Ms. Maxwell

Person
Mentions
1982
Relationships
520
Events
872
Documents
955

Relationship Network

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Interactive Network: Click nodes or edges to highlight connections and view details with action buttons. Drag nodes to reposition. Node size indicates connection count. Line color shows relationship strength: red (8-10), orange (6-7), yellow (4-5), gray (weak). Use legend and help buttons in the graph for more guidance.
520 total relationships
Connected Entity Relationship Type
Strength (mentions)
Documents Actions
organization The government
Legal representative
15 Very Strong
68
View
person MR. EPSTEIN
Business associate
15 Very Strong
20
View
person Epstein
Business associate
13 Very Strong
23
View
person Ms. Sternheim
Client
13 Very Strong
11
View
person Juror No. 50
Legal representative
12 Very Strong
35
View
person Jeffrey Epstein
Business associate
12 Very Strong
17
View
person Mr. Everdell
Client
12 Very Strong
12
View
person Juror No. 50
Juror defendant
12 Very Strong
7
View
organization The government
Adversarial
12 Very Strong
16
View
person Bobbi C. Sternheim
Client
11 Very Strong
16
View
person Judge Nathan
Legal representative
11 Very Strong
11
View
person JANE
Alleged perpetrator victim
11 Very Strong
6
View
person Epstein
Co conspirators
11 Very Strong
11
View
organization GOVERNMENT
Legal representative
11 Very Strong
55
View
person Judge Preska
Legal representative
11 Very Strong
10
View
person JANE
Defendant victim
10 Very Strong
6
View
person Jeffrey Epstein
Legal representative
10 Very Strong
5
View
person Mr. Everdell
Legal representative
10 Very Strong
6
View
person Epstein
Financial
10 Very Strong
7
View
organization GOVERNMENT
Adversarial
10 Very Strong
21
View
person Jeffrey Epstein
Association
10 Very Strong
11
View
person Epstein
Friend
10 Very Strong
7
View
person Jeffrey Epstein
Professional
10 Very Strong
9
View
organization The Court
Legal representative
10 Very Strong
10
View
person Epstein
Professional
10 Very Strong
7
View
Date Event Type Description Location Actions
N/A N/A Ms. Maxwell's Sentencing Proceeding Court View
N/A N/A Jury Charge/Instructions regarding circumstantial evidence and inferences. Courtroom View
N/A N/A Jury Selection (Voir Dire) Courtroom View
N/A N/A Detention Hearing Decision Court View
N/A N/A Narrator arrives at Jeffrey's, goes to massage room where Mr. Epstein and Ms. Maxwell are waiting... Jeffrey's residence, massag... View
N/A N/A Request by Daily News to unseal documents related to Ms. Maxwell's new trial effort. N/A View
N/A N/A Took Minor Victim-2 to a movie Unknown View
N/A N/A Sentencing hearing regarding fines, restitution, and guideline calculations. Courtroom View
N/A N/A Period when alleged events took place (described as 'over 25 years ago') Unknown View
N/A N/A Court hearing regarding sentencing enhancements for Ghislaine Maxwell. Courtroom View
N/A N/A Alleged massages of Epstein by Accuser-3 England View
N/A N/A Witness duties regarding household preparation Epstein Residence View
N/A N/A Flight to New Mexico New Mexico View
N/A N/A Court hearing regarding upcoming sentencing and review of the presentence report. Courtroom (Southern District) View
N/A N/A Last bail hearing where the Court expressed concern about lack of ties. Court View
N/A N/A Testimony of Mr. Alessi regarding Ms. Maxwell's use of the telephone directory. Courtroom (implied) View
N/A N/A Ms. Maxwell's forthcoming motion before Judge Nathan. Court View
N/A N/A Jury Charge/Instructions regarding Count Four Courtroom View
N/A N/A Ms. Maxwell visited Mar-a-Lago for potential treatment. Mar-a-Lago View
N/A N/A Acts alleged in Count Four of the Indictment (Transportation of a Minor to Engage in Illegal Sexu... Not specified View
N/A N/A Criminal Trial District Court View
N/A N/A Transportation of Jane in interstate or foreign commerce. Interstate/International View
N/A N/A Sighting of Virginia Roberts Mar-a-Lago View
N/A N/A Spa Check Mar-a-Lago (Spa) View
N/A N/A Three bail renewal hearings Court View

