| Connected Entity | Relationship Type |
Strength
(mentions)
|
Documents | Actions |
|---|---|---|---|---|
|
person
Jeffrey Epstein
|
Client |
34
Very Strong
|
37 | |
|
person
Jeffrey Epstein
|
Legal representative |
26
Very Strong
|
22 | |
|
person
Jeffrey Epstein
|
Professional |
10
Very Strong
|
7 | |
|
person
Michael Miller
|
Business associate |
9
Strong
|
9 | |
|
person
Jeffrey Epstein
|
Business associate |
8
Strong
|
4 | |
|
person
Martin Weinberg
|
Co counsel |
7
|
3 | |
|
person
Fethullah Gulen
|
Client |
7
|
3 | |
|
person
Marc Fernich
|
Co counsel |
6
|
2 | |
|
person
Mr. Epstein
|
Client |
6
|
2 | |
|
person
Fethullah Gulen
|
Legal representative |
6
|
2 | |
|
person
the defendant
|
Client |
5
|
1 | |
|
person
Greg Farrell
|
Professional journalistic |
5
|
1 | |
|
person
Jeffrey E.
|
Business associate |
5
|
1 | |
|
person
J (Jeffrey Epstein)
|
Business associate |
5
|
1 | |
|
person
Fethullah Gulen Associates
|
Legal representative |
5
|
1 | |
|
person
Y. Alp Aslandogan
|
Co recipients |
5
|
1 | |
|
person
Mr. Gulen
|
Client |
5
|
1 | |
|
person
Mike Espy
|
Friend |
5
|
1 | |
|
person
Jeffrey Epstein
|
Professional social |
5
|
1 | |
|
person
Phillip Flynn
|
Client |
5
|
1 | |
|
person
Donald Trump
|
Client |
5
|
1 | |
|
person
Ted Wells
|
Friend |
5
|
1 | |
|
person
Jeffrey Epstein
|
Professional advisory |
5
|
1 | |
|
person
Jeffrey E.
|
Client |
5
|
1 | |
|
person
Eric Holder
|
Friend |
5
|
1 |
| Date | Event Type | Description | Location | Actions |
|---|---|---|---|---|
| N/A | N/A | Mike Espy Trial | Federal Court | View |
| N/A | N/A | Founding of See Forever Foundation | Washington D.C. / Maryland | View |
| N/A | N/A | BP Trial Jury Selection | New Orleans | View |
| N/A | Legal decision | Counsel Reid Weingarten indicated on the form that he is not ordering a transcript of court proce... | N/A | View |
| N/A | N/A | Breakfast with Reid Weingarten. | Epstein's Dining Room | View |
| 2025-12-26 | N/A | News conference in Washington featuring Reid Weingarten and Michael Miller. | Washington | View |
| 2025-11-21 | N/A | Lawyers for Gulen issued statements regarding fears for his safety and extradition status. | Washington (implied) | View |
| 2021-11-10 | N/A | Status Conference | Courtroom 110, 40 Centre St... | View |
| 2021-11-01 | N/A | Court Conference | Court | View |
| 2019-11-19 | N/A | Tentative Telephone Conference (TC) with Reid Weingarten regarding Epstein | Telephone | View |
| 2019-11-19 | N/A | Tentative Teleconference with Reid Weingarten re Epstein | RD's office | View |
| 2019-11-19 | N/A | Teleconference (TC) with Reid Weingarten regarding Epstein indictment | RD's office | View |
| 2019-09-03 | N/A | Court Hearing (Case Called) | Courtroom (Southern District) | View |
| 2019-08-27 | N/A | Court hearing to consider the government's motion to dismiss the indictment against Jeffrey Epstein. | New York, N.Y. | View |
| 2019-08-20 | N/A | Stipulation executed to dismiss Appeal No. 19-2221-cr with prejudice | United States Court of Appe... | View |
| 2019-08-10 | N/A | Legal Notification Request | N/A | View |
| 2019-08-10 | N/A | Communication regarding the death of Jeffrey Epstein, the release of a BOP press release, and the... | N/A | View |
| 2019-08-05 | Legal filing | Filing of a Criminal Appeal Transcript Information Form B in the case of United States of America... | UNITED STATES COURT OF APPE... | View |
| 2019-08-05 | N/A | Filing of CURED DEFECTIVE NOTICE OF ADDITIONAL COUNSEL on behalf of Appellant Jeffrey Epstein. | Court of Appeals, 2nd Circuit | View |
| 2019-08-05 | Legal filing | Filing of an 'Acknowledgment and Notice of Appearance' by Reid Weingarten on behalf of Jeffrey Ep... | N/A | View |
| 2019-07-30 | N/A | Anticipated deadline for initial discovery production mentioned by the government ('no later than... | N/A | View |
| 2019-07-26 | N/A | Formal preservation/production request made regarding NPA-related materials. | N/A | View |
