense Counsel may access 'Confidential Information,' prohibiting its use in civil proceedings and mandating that the Defendant only review materials under the supervision of counsel or via Bureau of Prisons protocols.

Legal court document (protective order)
2025-11-20

DOJ-OGR-00019308.jpg

Page 6 of a court filing (Case 1:20-cr-00330-AJN, related to Ghislaine Maxwell) detailing the protocol for handling 'Confidential Information' during discovery. It defines such information as including the identities of victims and witnesses, while noting that publicly self-identified victims are not confidential. It also establishes a mechanism for Defense Counsel to challenge the Government's confidentiality designations.

Court document (protective order/discovery protocol)
2025-11-20

DOJ-OGR-00014643.jpg

This document is page 243 (transcript page 3077) of the jury charge filed on August 10, 2022, in the case United States v. Ghislaine Maxwell (Case 1:20-cr-00330-PAE). It contains Jury Instruction No. 53 regarding the lawful use and consideration of seized electronic communications as evidence, and the beginning of Instruction No. 54 regarding 'Persons Not on Trial'.

Court transcript / jury instructions
2025-11-20

DOJ-OGR-00014617.jpg

This document is page 217 of a court transcript (Case 1:20-cr-00330-PAE) filed on August 10, 2022. The Court is providing jury instructions regarding Count Five, charging Ghislaine Maxwell with conspiracy to commit sex trafficking of minors between 2001 and 2004. It details Instruction No. 35, which explains the burden of proof required to establish Maxwell's membership in the conspiracy.

Court transcript / jury instructions
2025-11-20

DOJ-OGR-00005369.jpg

This document is page 12 of 17 from a court filing (Document 367-1) in the case United States v. Ghislaine Maxwell (1:20-cr-00330-PAE), filed on October 22, 2021. It lists proposed voir dire (jury selection) questions 43 through 48, focusing on juror bias regarding expert witnesses, evidence types, and the absence of co-conspirators at trial. The document contains significant sidebar commentary detailing objections from the Defense regarding the wording of questions about search evidence and missing witnesses, citing legal precedents like Skilling v. United States.

Court filing (proposed voir dire questions)
2025-11-20

DOJ-OGR-00005331.jpg

Case 1:20-cr-00330-PAE Document 367 Filed 10/22/21 Page 9 of 35 Juror ID: _______ 6. Do you have any pre-paid travel plans between November 29, 2...

Court filing (juror questionnaire draft with annotations)
2025-11-20

DOJ-OGR-00005248.jpg

This document is page 3 of a Government filing (Case 1:20-cr-00330-AJN, United States v. Ghislaine Maxwell) dated October 15, 2021. The Government argues that the defense's proposed deadline of November 15, 2021, for filing Rule 412 motions (regarding the admissibility of victims' sexual behavior) is impractical as it conflicts with jury selection and the Thanksgiving holiday. The Government requests an earlier deadline to allow sufficient time for investigation and *in camera* hearings.

Legal filing / government motion (case 1:20-cr-00330-ajn)
2025-11-20

HOUSE_OVERSIGHT_019634.jpg

This document is page 146 from the book 'How America Lost Its Secrets' by journalist Edward Jay Epstein (indicated by the ISBN in the footer), which was produced as evidence in a House Oversight investigation (Bates stamp HOUSE_OVERSIGHT_019634). The text discusses the security failures at the NSA that allowed Edward Snowden to breach their systems, specifically criticizing the outsourcing of technical work and the removal of 'stovepiping' safeguards after 9/11. It also mentions an unprofessional culture within the NSA where agents exchanged lewd photos of suspects.

Book page / evidence production
2025-11-19

HOUSE_OVERSIGHT_020517.jpg

This page, identified as page 58 of a House Oversight document, outlines the operational roles of US think tanks, including influencing policy, providing government research contracts, and serving as a 'revolving door' for government personnel. It discusses the ethical necessity of maintaining analytical independence from funders despite potential outside pressure. The text transitions into a specific section regarding 'The Role of China in American Think Tanks,' introducing findings based on interviews with seventeen analysts from Washington and New York.