DOJ-OGR-00018692.jpg

This document is a page from a court transcript of direct testimony by a witness named Carolyn. She describes her first visit to Jeffrey Epstein's house, accompanied by a person named Virginia. Upon entering the kitchen, they were greeted by Ms. Maxwell, whom the witness describes as an older lady with an accent and shoulder-length black hair.

Court transcript (testimony)
2025-11-20

DOJ-OGR-00018584.jpg

This is a court transcript from a case filed on August 10, 2022, detailing a discussion about the admissibility of evidence. The court establishes that photographs found during a 2019 search are relevant because they demonstrate a relationship between Mr. Epstein and Ms. Maxwell. The judge rules that defense arguments concerning metadata are for the jury to consider and do not prevent the evidence from being admitted, as the bars for authentication and relevance are low.

Legal document
2025-11-20

DOJ-OGR-00018581.jpg

This document is a page from a court transcript (Case 1:20-cr-00330-PAE) filed on August 10, 2022. Defense attorney Ms. Menninger argues to the Court (outside the presence of the jury) regarding the admissibility of government exhibits (specifically GX304 and GX309), which contain photographs of Ms. Maxwell and Mr. Epstein. Menninger objects to the lack of foundation for these photos, specifically mentioning a photo of Maxwell lying on a boat at an unknown time and location.

Court transcript (united states district court)
2025-11-20

DOJ-OGR-00018365.jpg

This document is a page from a court transcript (Case 1:20-cr-00330-PAE) filed on August 10, 2022. It portrays the Judge instructing the jury that the current witness is not a victim of the crimes charged in the indictment and that testimony regarding sexual conduct with Jeffrey Epstein should not be used to judge the character or propensity of Epstein or Ghislaine Maxwell. Additionally, the Judge orders courtroom sketch artists not to draw the exact likeness of witnesses testifying under pseudonyms to protect their anonymity.

Court transcript (united states district court)
2025-11-20

DOJ-OGR-00016909.jpg

This document is a court transcript from August 10, 2022, detailing a portion of a trial. The transcript captures the conclusion of the government's case, as confirmed by Ms. Comey, and the subsequent colloquy between the judge and the defendant, Ms. Maxwell. The judge formally advises Ms. Maxwell of her right to testify or not to testify, stressing that the decision is hers alone, despite any advice from her attorneys.

Legal document
2025-11-20

DOJ-OGR-00016893.jpg

This document is a court transcript from a case dated August 10, 2022, detailing a legal argument between defense counsel (Mr. Everdell) and government counsel (Ms. Moe). The core issue is the admissibility of a deposition from Ms. Maxwell, which the government wishes to use to rebut a 'last minute' issue raised by the defense concerning Kinnerton Street property records. The defense offers to stipulate to the property records to avoid the deposition being entered and to negate the need for an additional witness.

Court transcript
2025-11-20

DOJ-OGR-00016891.jpg

This document is a court transcript from August 10, 2022, capturing a dialogue between a judge and an attorney, Mr. Everdell. Mr. Everdell argues against admitting evidence provided by the government, stating it is new information that his client, Ms. Maxwell, was not shown during her deposition. He suggests that any confusion in her testimony about her past addresses in London could be due to the vagueness of questioning and her having lived in many different places.