| 2019-07-25 | N/A | Protective Order consented to by Defense Counsel. | New York, New York | View |
| 2019-07-25 | Legal filing | A court order in case 1:19-cr-00490-RMB was filed. The order was signed by Judge Richard M. Berma... | United States District Cour... | View |
| 2019-07-22 | Legal filing | A Notice of Appeal was filed on behalf of Jeffrey Epstein, appealing the July 18, 2019 decision. | U.S. DISTRICT COURT S.D. OF... | View |
This document is an automated email notification from the Court of Appeals, 2nd Circuit, dated August 21, 2019. It confirms the filing of a 'FRAP 42 STIPULATION, with prejudice' in the case of United States of America v. Epstein (Case No. 19-2221). The notice lists attorneys Martin G. Weinberg and Reid Weingarten as recipients, along with several redacted Assistant U.S. Attorneys.
An email chain between USANYS officials dated July 12-13, 2019, discussing the Epstein case. One official reports a chance encounter with attorney Reid Weingarten at the Odeon restaurant, where Weingarten stated he had just met with his client (implied to be Epstein) and planned to reach out for an 'interesting conversation' regarding the breadth of sex trafficking statutes.
An email chain from July 25, 2019, involving defense attorney Martin G. Weinberg and others regarding the case 'US v Epstein'. Weinberg confirms his intent to sign a Protective Order on behalf of the defense team and requests information on the timing and format of the first wave of discovery. Subsequent emails discuss internal coordination with individuals named Maurene and Andy to prepare materials before an upcoming conference.
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 letter from the U.S. Attorney for the Southern District of New York to Judge Richard Berman, arguing strongly for the pretrial detention of Jeffrey Epstein. The government contends that Epstein presents an extreme flight risk due to his vast wealth (estimated at over $500 million), private jet, and international ties (residences in Paris and Virgin Islands), and poses a danger to the community as a 'serial sexual predator' with a history of witness manipulation. The letter rejects Epstein's proposed bail package—which included house arrest with private security—as inadequate, citing his ability to flee and the severity of the charges which carry a potential life sentence.
This document is an email chain from July 7-8, 2019, regarding the legal presentment and unsealing of the indictment against Jeffrey Epstein (Case 19 Cr. 490). The correspondence discusses scheduling a meeting with Judge Pitman to 'unseal and wheel' the case and confirms Epstein's representation by attorneys Martin Weinberg and Reid Weingarten. The emails coordinate the timing for the unsealing order and the formal call-in of the case.
This document contains an email exchange from July 2019 involving the U.S. Attorney's Office for the Southern District of New York (SDNY). A Public Affairs official asks for Jeffrey Epstein's attorney information, and a respondent lists Martin Weinberg, Reid Weingarten, and Marc Fernich as the three attorneys who have appeared for him.
This document contains an email chain between Jeffrey Epstein's defense attorney, Martin Weinberg, and government prosecutors (names redacted) from July 6-7, 2019. The correspondence coordinates the logistics for unsealing the indictment against Epstein, his upcoming court presentation at 500 Pearl Street, and discussions regarding bail arguments and search warrant inventories. Weinberg also mentions being with attorney Reid Weingarten.
An email thread dated August 10, 2019 (the day of Jeffrey Epstein's death), instructing recipients to include Martin Weinberg and Reid Weingarten, identified as Epstein's counsel, on any notifications regarding the case 'US v Epstein'. The email also includes a CC to the US Marshals Service (USMS).