Government/congressional report or policy paper
2025-11-19

HOUSE_OVERSIGHT_020472.jpg

This document, page 13 of a report labeled 'HOUSE_OVERSIGHT_020472', details US congressional staff delegation trips to China, focusing on the period from 1989-2001. It identifies key US and Chinese organizations that facilitated these exchanges and describes how the 1989 Tiananmen crackdown disrupted this engagement, shifting China's strategy towards lobbying the US Congress. This document is about US-China relations and contains no information related to Jeffrey Epstein.

Government report / committee document
2025-11-19
Total Received
$1,726,436,500,000.00
7 transactions
Total Paid
$2,148,000,000,000.00
13 transactions
Net Flow
-$421,563,500,000.00
20 total transactions
Date Type From To Amount Description Actions
N/A Paid Government officials Women (Victims) $0.00 Proposed restitution, monetary sanctions, and l... View
N/A Paid Government officials National Intellig... $0.00 Reference to the 'secret intelligence budget' j... View
N/A Paid Government officials taxpayers $981,000,000,000.00 Total Subsidies & Tax Expenditures View
N/A Paid Government officials Preschool Programs $59,000,000,000.00 Estimated cost of a universal preschool program. View
2025-12-01 Received taxpayers Government officials $1,700,000,000,000.00 Potential additional revenue from reducing tax ... View
2020-08-13 Paid Government officials Defense counsel $0.00 Production of discovery totaling more than 150,... View
2020-01-13 Received Insys Executives Government officials $306,000,000.00 Proposed restitution amount in opioid kickback ... View
2019-12-20 Received Epstein Estate Government officials $0.00 Discussion regarding 'resolving the Government'... View
2019-12-19 Received Epstein Estate Government officials $0.00 Discussion regarding 'Government's potential ci... View
2019-12-12 Paid Government officials Private Insurers $12,000,000,000.00 Dispute amount in Affordable Care Act case View
2016-06-30 Received Telecom Operators Government officials $130,000,000.00 Estimated potential income increase for the gov... View
2016-06-30 Paid Government officials Ministry of Health $23,000,000,000.00 Allocated to the MoH for the NTP (National Tran... View
2016-06-01 Paid Government officials Private Providers... $0.00 Unpaid receivables for treating government pati... View
2015-01-01 Paid Government officials ["Caremaster Medi... $23,000,000,000.00 Estimated minimum unpaid capex/arrears View
2015-01-01 Paid Government officials ["Caremaster Medi... $100,000,000,000.00 Estimated maximum unpaid capex/arrears View
2010-01-01 Received TARP Government officials $26,000,000,000.00 TARP Net Profit View
2010-01-01 Paid Government officials Expanded Coverage $938,000,000,000.00 Gross cost of expanded coverage View
1986-01-01 Received Violator Government officials $500,000.00 Potential fine per count for money laundering u... View
1966-01-01 Paid Government officials Project Horizon $6,000,000,000.00 Predicted cost of the permanent outpost/base. View
1966-01-01 Paid Government officials Project Horizon $6,000,000,000.00 Predicted cost of the permanent outpost/base. View
As Sender
219
As Recipient
51
Total
270

Omnibus Memorandum in Opposition to the Defendant’s Pre-T...

From: Government officials
To: Court

Government response to which Maxwell's team is now objecting regarding redactions.

Legal submission
2021-02-26

Conditions of confinement

From: MDC legal counsel
To: Government officials

Multiple communications regarding defendant's conditions.

Meeting
2021-02-01

Multiple in-person interviews

From: Government officials
To: Minor Victim-4

The Government conducted multiple in-person interviews with Minor Victim-4, concluding near the end of January 2021.