Legal document
2025-11-20

DOJ-OGR-00016890.jpg

This document is a court transcript from August 10, 2022, detailing a legal argument between attorneys Mr. Everdell and Ms. Moe before a judge. Mr. Everdell seeks to admit land registry records for the Kinnerton Street and Stanhope Mews residences to challenge a witness's testimony about Ms. Maxwell's whereabouts in 1992-1993. In exchange for admitting these records, he suggests the prosecution should be allowed to admit deposition testimony from Ms. Maxwell on the same subject.

Legal document
2025-11-20

DOJ-OGR-00016883.jpg

This document is a page from a court transcript (Case 1:20-cr-00330-AJN) involving a dispute between the defense (Mr. Everdell) and prosecution (Ms. Moe) regarding the late disclosure of a witness. The defense introduces Kevin Moran, the owner of the Nags Head Pub located across the street from Ms. Maxwell's residence at 44 Kinnerton Street, as a witness regarding the timing of her residence there. The prosecution objects, citing a lack of prior notice and missing '26.2 material' (witness statements).

Court transcript
2025-11-20

DOJ-OGR-00016362.jpg

This document is a page from a court transcript dated August 10, 2022, detailing the cross-examination of a witness named A. Farmer. The questioning centers on an incident where Ghislaine Maxwell massaged one of Jeffrey Epstein's feet and instructed the witness to massage the other. While the witness confirms there was no touching of private parts, they state they considered the event to be 'sexualized'.

Legal document
2025-11-20

DOJ-OGR-00016344.jpg

This document is a transcript of a legal proceeding, specifically a cross-examination of A. Farmer by Ms. Menninger. The questioning focuses on whether Ms. Farmer spoke with Jeffrey Epstein or Ms. Maxwell about a trip to New Mexico.

Legal document
2025-11-20

DOJ-OGR-00016207.jpg

This document is a transcript from the direct examination of a witness named Visoski, filed on August 10, 2022. Visoski provides a detailed description of the layout of Mr. Epstein's office, including rooms for accounting, investment personnel, an attorney, and personal assistants. The witness explicitly states that Ms. Maxwell and Sarah Kellen both had desks in the personal assistant's room.

Legal document
2025-11-20

DOJ-OGR-00016195.jpg

This document is a transcript of a direct examination of a witness named Visoski, likely a pilot, regarding passengers on Mr. Epstein's private planes. Visoski testifies that his interaction with passengers was minimal, and it was not his primary job to record every passenger's name, especially on domestic flights. He states that passenger information would typically come from Mr. Epstein, Ms. Maxwell, or secretaries at the office.

Legal document
2025-11-20

DOJ-OGR-00016194.jpg

This document is a transcript of a direct examination of a witness named Visoski, filed on August 10, 2022. Visoski testifies about the travel habits of Ms. Maxwell and Mr. Epstein between 1994 and 2004, stating they primarily used private jets. The witness also recounts that Ms. Maxwell claimed partial ownership of a private jet and describes the conveniences of private air travel compared to commercial flights.

Legal document
2025-11-20

DOJ-OGR-00016169.jpg

This document is a partial transcript of an opening statement delivered by Ms. Sternheim on August 10, 2022, in a case against Ms. Maxwell. Ms. Sternheim argues that the government is mischaracterizing lawful conduct as 'grooming' and highlights that witnesses testifying for the government have received substantial payments from the Epstein Victim Compensation Fund, suggesting a potential motive for their testimony.

Legal document
2025-11-20

DOJ-OGR-00015681.jpg

This document is an email from 'G. Max' to a property manager, Ms. Maxwell, regarding issues at a Palm Beach residence. G. Max discusses the work and payment for an employee named Jerome and complains about unresolved maintenance problems, such as a broken TV. The email is a reply to a detailed message from Ms. Maxwell (which is quoted) outlining her efforts to manage another staff member, John, and the creation of household checklists and a manual.

Email
2025-11-20

DOJ-OGR-00002431.jpg

This legal document, filed on February 4, 2021, defends testimony given by Ms. Maxwell. It argues that her denial of awareness of "sexual activities" was truthful because the question's timeframe, "2000s," is ambiguous and can refer to a whole millennium. The document also asserts that questions about "massages" were immaterial and inadmissible in the defamation action because the term was not clarified as sexual or professional.

