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-00002327(1).jpg

This legal document argues that the defendant, Ms. Maxwell, was denied her Sixth Amendment right to a grand jury selected from a fair cross-section of the community. It cites a parallel case, U.S. v. Balde, and an expert analysis by Jeffrey Martin, which found significant underrepresentation of Black and Hispanic individuals in the White Plains jury wheel. Because Ms. Maxwell's grand jury was drawn from the same pool, the document contends this analysis applies to her case as well.

Legal document
2025-11-20

DOJ-OGR-00002325.jpg

This document is page 5 of a legal filing (Statement of Facts) dated January 25, 2021, arguing that Ghislaine Maxwell's indictment should be dismissed due to Sixth Amendment violations. The defense contends that while the alleged crimes occurred at Epstein's Manhattan residence, the government improperly used a grand jury from White Plains due to COVID-19 protocols, deviating from established practice.

Legal filing / court motion (statement of facts)
2025-11-20

DOJ-OGR-00002325(1).jpg

This document is page 5 of a legal filing (Statement of Facts) dated January 25, 2021, arguing that Ghislaine Maxwell's indictment should be dismissed due to Sixth Amendment violations. The defense contends that while the alleged crimes occurred at Epstein's Manhattan residence, the government improperly used a grand jury from White Plains due to COVID-19 protocols, deviating from established practice.

Legal filing / court motion (statement of facts)
2025-11-20

DOJ-OGR-00002317.jpg

This document is the conclusion of a legal filing dated January 25, 2021, submitted by the attorneys for Ghislaine Maxwell. The attorneys argue that the indictment lacks the necessary specificity for Maxwell to prepare an adequate defense for Counts One through Four, violating her Fifth and Sixth Amendment rights. They request that the court either dismiss these counts or compel the government to provide a Bill of Particulars and further discovery.

Legal document
2025-11-20

DOJ-OGR-00002317(1).jpg

This legal document, dated January 25, 2021, is a memorandum filed in support of a motion for a Bill of Particulars and Pretrial Disclosures in the case against Ms. Maxwell. It argues that the indictment lacks specificity regarding alleged 'grooming' acts, violating her constitutional rights, and requests either the dismissal of certain counts or that the government provide more detailed information for her defense. The document is signed by several attorneys representing Ghislaine Maxwell.

Legal document
2025-11-20

DOJ-OGR-00002316(1).jpg

This legal document, part of a filing on behalf of Ms. Maxwell, argues that the indictment against her is unconstitutionally vague. It claims the inconsistent use of terms like "minor victims" and "girls," combined with a lack of specific dates for alleged crimes from decades ago, prevents Maxwell from preparing an adequate defense. The filing asserts this vagueness makes it impossible to investigate the allegations or challenge the prosecution's evidence effectively at trial.

Legal document
2025-11-20

DOJ-OGR-00002315.jpg

This legal document, filed on January 25, 2021, argues that the indictment against Ms. Maxwell lacks sufficient specificity regarding the alleged crimes and the identities of accusers/victims. It contends that the open-ended time periods and vague descriptions of 'minor girls' or 'victims' in the indictment make it impossible for Ms. Maxwell to prepare an adequate defense or apply the statute of limitations. The document cites legal precedents to support the argument for greater specificity in criminal charges.

Legal document
2025-11-20

DOJ-OGR-00002315(1).jpg

This legal document is a court filing arguing that the indictment against Ms. Maxwell is insufficient for her to prepare a defense. The filing claims the indictment uses vague, open-ended time periods for the alleged crimes (e.g., 'from at least in or about 1994') and fails to specifically identify the accusers, referring to them with general terms like 'minor girls' and 'victims'. This vagueness, the document argues, makes it impossible to apply the statute of limitations or know who the government considers a victim.

Legal document
2025-11-20

DOJ-OGR-00002314.jpg

This legal document, filed on January 25, 2021, is an argument on behalf of Ms. Maxwell to dismiss the Superseding Indictment against her. The defense claims the indictment is unconstitutionally vague because it fails to specify dates for the alleged crimes beyond a broad '1994-1997' range and lacks specific details, thereby preventing Ms. Maxwell from preparing an adequate defense. The filing requests the Court to either dismiss counts one through four of the indictment or compel the Government to provide a Bill of Particulars with more specific information.

