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-00001709.jpg

This document is a letter to Judge Alison J. Nathan arguing that the conditions of Ms. Maxwell's confinement at the MDC violate her Sixth Amendment rights by severely restricting her ability to review discovery materials. The defense contends that the BOP's proposed three-hour daily window for reviewing documents is insufficient given the volume of evidence and conflicts with necessary time for hygiene and exercise.

Legal correspondence / court filing
2025-11-20

DOJ-OGR-00001706.jpg

This document is page 2 of a legal letter addressed to Judge Alison J. Nathan on August 10, 2020, concerning the case of Ghislaine Maxwell. The defense argues that the government has delayed discovery production and failed to identify "Victims 1-3," which hinders the defense's ability to investigate allegations dating back 25 years involving Jeffrey Epstein. The text details the timeline of procedural events, protective orders, and discovery deadlines.

Legal correspondence / motion filing page
2025-11-20

DOJ-OGR-00001688.jpg

This legal document is page 4 of a filing from Ms. Maxwell's defense team to Judge Alison J. Nathan, dated July 29, 2020. The defense argues that the government's proposed protective order would improperly restrict their ability to investigate and prepare for trial by limiting contact with witnesses, including accusers who have already publicly identified themselves. The defense also refutes the government's interpretation of their own proposed order, clarifying its intended scope and purpose.

Legal document
2025-11-20

DOJ-OGR-00001687.jpg

This legal document, page 3 of a filing to Judge Alison J. Nathan dated July 29, 2020, presents the defense's argument against a government-proposed protective order in the case against Ms. Maxwell. The defense contends the order would impede their ability to investigate alleged victims and witnesses, citing legal precedents where individuals waived their privacy rights by making information public. The document asserts the need for a full investigation to challenge the credibility of accusers and mount an effective defense for their client, who is presumed innocent.

Legal document
2025-11-20

DOJ-OGR-00001646.jpg

This document is the final page of a legal letter dated July 27, 2020, from attorneys Christian R. Everdell and Mark S. Cohen of COHEN & GRESSER LLP to Judge Alison J. Nathan. The letter concludes a submission requesting that the Court enter a proposed protective order on behalf of their client, Ms. Maxwell. The document is part of Case 1:20-cr-00330-AJN.

Legal document
2025-11-20

DOJ-OGR-00001644.jpg

This legal document, dated July 27, 2020, is a filing in the criminal case of Ms. Maxwell, addressed to Judge Alison J. Nathan. It discusses the legal standard for a protective order over discovery materials, arguing that restrictions should apply not only to the defense but also to the government's potential witnesses and their counsel. The filing expresses concern that these witnesses, who are also involved in civil litigation against Ms. Maxwell, might use the discovery materials to support their civil cases or in public statements.

Legal document
2025-11-20

DOJ-OGR-00001643.jpg

This is a letter dated July 27, 2020, from Ghislaine Maxwell's attorneys at Cohen & Gresser LLP to Judge Alison J. Nathan of the Southern District of New York. The attorneys request the court to enter a protective order for discovery materials in the case of United States v. Ghislaine Maxwell. The letter highlights that while most terms have been agreed upon with the government, two key disputes remain: whether government witnesses should face the same restrictions as the defense regarding discovery materials, and whether the defense should be allowed to identify alleged victims or witnesses who are already public.

Legal document
2025-11-20

DOJ-OGR-00001639.jpg

This legal document, dated July 21, 2020, discusses the case of Ms. Maxwell, focusing on the aftermath of her July 14 detention hearing. It details comments made by David Boies, counsel for an accuser named Farmer, who heavily criticizes Maxwell's 'blame the victim' defense strategy as a 'dangerous tactic'. Boies recounts Farmer's testimony and another story about a 16-year-old named Annie being fraudulently lured by Maxwell and Jeffrey Epstein to a ranch in New Mexico.

