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
person at least one other person
Co conspirators
5
1
View
person Judge Preska
Judicial
5
1
View
person Carolyn
Criminal defendant victim
5
1
View
person Epstein
Co implicated
5
1
View
person Mark S. Cohen
Professional
5
1
View
person Alessi
Observational
5
1
View
person Prison guards
Adversarial
5
1
View
person Nicole Simmons
Professional
5
1
View
person Adam Mueller
Professional
5
1
View
person other alleged co-conspirators
Alleged criminal conspiracy
5
1
View
person Minor Victim-2
Alleged perpetrator victim
5
1
View
person Minor Victim-3
Alleged perpetrator victim
5
1
View
person Juror 50
Adversarial
5
1
View
person Ms. Sternheim
Legal representative
5
1
View
person Unnamed Judge
Legal representative
5
1
View
person sureties
Financial
5
1
View
person friends and family
Friend
5
1
View
person Jeffrey Martin
Indirect
5
1
View
person MS. McCAWLEY
Professional
5
1
View
person Jeffrey Epstein
Professional criminal
5
1
View
person CAROLYN
Professional
5
1
View
organization GOVERNMENT
Investigative
5
1
View
organization [REDACTED]
Professional
5
1
View
person Nicole Simmons
Legal representative
5
1
View
person Adam Mueller
Legal representative
5
1
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-00005338.jpg

This document is page 16 of a juror questionnaire for the criminal case against Ghislaine Maxwell (Case 1:20-cr-00330-PAE), filed on October 22, 2021. The questions are designed to screen potential jurors for pre-existing knowledge, biases, and opinions about Ghislaine Maxwell and her associate Jeffrey Epstein, based on media they may have consumed or discussions they may have had. The document also includes annotations indicating legal objections and proposed changes from both the defense and the government.

Juror questionnaire
2025-11-20

DOJ-OGR-00005335.jpg

This document is a proposed juror questionnaire from case 1:20-cr-00330-PAE, filed on October 22, 2021. It includes a section on 'Media Issues' which is contested by the government and defended by the defendant. The defendant's response argues for in-depth questioning about media exposure, citing legal precedents like the Tsarnaev case to emphasize the necessity of uncovering potential juror bias in high-profile cases involving individuals like Ms. Maxwell and Mr. Epstein.

Legal document
2025-11-20

DOJ-OGR-00005312.jpg

This document is a page from a juror questionnaire for the legal case 1:20-cr-00330-PAE, filed on October 22, 2021. It contains questions designed to determine if a potential juror has prior knowledge of Ms. Maxwell or Jeffrey Epstein and whether that knowledge would prevent them from being fair and impartial. The questions also probe whether a juror's personal experiences, as indicated in previous answers, would affect their ability to serve.

Legal document
2025-11-20

DOJ-OGR-00005311.jpg

This document is a page from a legal filing in the criminal case of Ms. Maxwell (Case 1:20-cr-00330-PAE), dated October 22, 2021. It contains a series of questions for a potential juror to assess their ability to follow fundamental legal instructions, such as the presumption of innocence, avoiding media reports and independent research, and to confirm their availability for the trial scheduled between November 29 and January 15.

Legal document
2025-11-20

DOJ-OGR-00005298.jpg

This document is a page from a juror questionnaire for a legal case, filed on October 22, 2021. The questions are designed to determine if a potential juror can remain impartial, specifically asking about their prior knowledge of Jeffrey Epstein and Ms. Maxwell. It probes whether any pre-formed opinions or knowledge of Ms. Maxwell's alleged association with Epstein would interfere with their ability to render a fair verdict based solely on trial evidence.

Legal document
2025-11-20

DOJ-OGR-00005296.jpg

This document is a page from a juror questionnaire for a legal case (Case 1:20-cr-00330-PAE) filed on October 22, 2021. The questionnaire assesses potential jurors' prior knowledge and opinions regarding 'Ms. Maxwell', acknowledging the case has received significant media attention and asking about any preconceived notions of her guilt or innocence.

Legal document
2025-11-20

DOJ-OGR-00002685.jpg

This document is page 10 of a legal defense filing in the case United States v. Ghislaine Maxwell, filed on Feb 4, 2021. The text argues that the indictment fails to establish a conspiracy charge regarding 'Accuser-3' because there is no evidence of interstate or foreign travel (a requirement for federal jurisdiction), noting that the alleged incidents took place in England. Additionally, the defense argues that any charges related to Accuser-3 are time-barred by the statute of limitations.