Legal document
2025-11-20

DOJ-OGR-00002314(1).jpg

This document is a page from a legal motion filed on January 25, 2021, in the case of United States v. Ghislaine Maxwell. The defense argues that the Superseding Indictment is vague, failing to identify specific accusers or dates beyond the range of 1994-1997. The filing requests that the Court dismiss Counts One through Four or force the Government to provide a Bill of Particulars, citing Federal Rule of Criminal Procedure 7(c)(1) and Constitutional precedents regarding due process.

Legal filing (motion to dismiss / request for bill of particulars)
2025-11-20

DOJ-OGR-00002303(1).jpg

This legal document, filed on January 25, 2021, is a motion from Ms. Maxwell requesting the Court to dismiss Count One or Count Three of her Superseding Indictment. She argues that these counts are multiplicitous, charging the same offense twice, and thus violate the Double Jeopardy Clause of the Fifth Amendment. The document cites legal precedents to define multiplicity and explain its dangers.

Legal document
2025-11-20

DOJ-OGR-00002294.jpg

This legal document argues against including perjury counts in Ms. Maxwell's criminal trial. The author contends that doing so would force the relitigation of a complex and unresolved civil defamation case (dismissed in 2017), making the current trial unnecessarily long and confusing. Furthermore, it raises the issue that including these counts could force Ms. Maxwell's long-term lawyers to testify, potentially leading to their disqualification from the case.

Legal document
2025-11-20

DOJ-OGR-00002293.jpg

This legal document, part of a court filing, presents an argument from Ms. Maxwell's defense against the joinder of Perjury Counts with Mann Act Counts in her indictment. The defense contends that this joinder would prejudice the jury and that the government is strategically manipulating the timeframes of the alleged conduct (1994-1997) to avoid the legal implications of Epstein's 2007 Non-Prosecution Agreement, which the government claims only covers conduct from 2001-2007.

Legal document
2025-11-20

DOJ-OGR-00002293(1).jpg

This legal document, filed on January 25, 2021, presents an argument from Ms. Maxwell's defense. The defense argues against the joinder of Perjury Counts with Mann Act Counts, asserting it would create a substantial risk of jury confusion and prejudice Ms. Maxwell. The document also accuses the government of strategically limiting the charges to the 1994-1997 period to avoid the legal implications of Epstein's 2007 Non-Prosecution Agreement, while simultaneously trying to introduce conduct from a later period.

Legal document
2025-11-20

DOJ-OGR-00002291.jpg

This page from a legal filing argues that Perjury Counts against Ms. Maxwell should not be joined with Mann Act Counts under Rule 8(a) because the connection is illogical, and that they should be severed under Rule 14(a) to prevent substantial prejudice. The defense contends that the perjury charges stem from confusing questions in a separate defamation lawsuit and that a joint trial would improperly force the re-litigation of that civil matter.

Legal motion / memorandum of law
2025-11-20

DOJ-OGR-00002291(1).jpg

This page from a legal filing argues that Perjury Counts against Ms. Maxwell should not be joined with Mann Act Counts under Rule 8(a) because the connection is illogical, and that they should be severed under Rule 14(a) to prevent substantial prejudice. The defense contends that the perjury charges stem from confusing questions in a separate defamation lawsuit and that a joint trial would improperly force the re-litigation of that civil matter.

Legal motion / memorandum of law
2025-11-20

DOJ-OGR-00002290(1).jpg

This document is page 12 of a defense filing (Document 120) from January 2021 in the case United States v. Ghislaine Maxwell. The text argues against the 'joinder' (combining) of Perjury Counts with Mann Act Counts, stating that Maxwell's alleged false statements in 2016 civil depositions were tangential to the defamation case and not part of a 'common scheme' to obstruct the Mann Act investigation. The defense distinguishes this case from legal precedent (Potamitis), emphasizing that Maxwell did not lie to the FBI or a Grand Jury to derail an investigation.

Court filing / legal motion (defense argument)
2025-11-20

DOJ-OGR-00002285.jpg

This document is page 7 of a legal filing (Document 120) from January 25, 2021, in the case against Ghislaine Maxwell. It outlines Counts Five and Six of the indictment, which allege perjury stemming from two civil depositions given by Maxwell in 2016. The text primarily discusses 'Applicable Law' regarding the 'Joinder of Offenses' under Rule 8(a) of the Federal Rules of Criminal Procedure, citing various legal precedents to justify joining separate offenses in a single indictment for trial efficiency.

