| Connected Entity | Relationship Type |
Strength
(mentions)
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Documents | Actions |
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person
Rick Ricarey
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This document is a flight log page (No. 114) signed by pilot David Rodgers covering flights from January 8, 2005, to March 14, 2005. It details movements of aircraft N909JE and N908JE to locations including Palm Beach, St. Thomas, JFK, Columbus (Ohio), and San Diego. The logs list passengers including Jeffrey Epstein (JE), Ghislaine Maxwell (GM), Sarah Kellen (SK), Jean-Luc Brunel (JLB), and others, with several names redacted.
This document is a flight log page (No. 85) signed by pilot David Rodgers, covering flights from July 16, 2001, to August 16, 2001. It records travel on aircraft N909JE, N908JE, and N908GM between locations including Santa Fe (SAF), Teterboro (TEB), Palm Beach (PBI), St. Thomas (TIST), and Albuquerque (ABQ). Notable passengers include Jeffrey Epstein (JE), Ghislaine Maxwell (GM), and Virginia Roberts (VR), with specific entries placing Epstein and Roberts together on flights on July 16 and July 28, 2001.
This document is a handwritten flight log page (Page 88) signed by pilot David Rodgers for the period of roughly November 9 to December 16, 2000. It records flights for two aircraft, N909JE (Gulfstream) and N908JE (Boeing 727), detailing an itinerary that includes domestic US travel (Florida, New York, Ohio), a trip to the US Virgin Islands, and a significant European tour involving stops in Paris, Milan, Rimini, and London. Passenger names are entirely redacted from the remarks column.
This document is a flight log page from February 1999 signed by pilot David Rodgers. It details flights on the Gulfstream jet N908JE and various helicopters (59PH, N7010H, 500JA) traveling between locations including Palm Beach, Teterboro, St. Thomas, Santa Fe, Van Nuys, and Monterey. The column listing passengers is completely redacted.
This document is a flight log page signed by pilot David Rodgers for aircraft N908JE covering flights between March 31 and May 13, 1992. The log details numerous flights between locations including Teterboro (TEB), Columbus (CMH), West Palm Beach (PBI), Boston (BOS), and Key West (EYW). The column containing remarks and potential passenger names is completely redacted.
This document is page 57 of a staff manual dated February 14, 2005, outlining emergency procedures for Fire and Hurricane Season. It explicitly instructs staff that their priority is to protect 'Mr Epstein, Ms Maxwell, their guests, other staff members and yourself,' linking Epstein and Maxwell as the heads of the household. The document provides standard safety protocols for fires (calling 911, evacuation) and hurricane preparation (monitoring weather, securing furniture).
This document, dated February 14, 2005 (page 53 of a larger manual), outlines household protocols for handling mail and deliveries. It distinguishes procedures based on whether Jeffrey Epstein and Ghislaine Maxwell are in residence, directing staff to forward financial documents (invoices, bank statements) to Eric Gany in New York via FedEx when they are absent.
This document appears to be page 37 of a household staff manual or daily checklist, dated February 14, 2005. It lists specific cleaning and maintenance duties regarding the property's entrance, outdoor furniture, pool (specifically noting a temperature range of 82-88°F), exercise equipment, garage, and cars. The document includes blank lines for a date and signature, indicating it was intended to be signed off by staff upon completion of tasks.
This document appears to be a page from a household management manual or staff handbook dated February 14, 2005. It outlines general protocols for cleaning, emphasizing routine, high standards, and specific techniques such as cleaning 'top down' and 'inside out'.
This document is page 16 of a household staff manual or checklist dated February 14, 2005, detailing the specific preparation requirements for guestrooms at a Jeffrey Epstein property. It lists amenities to be provided, such as fresh flowers, fruit, specific branded notepads, and technical checks for electronics, emphasizing that the room must appear as if the guest is the 'first to ever stay' there.
This document is a housekeeping checklist page (Page 11) dated February 14, 2005, detailing specific cleaning and stocking protocols for a 'Master Bathroom'. It includes instructions for toiletries, dental hygiene, and notably, specific preparation for massages involving 'Three large blue towels'. The document bears a Department of Justice Bates stamp.