Legal document
2025-11-20

DOJ-OGR-00002428.jpg

This legal document, filed on February 4, 2021, describes a question posed to Ms. Maxwell regarding her awareness of "sex toys" or "devices" at Epstein's Palm Beach house. The document argues that the question was improper—being compound, vague, and lacking foundation—which led to an objection and Ms. Maxwell's predictable response, "No, not that I recall."

Legal document
2025-11-20

DOJ-OGR-00002420.jpg

This document is page 11 of a legal filing (Case 1:20-cr-00330-AJN) dated February 4, 2021. It outlines Counts Five and Six of the indictment against Ghislaine Maxwell, citing specific testimony from April and July 2016 depositions alleged to be perjury regarding her knowledge of Jeffrey Epstein's recruitment of underage girls and the presence of sex toys at his Palm Beach home. The text also notes a potential violation of a protective order by Giuffre's lawyers in sharing confidential deposition contents with the government.

Legal filing / court document (motion/brief in criminal case)
2025-11-20

DOJ-OGR-00002341.jpg

This legal document, filed on February 1, 2021, is a letter from attorney Bobbi C. Sternheim regarding her client, pretrial detainee Ms. Maxwell. Sternheim argues that allowing Maxwell to use a laptop on weekends and holidays is a necessary and reasonable accommodation for reviewing extensive electronic discovery for her trial. The letter asserts this poses no burden to the Bureau of Prisons (BOP) or the Metropolitan Detention Center (MDC) and requests the court's existing order for access remain in effect.

Legal document
2025-11-20

DOJ-OGR-00002341(1).jpg

This legal document, filed on February 1, 2021, is a letter from attorney Bobbi C. Sternheim arguing that her client, pretrial detainee Ms. Maxwell, should continue to be allowed laptop access on weekends and holidays. Sternheim contends this is a reasonable accommodation necessary for reviewing extensive electronic discovery for trial preparation and that it imposes no burden or security risk on the Bureau of Prisons (BOP) or the Metropolitan Detention Center (MDC).

Legal document
2025-11-20

DOJ-OGR-00002331.jpg

This is the conclusion page of a legal motion filed by Ghislaine Maxwell's defense team on January 25, 2021, arguing for the dismissal of her indictment. The defense claims a Sixth Amendment violation due to the systematic underrepresentation of Black and Hispanic jurors in the selection pool and alleges the government rushed her arrest for publicity reasons to coincide with the anniversary of the Epstein indictment.

Legal filing (motion to dismiss conclusion)
2025-11-20

DOJ-OGR-00002328.jpg

This document is page 8 of a legal filing from January 25, 2021, in the case of Ms. Maxwell. The text argues that the jury selection process in White Plains systematically underrepresented Black and Hispanic individuals, thereby violating Ms. Maxwell's Sixth Amendment right to a fair cross-section. The argument relies on the three-part test established by the Supreme Court in Duren v. Missouri to demonstrate a prima facie violation.

Legal document
2025-11-20

DOJ-OGR-00002328(1).jpg

This legal document, filed on January 25, 2021, is a portion of a legal argument on behalf of Ms. Maxwell. It contends that her Sixth Amendment rights were violated due to the systematic underrepresentation of Black and Hispanic individuals in the jury selected from White Plains. The document cites the three-part test established by the Supreme Court in *Duren v. Missouri* to support the claim of a prima facie violation of the fair cross-section requirement.

Legal document
2025-11-20

DOJ-OGR-00002327.jpg

This legal document is an argument on behalf of defendant Ms. Maxwell, challenging the composition of the grand jury that indicted her. It cites an analysis by jury expert Jeffrey Martin from a similar case, United States v. Balde, which found significant underrepresentation of Black and Hispanic persons in the White Plains jury wheel. The argument posits that since Ms. Maxwell's grand jury was drawn from the same system, her Sixth Amendment right to a grand jury selected from a fair cross-section of the community was violated.