Legal document
2025-11-20

DOJ-OGR-00001638.jpg

This legal document, dated July 21, 2020, is page 4 of a filing to Judge Alison J. Nathan. It argues that public statements made by FBI Special Agent William Sweeney and attorneys for witnesses (David Boies, Sigrid McCawley, Bradley Edwards) are prejudicial against Ghislaine Maxwell and violate local court rules. The document quotes these individuals characterizing Maxwell as a villain, speculating on her cooperation, and defining her role as the primary facilitator for Jeffrey Epstein's crimes.

Legal document
2025-11-20

DOJ-OGR-00001637.jpg

This legal document, dated July 21, 2020, is a filing on behalf of Ms. Maxwell arguing that recent public statements by the government have been prejudicial to her right to a fair trial. It specifically cites a press conference held by Acting U.S. Attorney Audrey Strauss on July 2, 2020, following Maxwell's arrest, quoting her statements from the New York Law Journal and the Washington Post as evidence of improper commentary on Maxwell's credibility and guilt.

Legal document
2025-11-20

DOJ-OGR-00001602.jpg

This legal document, filed on July 10, 2020, is a memorandum arguing against the detention of Ms. Maxwell. The defense contends that she has rebutted the presumption of being a flight risk and that the government's argument, based on the potential for a long sentence, oversimplifies the legal standard. The document cites several legal precedents (Friedman, Sabhnani) to support its position while distinguishing Ms. Maxwell's case from those cited by the prosecution (Alindato-Perez).

Legal document
2025-11-20

DOJ-OGR-00001601.jpg

This legal document is a portion of a filing arguing for bail for Ms. Maxwell. The defense contends that the COVID-19 pandemic significantly mitigates her flight risk, citing a recent ruling in another case (U.S. v. El Mokadem) where a defendant was released for this reason. The filing also distinguishes Maxwell's case from Epstein's, arguing the government does not allege she poses a current danger to the community, and that her alleged offenses ended in 1997.

Legal document
2025-11-20

DOJ-OGR-00001597.jpg

This legal document argues that Ghislaine Maxwell is not a flight risk and should be granted release. It asserts that despite the government's claim of her 'frequent international travel', she has not left the United States since Jeffrey Epstein's arrest and subsequent death in August 2019. The document highlights that she remained in the country and maintained contact with prosecutors even as media scrutiny and the risk of her own prosecution intensified, actions which it claims weigh heavily in favor of her release.

Legal document
2025-11-20

DOJ-OGR-00001594.jpg

This legal document, part of a court filing, outlines the legal standards for pre-trial detention concerning the defendant, Ms. Maxwell. It details the government's dual burden to prove she is a flight risk and that no conditions can ensure her appearance in court. The document also discusses the Bail Reform Act's rebuttable presumption against release and how the defense can counter it, noting that unlike in the Epstein case, the government is not arguing that Ms. Maxwell is a danger to the community.

Legal document
2025-11-20

DOJ-OGR-00001593.jpg

This page is from a legal memorandum filed on July 10, 2020, arguing for the pretrial release of Ghislaine Maxwell. The defense contends that the government has failed to prove she is a flight risk or that no conditions exist to assure her appearance, citing the Bail Reform Act and Supreme Court precedent (Salerno) establishing liberty as the norm and detention as an exception. A footnote references a separate letter regarding poor prison conditions, including lack of visitation and legal access, which the defense argues are 'compelling reasons' for release.

Court filing (legal memorandum/motion for bail)
2025-11-20

DOJ-OGR-00001591.jpg

This legal document argues for the release of Ms. Maxwell from detention, citing the impact of the COVID-19 pandemic on her ability to prepare her defense. The filing references the 'Stephens' case as a precedent, emphasizing that the BOP's suspension of in-person visits prevents Ms. Maxwell from having the necessary meetings with her counsel for a case involving events from twenty-five years ago.

Legal document
2025-11-20

DOJ-OGR-00001590.jpg

This is page 10 of a legal filing from July 10, 2020, in the case United States v. Ghislaine Maxwell. The text argues for release or specific detention conditions based on the high risk of COVID-19 in prisons, citing statistics and prior court rulings. It specifically notes that Maxwell was transferred to the Metropolitan Detention Center (MDC) by the BOP on July 6, 2020.