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

DOJ-OGR-00002682.jpg

This legal document, filed on February 4, 2021, summarizes the allegations against Ms. Maxwell from an indictment. It details four counts related to violations of the Mann Act between 1994 and 1997, including substantive violations and conspiracy with Jeffrey Epstein and others. The allegations specify that Maxwell enticed and caused 'Accuser-1' to travel from Florida to New York for illegal sex acts with Epstein.

Legal document
2025-11-20

DOJ-OGR-00002677.jpg

This document is the Table of Contents for a legal filing (Document 146) in the case of United States v. Ghislaine Maxwell (Case 1:20-cr-00330-AJN), filed on February 4, 2021. The filing outlines arguments to strike references to 'Accuser-3' from the indictment, claiming they are surplusage, irrelevant to the alleged conspiracies, and unduly prejudicial to Ms. Maxwell. Alternatively, it argues the Government should be required to demonstrate the admissibility of evidence regarding Accuser-3.

Legal filing (table of contents)
2025-11-20

DOJ-OGR-00020349.jpg

This legal document, filed on April 29, 2021, is a letter from attorney Bobbi C. Sternheim to the Court regarding her client, Ms. Maxwell, an inmate at the MDC. Sternheim argues against the MDC's threat to move Maxwell to the Special Housing Unit (SHU), claiming she needs protection from staff, not other inmates. The letter also formally requests the Court to order the MDC to stop the disruptive 15-minute flashlight surveillance of Maxwell while she sleeps.

Legal document
2025-11-20

DOJ-OGR-00020332.jpg

This document is page 8 of a legal filing (Case 21-58) dated May 17, 2021, arguing against the mistreatment of Ms. Maxwell, specifically regarding sleep deprivation and accusations about hygiene. The defense argues that the government misrepresented facts by claiming Maxwell caused a smell in her cell by not flushing, while the defense asserts the smell was due to MDC infrastructure issues. This claim is supported by testimony from another inmate, Tiffany Days, who described a 'feces flood' at the facility.

Court filing / legal brief
2025-11-20

DOJ-OGR-00020331.jpg

This legal document argues that the government misrepresented information to the court regarding the treatment of inmate Ms. Maxwell. The government initially claimed that flashlight checks every 15 minutes were a routine procedure, but later admitted in a letter that Ms. Maxwell is the only inmate subjected to this treatment. The document contends this is a form of mistreatment being justified without proper evidence, such as an affidavit.

Legal document
2025-11-20

DOJ-OGR-00020319.jpg

This document is page 4 of a legal filing by the Law Offices of Bobbi C. Sternheim on behalf of Ghislaine Maxwell, filed on April 7, 2021. It details complaints regarding Maxwell's confinement conditions at the MDC, including delayed legal mail, unreadable discovery discs, moldy food, sleep deprivation due to lighting and flashlight checks, and 'de facto solitary confinement.' The filing also argues that inadequate computer access hinders her ability to review millions of pages of discovery for her defense.

Legal correspondence / court filing
2025-11-20

DOJ-OGR-00020311.jpg

This legal document is a motion filed by the defense counsel for Ms. Maxwell, arguing for a continuance (postponement) of her trial scheduled for July 12, 2021. The defense claims that the challenges of preparing for the case during the COVID-19 pandemic, combined with the need to review voluminous discovery and investigate new allegations, make it impossible to be ready by the scheduled date. The filing refutes the government's assertion of trial readiness and details the extensive work still required for an adequate defense.

Legal document
2025-11-20

DOJ-OGR-00005779.jpg

This legal document is a motion arguing for the exclusion of certain evidence in the case against Ms. Maxwell. The defense claims that a photograph of Maxwell found at Jeffrey Epstein's house (Exhibit 313) and a "Household Manual" dated 2005 (Exhibit 606) are irrelevant and unfairly prejudicial. The document cites legal standards, such as Rule 401, to argue that this evidence has no bearing on the case and was created outside the timeframe of the alleged indictment.

Legal document
2025-11-20

DOJ-OGR-00005773.jpg

This document is the conclusion of a legal filing submitted on October 18, 2021, by the attorneys for Ghislaine Maxwell. The attorneys request that the court issue an order preventing all trial participants from referring to the accusers as "victims" or "minor victims." They argue that using such terms would violate Ms. Maxwell's presumption of innocence and lessen the government's burden of proof.