Legal document
2025-11-20
Total Received
$43,000,000.00
6 transactions
Total Paid
$51,600,000.00
14 transactions
Net Flow
-$8,600,000.00
20 total transactions
Date Type From To Amount Description Actions
N/A Received Epstein Ms. Maxwell $10,000,000.00 Bequest from estate View
N/A Paid Ms. Maxwell Court $0.00 Judge intends to impose a fine. View
N/A Received Epstein Ms. Maxwell $10,000,000.00 Bequest listed as an asset View
N/A Paid Ms. Maxwell Government/Victims $0.00 Restitution (Government is not seeking restitut... View
N/A Paid Ms. Maxwell Unspecified $0.00 Sale of 69 Stanhope Mews and purchase of Kinner... View
N/A Received Jeffrey Epstein Ms. Maxwell $0.00 Purchase of a large townhouse. View
N/A Received Epstein Ms. Maxwell $23,000,000.00 Transfer of funds confirmed by bank statements. View
2023-06-29 Paid Ms. Maxwell Court/Government $0.00 Discussion regarding a court-imposed fine and M... View
2022-07-22 Paid Ms. Maxwell the government $0.00 Judge intends to impose a fine; amount not spec... View
2021-03-22 Paid Ms. Maxwell Attorney Escrow A... $0.00 Funds for legal services presently held in atto... View
2021-02-23 Paid Ms. Maxwell Court $0.00 Proposed bond (amount not specified on this pag... View
2021-02-23 Paid Ms. Maxwell Escrow $0.00 Money currently held in escrow for legal fees. View
2020-12-01 Paid Ms. Maxwell N/A $22,000,000.00 Reported assets in support of bail application. View
2020-07-01 Paid Ms. Maxwell N/A (Reporting) $3,800,000.00 Assets reported by Maxwell in July 2020 View
2020-07-01 Paid Ms. Maxwell N/A $3,800,000.00 Assets reported by Ms. Maxwell in July 2020 View
2020-01-01 Paid Ms. Maxwell N/A $22,000,000.00 Assets reported in support of bail application. View
1997-01-01 Received Unknown Ms. Maxwell $0.00 Deal closed for leasehold property. View
1997-01-01 Paid Ms. Maxwell Mr. and Mrs. O'Neill $0.00 Closing of the deal for property sale. View
1996-01-01 Received Unknown Ms. Maxwell $0.00 Contracts exchanged for leasehold property. View
1996-01-01 Paid Ms. Maxwell Mr. and Mrs. O'Neill $0.00 Exchange of contracts for property sale. View
As Sender
52
As Recipient
28
Total
80

Performance of duties at the residence

From: Ms. Maxwell
To: ["Alessi"]

Ms. Maxwell provided instructions to Alessi regarding his duties at the residence, which involved tasks in various rooms and areas of the property.

Verbal instructions
N/A

Legal consultation

From: Ms. Maxwell
To: Counsel

Guards are described as feverishly writing while observing Ms. Maxwell during videoconferencing with her counsel.

Videoconference
N/A

Non-legal personal matters

From: Ms. Maxwell
To: Unknown

Her non-legal phone calls are monitored in real time, and information from them was used by staff to confront her about a personal matter (the death of someone close to her).

Phone call
N/A

Declaration and notice of motion to withdraw

From: HMF
To: Ms. Maxwell

HMF served a copy of the declaration and notice of motion to withdraw on Ms. Maxwell via her new counsel, Mr. Markus.

Service of legal document
2025-08-06

Newspaper

From: Unknown
To: Ms. Maxwell

Received a copy of the New York Times issued in October.

Mail
2025-03-01

Confirmation of decision not to testify

From: THE COURT
To: Ms. Maxwell

Judge asks Maxwell directly if it is correct that she has decided not to testify.