Legal court document (motion/memorandum)
2025-11-20

DOJ-OGR-00001582.jpg

This document is the table of contents for a legal filing (Document 18 in Case 1:20-cr-00330-AJN), filed on July 10, 2020. The filing argues for the release of Ms. Maxwell, citing the COVID-19 pandemic and challenging the government's assertion that she is a flight risk.

Legal document
2025-11-20

DOJ-OGR-00001431.jpg

This legal document, filed on April 29, 2021, is a letter from attorney Bobbi C. Sternheim to the Court regarding the confinement conditions of her client, Ms. Maxwell, at the MDC. Sternheim requests the Court to order the MDC to stop the disruptive 15-minute flashlight surveillance of Ms. Maxwell and argues that the threat of placing her in the Special Housing Unit (SHU) is ironic and unwarranted, as her only contact is with staff.

Legal document
2025-11-20

DOJ-OGR-00001417.jpg

This legal document, part of a court filing, argues that Ms. Maxwell is being subjected to abusive and inhumane conditions by the Bureau of Prisons (BOP). The filing claims this treatment is retribution for Jeffrey Epstein's death while in BOP custody. To support the claim of agency incompetence, it quotes District Judge Colleen McMahon from a separate case criticizing the Department of Justice and the Bureau of Prisons.

Legal document
2025-11-20

DOJ-OGR-00001416.jpg

This legal document excerpt details the defense's arguments on behalf of Ms. Maxwell regarding her treatment at MDC Brooklyn. The defense claims the government and court are unfairly handling evidence, specifically a videotape of an incident that would allegedly disprove statements made by MDC staff. The document also highlights the defense's frustration with the court's dismissal of their complaints about jail conditions, such as guards flashing a light in Ms. Maxwell's cell every 15 minutes.

Legal document
2025-11-20

DOJ-OGR-00001413.jpg

This legal document, part of a court filing, argues that the government misrepresented the nature of its treatment of inmate Ms. Maxwell. The filing claims the government initially told the court that flashlight checks every 15 minutes were a routine procedure by the Bureau of Prisons, but later admitted in a letter that these checks were targeted only at Ms. Maxwell. The document asserts this special treatment is unjustified and an attempt by the government to mislead the court.

Legal document
2025-11-20

DOJ-OGR-00001410.jpg

This legal document, dated May 17, 2021, is a filing on behalf of Ms. Maxwell, a pre-trial detainee. It argues that the horrific conditions of her confinement—including sleep deprivation, contaminated water, surveillance of legal meetings, and overflowing sewage—make it impossible for her to prepare for trial. The filing renews a motion for bond and relief, referencing a prior district court order that admonished the Bureau of Prisons and the MDC to apply only necessary and standard security protocols.

Legal document
2025-11-20

DOJ-OGR-00001402.jpg

This legal document is a letter from attorney Bobbi C. Sternheim to the Court, filed on February 7, 2021, concerning her client, Ms. Maxwell. Sternheim argues that the Court's request for public updates on Maxwell's confinement is harmful, fueling negative media attention and jeopardizing her right to a fair trial. The letter criticizes the government's actions and requests that any future updates on Maxwell's condition be filed under seal to protect her privacy and legal rights.

Legal document
2025-11-20

DOJ-OGR-00001395.jpg

This legal document, filed on April 19, 2021, by the Law Offices of Bobbi C. Sternheim, argues for a continuance (delay) of the trial for their client, Ms. Maxwell. The defense contends that the government's proposed trial schedule is unrealistic, especially given a recent second superseding indictment, and that proceeding would violate Ms. Maxwell's constitutional rights. The filing also notes the prejudicial impact of Ms. Maxwell's continued detention and ongoing media coverage, and mentions an upcoming bail appeal hearing in the Second Circuit.

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

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

Unknown

From: Sally Hayden
To: Ms. Maxwell

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

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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