This document is an email thread from August 2019, shortly before Jeffrey Epstein's death, regarding the case 'US v Epstein'. Attorney Martin G. Weinberg writes to a redacted party requesting a response to letters seeking the preservation of records, specifically mentioning Assistant US Attorneys in the Northern District of Georgia. The redacted respondent replies on August 9, 2019, stating a comprehensive response will be sent shortly.
An email exchange between the U.S. Attorney's Office (SDNY) and Jeffrey Epstein's defense team (Martin Weinberg, Michael Miller, Reid Weingarten) occurring in late August 2019, shortly after Epstein's death. The correspondence concerns the logistical wrap-up of the criminal case, specifically the 'expected nolle order' (dismissal), the return or certified destruction of discovery materials, and a follow-up on civil forfeiture.
This document contains an email chain from August 2019 involving Michael Miller of Steptoe & Johnson LLP. Miller sends an email regarding a recent filing related to 'Epstein' to redacted recipients, copying colleagues Reid Weingarten, Morgan Lucas, and Michael Scavelli. The top email is a brief acknowledgment of receipt from a redacted sender.
An email thread from August 20, 2019 (ten days after Jeffrey Epstein's death) between attorney Michael Miller of Steptoe & Johnson LLP and a redacted individual. The correspondence concerns the signing and filing of a 'Stipulation to Withdraw Appeal' in the case United States of America v. Epstein U.S. in the 2nd Circuit Court of Appeals (Docket No. 19-2221), likely closing legal proceedings following the defendant's death.
This document is an automated email notification dated November 19, 2019, confirming the acceptance of a scheduled teleconference (TC). The meeting involves officials from the US Attorney's Office (USANYS) and attorney Reid Weingarten, with the subject matter explicitly listed as 're Epstein'. The names of the government officials involved are redacted.
This document is a letter from the U.S. Attorney for the Southern District of New York to Judge Henry Pitman arguing for the detention of Jeffrey Epstein pending trial. The government asserts that Epstein poses an extreme flight risk due to his vast wealth, international ties, and lack of family connections, and presents a danger to the community given the serious nature of the sex trafficking charges and potential for witness obstruction. The letter outlines the evidence against Epstein, his history, and legal arguments supporting pre-trial detention.
This document is a legal motion filed on July 11, 2019, by Jeffrey Epstein's defense attorneys requesting permission to file his supplemental financial disclosure under seal. The defense argues that under the Bail Reform Act, such financial information should remain confidential to prevent widespread media dissemination given the high-profile nature of the case. The document lists Epstein's legal team, including Reid Weingarten, Martin G. Weinberg, and Marc Allan Fernich.
This document is a letter from the U.S. Attorney for the Southern District of New York to Judge Richard Berman, arguing against Jeffrey Epstein's motion for pretrial release. The government details Epstein's extreme flight risk due to his vast wealth (over $500 million), international ties (Paris, Virgin Islands), and private aviation access. It also highlights his danger to the community and obstruction of justice history, citing recent wire transfers to potential witnesses and the discovery of lewd photographs of minors in his home. The government argues that his proposed bail package, including home confinement and private security, is inadequate.
This document is an email dated August 2, 2019, from attorney Michael Miller of Steptoe & Johnson LLP regarding 'U.S. v. Epstein'. The email attaches a discovery letter and is copied to several other individuals, including attorneys Reid Weingarten and Martin G. Weinberg. The primary recipients' names are redacted.
This document is an email chain from July 23-24, 2019, between defense attorney Martin G. Weinberg and an Assistant United States Attorney for the SDNY regarding a Protective Order for the Jeffrey Epstein case (indicated by attachment name '_JE_'). Weinberg outlines several objections to the government's draft, specifically concerning the handling of discovery materials at the MCC (where the defendant is held), the redaction of witness identities, and the labeling of FBI 302 reports. The chain concludes with the AUSA sending a revised order incorporating some edits for signature.
This document is an email thread from July 2019 involving the Southern District of New York (SDNY) and likely Bureau of Prisons staff. An Assistant United States Attorney requests recordings of inmate Jeffrey Epstein's phone calls and email correspondence from July 6 to July 11, 2019, explicitly excluding communications with his attorneys Marc Fernich, Martin Weinberg, and Reid Weingarten. The top email is an automated 'Out of Office' reply from one of the recipients.