Legal document
2025-11-20

DOJ-OGR-00005772.jpg

This document is page 7 of a legal filing (Document 395) from the Ghislaine Maxwell trial (Case 1:20-cr-00330-PAE), filed on October 29, 2021. The text presents legal arguments citing various case precedents to contend that the prosecution and the Court should not refer to accusers as 'victims' or 'minor victims.' The filing argues that such terminology improperly influences the jury, implies guilt before a verdict, and specifically prejudices the charge regarding whether Maxwell knew the accusers were underage.

Court filing / legal motion
2025-11-20

DOJ-OGR-00005762.jpg

This legal document is a portion of a motion arguing to exclude evidence of an alleged rape committed by Mr. Epstein from the trial of Ms. Maxwell. The argument posits that such evidence is not part of the charged conspiracy (which is limited to securing "sexualized massages"), is highly inflammatory and unduly prejudicial, and would confuse the jury, leading to a conviction on an improper emotional basis. The document cites several legal precedents to support the exclusion of this evidence under Rule 403.

Legal document
2025-11-20

DOJ-OGR-00005761.jpg

This legal document, part of case 1:20-cr-00330-PAE filed on October 29, 2021, presents an argument to exclude testimony about Mr. Epstein allegedly raping 'Accuser-1' from Ms. Maxwell's trial. The filing contends that such evidence is irrelevant to the specific charges against Maxwell and that its potential for creating unfair prejudice against her substantially outweighs any probative value, citing Federal Rules of Evidence 401, 402, and 403.

Legal document
2025-11-20

DOJ-OGR-00005742.jpg

This document is a legal argument from a court filing, dated October 29, 2021, in case 1:20-cr-00330-PAE. The defense argues that a photographic identification of Ms. Maxwell conducted on June 23, 2021, was suggestive and tainted, and therefore should be suppressed by the Court. The argument cites several U.S. Supreme Court cases to support the claim that the procedure violated the defendant's right to due process.

Legal document
2025-11-20

DOJ-OGR-00005730.jpg

This document details an ongoing investigation into Jeffrey Epstein, focusing on investigative measures taken by police officers, including subpoenas and a search warrant at Epstein's residence. It describes the involvement of several redacted individuals, one of whom was introduced to Epstein, performed a massage, and recruited other girls at his request, later cooperating with police for a lesser charge. The document also clarifies Ms. Maxwell's non-involvement with purported victims and her absence during the search warrant execution, with seized materials being turned over to the United States Attorney.

Legal document
2025-11-20

DOJ-OGR-00005729.jpg

This legal document, filed on October 29, 2021, is part of the case against Ms. Maxwell. It argues for the exclusion of evidence obtained from a 2005 search of Jeffrey Epstein's Palm Beach residence, citing issues with authentication and relevance. The document also details a separate Palm Beach Police investigation from 2005, noting that Ms. Maxwell was never a target and that an alleged victim in that investigation eventually admitted to contact with Epstein.

Legal document
2025-11-20

DOJ-OGR-00005727.jpg

This document is the table of contents for a legal filing (Document 391) in case 1:20-cr-00330-PAE, filed on October 29, 2021. The filing outlines arguments against the admissibility of evidence from "The Palm Beach Investigation" due to lack of authenticity. It also argues that the absence of a "Detective Recarey" infringes upon "Ms. Maxwell's" constitutional right to confront and cross-examine witnesses.

Legal document
2025-11-20

DOJ-OGR-00005719.jpg

This legal document argues that certain proffered documents cannot be authenticated as required by Federal Rules of Evidence. The filing suggests the documents, which surfaced in 2009, were likely manipulated or manufactured by Mr. Rodriguez, a former employee of Mr. Epstein, in an attempt to secure a $50,000 payment. The document asserts there is no evidence linking the creation or maintenance of these documents to Ms. Maxwell or any other credible source.

Legal document
2025-11-20

DOJ-OGR-00005708.jpg

This legal document, filed on October 29, 2021, presents an argument against introducing evidence of alleged false statements (perjury counts) in Ms. Maxwell's trial. The filing contends that such evidence would substantially prejudice the jury by introducing unrelated allegations, risk the disqualification of her counsel, and create a distracting side-show, thereby jeopardizing her Sixth Amendment right to a fair trial. The arguments heavily rely on the Court's reasoning from a prior severance ruling.