Court filing / legal brief
2025-11-20

DOJ-OGR-00002285(1).jpg

This legal document, part of case 1:20-cr-00330-AJN filed on January 25, 2021, addresses the perjury counts (Five and Six) against Ms. Maxwell. It alleges she testified falsely in two separate civil depositions on April 22, 2016, and July 22, 2016. The document then lays out the applicable law regarding the joinder of offenses under Rule 8(a) of the Federal Rules of Criminal Procedure, citing case law to explain the balance between trial efficiency and potential prejudice to the defendant.

Legal document
2025-11-20

DOJ-OGR-00002283(1).jpg

This document is an introduction to a legal motion filed by Ghislaine Maxwell's defense on January 25, 2021, requesting the severance of perjury charges (Counts Five and Six) from sex trafficking charges (Counts One through Four). The defense argues that joining these counts causes substantial prejudice because the perjury charges stem from a 2016 civil defamation suit involving Virginia Roberts Giuffre, whose allegations the defense characterizes as false and financially motivated. The document contends that Giuffre is not one of the accusers in the primary trafficking counts and that introducing her testimony would improperly influence the jury regarding conduct alleged to have occurred between 1994 and 1997.

Legal filing (motion to sever counts)
2025-11-20

DOJ-OGR-00002280.jpg

This document is the table of contents for a legal filing in Case 1:20-cr-00330-AJN, filed on January 25, 2021. The filing outlines arguments concerning the joinder and severance of offenses, specifically distinguishing between "Mann Act Counts" and "Perjury Counts," and argues that the perjury counts should be severed to avoid substantially prejudicing Ms. Maxwell at trial.

Legal document
2025-11-20

DOJ-OGR-00002280(1).jpg

This document is the table of contents for a legal filing in Case 1:20-cr-00330-AJN, filed on January 25, 2021. The filing outlines arguments concerning the joinder and severance of offenses against Ms. Maxwell, specifically distinguishing between "Mann Act Counts" and "Perjury Counts," and argues that the perjury counts should be severed to avoid prejudicing her at trial.

Legal document
2025-11-20

DOJ-OGR-00002262.jpg

This legal document is a letter dated January 8, 2021, from attorney Christian R. Everdell to Judge Alison J. Nathan. Everdell requests a 30-day extension to file a notice of appeal regarding the denial of his client, Ms. Maxwell's, renewed motion for bail, arguing it would promote judicial efficiency. Judge Nathan denied the request in a handwritten note dated January 11, 2021, stating that sufficient cause for the extension had not been provided.

Legal document
2025-11-20

DOJ-OGR-00002260.jpg

This legal document is the second page of a letter dated January 8, 2021, from attorney Christian R. Everdell to Judge Alison J. Nathan. Everdell requests a 30-day extension for his client, Ms. Maxwell, to file a notice of appeal against the court's December 28, 2020 order denying her bail. The letter argues the extension would promote judicial efficiency and notes that the government objects to the request.

Legal document
2025-11-20

DOJ-OGR-00002249.jpg

This legal document, part of a court filing from December 30, 2020, discusses a bail application for a defendant, Ms. Maxwell. It recounts that the Court initially found her financial disclosures incomplete, but she has since provided a more detailed report from a UK accounting firm, Macalvins, and a review by a former IRS agent. Despite the new information, the Court remains unpersuaded that the proposed bail package, secured by $8 million in property and $500,000 in cash, would reasonably assure her appearance in court.

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

Returning a call

From: MS. NECOLE HESSE
To: Ms. Maxwell

Ms. Necole Hesse called Ms. Maxwell at 6:55 PM. The message was 'RETURNIN YOUR CALL'. The callback number is 832 6777. The message was taken by 'Rushi'.

Phone message
2004-04-25

Unknown

From: Sally Hayden
To: Ms. Maxwell

Discusses a conversation with John; response to a prior email.

Email
2001-05-25

PB manual

From: Sally Hayden
To: Ms. Maxwell

An email sent at 6:46 p.m. on May 25, 2001, from Sally to Ms. Maxwell. It is a response to a prior email and discusses the status of a "PB manual" and a conversation with "John".

Email
2001-05-25

Check off lists

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

Ms. Maxwell mentions faxing check off lists to John about two weeks prior to her May 25th email in preparation for the household manual.

Fax
2001-05-11

Travel invitation

From: Ms. Maxwell
To: CAROLYN

Invited Carolyn to travel from Florida to a place outside of Florida with Epstein

Invitation
2001-01-01

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