Meeting
2022-08-10

Attorney Glassman

From: Ms. Maxwell
To: The Court (implied)

A letter from Ms. Maxwell's side regarding the testimony of Attorney Glassman.

Letter
2021-12-03

Exhibit List

From: Counsel
To: Ms. Maxwell

Counsel hand-delivered and deposited exhibit list in the MDC legal mailbox.

Delivery
2021-10-17

Waiver Form Review

From: Mr. Cohen and Chris Ev...
To: Ms. Maxwell

Attorneys read the waiver form to Maxwell and received authorization to sign on her behalf.

Meeting
2020-12-10

Request for production of discovery materials

From: Ms. Maxwell
To: ["The Court"]

Ms. Maxwell sent a detailed letter requesting the production of discovery materials under Rule 16 of the Federal Rules of Criminal Procedure, Brady v. Maryland, and Giglio v. United States. The Government has not yet responded.

Letter
2020-10-13

Request to stay unsealing process

From: Ms. Maxwell
To: Judge Preska

Maxwell asked for a stay claiming awareness of critical new information but could not disclose details due to a protective order.

Motion/request
2020-10-09

Denial of stay

From: Judge Preska
To: Ms. Maxwell

Judge Preska declined to stay the unsealing but offered to reevaluate if Judge Nathan modified the protective order.

Court order/ruling
2020-10-09

Request for leave to be excused from publicly filing a re...

From: Ms. Maxwell
To: THE COURT

This document is a filing by Ms. Maxwell requesting permission to not publicly file a redacted version of Appendix Volume 2, citing confidential material under a criminal protective order related to two ongoing appeals.

Court filing
2020-09-24

Modification of protective order

From: Ms. Maxwell
To: The government / Judge...

Request to share information with other judicial officers under seal.

Legal motion/request
2020-09-10

No Subject

From: Ms. Maxwell
To: Unknown

Ms. Maxwell used the phone subscribed to 'Terramar Project, Inc.' to make calls as late as May 2020.

Phone call
2020-01-01

No Subject

From: Ms. Maxwell
To: Unknown

Ms. Maxwell used the phone subscribed to "Terramar Project, Inc." to make calls as late as May 2020.

Phone call
2020-01-01

Civil Defamation Action

From: Ms. Maxwell
To: litigants

Testimony provided under oath involved in the perjury counts.

Deposition
2016-07-01

Sex toys at Palm Beach house

From: Interviewer
To: Ms. Maxwell

Maxwell denied recalling sex toys at Epstein's house.

Deposition
2016-07-01

Civil Defamation Action

From: Ms. Maxwell
To: litigants

Testimony provided under oath involved in the perjury counts.

Deposition
2016-04-01

Recruitment of underage girls

From: Interviewer
To: Ms. Maxwell

Maxwell denied knowing about a scheme to recruit underage girls.

Deposition
2016-04-01

Civil Depositions

From: Ms. Maxwell
To: Civil Litigation Attor...

Two civil depositions where Maxwell allegedly made materially false statements.

Meeting
2016-01-01

Epstein investigation

From: Ms. Maxwell
To: [Redacted Name 4]

Ms. Maxwell called an individual living outside of Sydney to inform them that Mr. Epstein was being investigated and that if they refused to cooperate, they'd be 'taken care of'.

Call
2007-01-01

Request for call back

From: Ms. Maxwell
To: MR. EPSTEIN

"TELL HIM TO CALL ME"

Call
2004-07-25

Called, not important

From: Ms. Maxwell
To: MR Epstein

A message for Mr. Epstein from Ms. Maxwell, taken at 7:44 AM, stating she "CALLED BUT NOT VERY IMPORTENT".

Phone call message
2004-06-06

Called but not very important

From: Ms. Maxwell
To: MR Epstein

At 7:44 AM, Ms. Maxwell called for Mr. Epstein, leaving a message that the call was not very important.

Phone call
2004-06-06

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