An email dated July 11, 2019, from an Assistant U.S. Attorney in the Southern District of New York to the Chambers of Judge Berman. The email serves as a courtesy copy of the Government's response to a sealing motion in the case U.S. v. Epstein (19 Cr. 490). Defense counsel, including an address for Reid Weingarten at Steptoe, is copied on the correspondence.
This document is an email dated July 12, 2019, from an unidentified sender (likely US Attorney's Office) to an unidentified recipient (likely MCC officials). It serves as a cover letter for a subpoena requesting recordings of Jeffrey Epstein's phone calls and his email correspondence from July 6, 2019, through July 11, 2019. The request explicitly excludes privileged communications with his attorneys Marc Fernich, Martin Weinberg, and Reid Weingarten.
An email thread from July 8, 2019, between individuals associated with the US Attorney's Office for the Southern District of New York (SDNY). The discussion concerns Jeffrey Epstein's attorneys ('Epstein attys'), specifically identifying Martin Weinberg and Reid Weingarten via web links. One participant comments on these selections as 'Interesting choices'.
This document is a letter from the U.S. Department of Justice to Magistrate Judge Henry Pitman arguing for the permanent detention of Jeffrey Epstein pending trial. The government contends that Epstein poses an extreme flight risk due to his vast wealth, international ties, and private aircraft, and a danger to the community based on the serious nature of the sex trafficking charges and past allegations of witness tampering.
This document is an automated Notice of Docket Activity from the US Court of Appeals for the 2nd Circuit regarding the case United States of America v. Epstein (19-2221). Dated August 5, 2019, it notifies recipients, including attorney Reid Weingarten, that 'Form B' was filed on behalf of the appellant, Jeffrey Epstein.
Discussion of trials, ISIS, and Turkey.
Scheduled tentative teleconference regarding Epstein matters.
Cover letter submitting documents relating to Mr. Epstein's New Mexico registration status in support of bail submissions.
Letter with attachments Exhibit A and Exhibit B
A letter from Reid Weingarten on behalf of Jeffrey Epstein providing a supplemental bail submission with exhibits.
A letter from Jeffrey Epstein's attorney, Reid Weingarten, to Judge Berman, submitting documents related to Epstein's New Mexico registration status in support of his bail application.
Expresses eagerness to find common ground in 'this nightmare'; mentions demanding judges in other cases and an unexpected potential conflict; notes he is on the west coast.
Confirming chat later in the week at the hearing; mentions starting work on general discovery and a draft protective order.
Agrees; plans to see him at 10:00 prior to the hearing.
States he is 'just leaving the jail'; notes schedule is jammed; asks to talk after the hearing instead.
Acknowledges; confirms readiness to chat Monday at 8:00.
Apologizes for missing CCs due to being 'hopeless on a computer' and using a Blackberry; will send informal agenda after meeting client.
Agrees to talk Monday morning; asks for general sense of agenda; asks Weingarten to CC other team members on communications.
Weingarten states he will be with the client tomorrow evening and suggests meeting Monday morning around 8.
A letter motion regarding pretrial release, which was supplemented by a response filed by Marc Fernich on 07/16/2019.
Letter Motion regarding Pretrial Release
Reid Weingarten certifies that a copy of the foregoing document was served on all registered participants via the Electronic Court Filing system on July 11, 2019.
A letter from Jeffrey Epstein's counsel arguing for his pretrial release. The letter proposes stringent conditions to guarantee his appearance and refutes the government's claim that he is a flight risk, citing his past compliance with a nonprosecution agreement and sex offender registration.
Argument for pretrial release on bail.
A letter motion was filed by Reid Weingarten on behalf of Jeffrey Epstein regarding pretrial release.
Is she in dc today or tomorrow?
URL link to CNBC article about Michael Cohen's delayed prison surrender.
Weingarten stated that Epstein's estate has invoked attorney client privilege and they are not willing to be interviewed by the OIG at this time.
Forwarded news article regarding Elliott Broidy investigation.
Requesting help with DC-related legal stories and asking about 'Bernie E' in light of Skilling's sentence reduction.
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