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

A booklet/checklist

From: Alessi
To: Ms. Maxwell

Mr. Alessi recalls telling Ms. Maxwell that he would not confirm or do the work required by a booklet/checklist because it was too much work on top of his daily duties.

Conversation
N/A

Travel arrangement for Jane

From: Ms. Maxwell
To: Unknown

The document mentions an incident where 'allegedly Ms. Maxwell got on the phone and somehow arranged for Jane to get back to Palm Beach'.

Phone call
N/A

Needing something

From: Ms. Maxwell
To: Rodgers

Early on, Ms. Maxwell would contact the witness by beeper if she needed something.

Beeper
N/A

Legal Emails

From: Ms. Maxwell
To: Legal Counsel

Legal emails prematurely deleted by MDC in violation of policy.

Email
N/A

Discovery Disc

From: the government
To: Ms. Maxwell

Federal Express envelope containing an unreadable discovery disc, delayed by two weeks.

Mail
N/A

Upcoming flight information

From: Ms. Maxwell
To: Rodgers

Ms. Maxwell would contact the witness (Rodgers) via beeper to convey information about upcoming flights on Mr. Epstein's planes.

Beeper
N/A

Legal matters

From: Ms. Maxwell
To: Legal Counsel

The document alleges that all of Ms. Maxwell's legal emails were erased from the CorrLinks system.

Email
N/A

Upcoming flight on one of Mr. Epstein's planes

From: Ms. Maxwell
To: Rodgers

Ms. Maxwell would contact the witness via beeper to provide information about an upcoming flight.

Beeper
N/A

CorrLinks emails

From: Ms. Maxwell
To: Unknown

Ms. Maxwell's CorrLinks emails were allegedly erased by guards.

Email
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

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

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

Upcoming flight on one of Mr. Epstein's planes

From: Ms. Maxwell
To: Rodgers

After beepers were no longer used, Ms. Maxwell would contact the witness via cell phone to provide information about an upcoming flight.

Cell phone
N/A

Household duties

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

Ms. Maxwell gave the witness, Juan, many instructions on how to perform his duties, including cleaning the house, serving, managing the kitchen, preparing shopping lists, and maintaining cleanliness.

Verbal instructions
N/A

Detention conditions

From: Ms. Maxwell
To: ["unit counselor (BP8)...

Ms. Maxwell filed written complaints through internal prison procedures to her unit counselor, the warden, and the regional office to seek remediation for her conditions, but to no avail.

Written complaints
N/A

Upcoming flight information

From: Ms. Maxwell
To: Rodgers

After beepers were no longer used, Ms. Maxwell would contact the witness (Rodgers) via cell phone to convey information about upcoming flights on Mr. Epstein's planes.

Cell phone
N/A

Something that happened between her move from a large apa...

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

The document references prior conversations between the witness (Rodgers) and Ms. Maxwell, which are the basis for a question from the attorney.

Conversation
N/A

Something that happened between her move from a large apa...

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

The document references prior conversations between the witness (Rodgers) and Ms. Maxwell, which are the basis for a question from the attorney.

Conversation
N/A

Request to stay unseal proceedings

From: Ms. Maxwell
To: Judge Preska

Ms. Maxwell asked Judge Preska to stay the unseal proceedings to allow her to get permission to share confidential information from a criminal case.

Legal request
N/A

Request for permission to share information

From: Ms. Maxwell
To: Judge Nathan

Ms. Maxwell asked Judge Nathan for permission to share information under seal with Judge Preska.

Legal request
N/A

Denial of request

From: Judge Nathan
To: Ms. Maxwell

Judge Nathan denied Ms. Maxwell's request to share information with Judge Preska.

Legal ruling
N/A

Denial of stay

From: Judge Preska
To: Ms. Maxwell

Judge Preska denied Ms. Maxwell's request for a stay, stating there was no factual basis.

Legal ruling
N/A

Events in Ms. Maxwell's life, including her father's deat...

From: Ms. Maxwell
To: Rodgers

The transcript details a court examination where the witness, Rodgers, is asked about conversations they had with Ms. Maxwell regarding when she moved between various apartments and a townhouse after her father's death.

Conversation
N/A

Setting up massage appointments

From: Ms. Maxwell
To: CAROLYN

Carolyn testified that Ms. Maxwell would call her to arrange massage appointments, which was considered important evidence for sex trafficking charges.

Phone call
N/A

Legal and non-legal mail

From: Unknown
To: Ms. Maxwell

Delivery of her mail was significantly delayed.

Mail
N/A

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