This document displays the metadata for a Microsoft Word file, marked as Government Exhibit 422-B. The file was created and last saved by a user 'gmax' on October 14, 2002. The document's title is 'Jeffrey and Ghislaine have been tog...', indicating its content likely concerns the relationship between these two individuals.
This document is a photograph labeled as Government Exhibit 334 from a legal case (S2 20 Cr. 330 (AJN)), identified by the document number DOJ-OGR-00015652. The photograph depicts two women smiling in the foreground, with other individuals visible in the background, in what appears to be an indoor social setting. Its significance lies in its use as evidence in a legal proceeding.
This document is a photograph submitted as Government Exhibit 314 in a criminal case (S2 20 Cr. 330). The image depicts Jeffrey Epstein and Ghislaine Maxwell in an intimate pose in a snowy, outdoor location, suggesting a close personal relationship. The document is marked with a Department of Justice control number.
This document is a photograph labeled 'GOVERNMENT EXHIBIT 246-R' from a legal case, showing a bookshelf with a collection of books. The book titles suggest an interest in science, technology, philosophy, and the human mind, with authors including Marvin Minsky, Stephen Jay Gould, and Esther Dyson. The image is marked with a Department of Justice control number, indicating its use in an official investigation or proceeding.
This document is the cover of an 'Adams' brand phone message pad, model SC1184D, copyrighted in 1998. The cover has been marked as 'GOVERNMENT EXHIBIT 2-A' for a legal case, S2 20 Cr. 330 (AJN). It also bears a Department of Justice document control number, DOJ-OGR-00015470.
This document is page 3 of 6 of a FedEx invoice summary dated December 9, 2002. It details costs for 8 shipments totaling $397.52 charged to account number 1144-2081-6. The document is marked confidential and bears Bates stamps associated with the SDNY and DOJ investigations (SDNY_GM_00340776).
This document is page 33 of a Curriculum Vitae or bibliography for Dr. Elizabeth F. Loftus, listing her academic publications between 2018 and 2020. The publications focus heavily on false memory, eyewitness testimony, repressed memory, and the intersection of psychology and law, including a critical paper on Title IX investigations. The document contains a Department of Justice footer (DOJ-OGR-00015244) and a file identifier (LOFTUS-046), suggesting it was part of a legal production, likely related to her role as an expert witness.
This legal document discusses the timing of grand jury proceedings as a factor in deciding whether to release information to the public. It contrasts the recent case involving Maxwell and Epstein, where victims are still alive and the events are relatively recent, with historical precedents where the passage of time has diminished the need for secrecy. The argument suggests that the circumstances of the Maxwell case, particularly its recency, weigh against the release of grand jury materials.
This legal document, a court filing from Case 1:20-cr-00330-PAE, discusses factors weighing against unsealing grand jury records, including testimony from a mayoral candidate and information related to the Epstein-Maxwell investigation. It argues that the Government's broad claims of public interest are not sufficiently linked to the materials at issue, and that a blanket request for disclosure, rather than tailored release, is a factor against unsealing. The document emphasizes the significance of the specificity of information sought for disclosure.
This document is Page 13 of 31 from a legal filing (Document 809) in Case 1:20-cr-00330-PAE (United States v. Ghislaine Maxwell), filed on August 11, 2025. The text outlines legal standards for disclosing grand jury materials, discussing the 'special circumstances' doctrine recognized by the Second and Seventh Circuits. It provides a dense list of case citations, including precedents involving the unsealing of records related to President Nixon (Watergate) and President Clinton (1998 investigation involving a White House intern).
This document is a cover sheet for "Exhibit D" filed in the legal case 1:20-cr-00330-AJN on February 4, 2021. The document indicates that the exhibit was filed under seal, meaning its contents are not publicly available. A document control number, DOJ-OGR-00002440, is present in the footer.
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.
This document is page 4 (internal page number iii) of a legal filing from February 4, 2021, related to Case 1:20-cr-00330-AJN (the Ghislaine Maxwell trial). It contains a Table of Authorities citing Federal Rules of Evidence 106 and 602, as well as a citation for 'Thefreedictionary.com'. The document bears a DOJ Bates stamp.
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