In-person interviews
2021-01-01

Multiple in-person interviews

From: Government officials
To: Minor Victim-4

The Government conducted multiple in-person interviews with Minor Victim-4, concluding near the end of January 2021.

In-person interviews
2021-01-01

Government Opposition

From: Government officials
To: Court

Cited as 'Gov't Opp'n at 23'.

Legal brief
2020-12-30

Memorandum in Opposition to the Defendant's Renewed Motio...

From: Government officials
To: Court/Defense

Government's opposition to Maxwell's release request.

Memorandum
2020-12-16

Opposition to the Defendant's Renewed Motion to Release

From: Government officials
To: Implicitly, the court/...

The Government's arguments opposing Ghislaine Maxwell's motion for release, specifically concerning English extradition law and practice.

Memorandum
2020-12-16

Government's response

From: Government officials
To: Court

Response to Defendant's submission.

Legal filing
2020-12-16

Memorandum in Opposition to the Defendant’s Renewed Motio...

From: Government officials
To: Court/Defendant

A legal filing by the Government opposing Ghislaine Maxwell's motion for release, which prompted this Addendum Opinion.

Legal memorandum
2020-12-16

Opposition to in camera conference

From: Government officials
To: Court

Letter outlining reasons against the in camera conference request.

Letter
2020-12-02

Redactions and In Camera Conference

From: Government officials
To: THE COURT

A letter referenced in the Court's order, outlining reasons for denying the Defendant's request for an in camera conference.

Letter
2020-12-02

Defendant's request for in camera conference

From: Government officials
To: THE COURT

A letter from the Government, cited as the basis for the Court's denial of the Defendant's request for an in camera conference.

Letter
2020-12-02

Refusal of consent

From: Defense counsel
To: Government officials

Defense counsel indicated they would not consent and reiterated request for Court to summon Warden Tellez.

Conferral response
2020-12-01

Consent regarding MDC legal counsel addressing the Court

From: Government officials
To: Defense counsel

Government asked if defense would consent to MDC legal counsel addressing the Court in writing regarding defendant's conditions of confinement.

Conferral
2020-11-30

Discovery review time

From: Government officials
To: Court/Defense

Noted that defendant has more time to review discovery than any other inmate.

Letter
2020-11-23

Report on Maxwell's conditions

From: Government officials
To: Defense/Court

Government letter reporting Maxwell's conditions and confirming quarantine.

Letter
2020-11-23

Discovery Deadlines and Conditions

From: Government officials
To: Court/Defense

Argument regarding discovery deadlines, provision of laptops, and disclosure of Giglio/Jencks material.

Court filing
2020-11-06

Extension of discovery deadline

From: Government officials
To: ["defense counsel"]

The Government contacted defense counsel to discuss an extension for the production of discovery materials due to vendor delays.

Conference
2020-11-04

Discovery Updates and Responses to Defense Claims

From: Government officials
To: Court/Defense

Response regarding discovery deadlines, vendor delays, and defense accusations regarding 'Prosecution Team' definitions.

Legal filing
2020-10-30

Unviewable files

From: Defense counsel
To: Government officials

Informed Government that defendant still cannot view certain files.

Communication
2020-10-29

Response to Government letter re other agency files

From: GM
To: Government officials

Referenced as 'Maxwell's letter from last Friday' and in attachment name.

Letter
2020-10-23

Precluding defense evidence

From: Government officials
To: Court

Referenced as Dkt. No. 65.

Letter
2020-10-20

Requests for discovery

From: Defense counsel
To: Government officials

Letter setting forth 22 specific requests and general Brady requests.

Letter
2020-10-13

Rule 16 and Brady Requests

From: Chris Niles
To: Government officials

Referenced in email body and attachment filename.

Letter
2020-10-13

Prosecution Team Entities

From: Government officials
To: Court

Detailed the entities that are part of the prosecution team; referenced to correct defense assertion about FBI Florida office.

Letter
2020-10-07

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