| Connected Entity | Relationship Type |
Strength
(mentions)
|
Documents | Actions |
|---|---|---|---|---|
|
person
MAURENE COMEY
|
Co counsel prosecution |
15
Very Strong
|
13 | |
|
person
MAURENE COMEY
|
Business associate |
14
Very Strong
|
22 | |
|
person
GHISLAINE MAXWELL
|
Adversarial |
11
Very Strong
|
12 | |
|
person
Lara Pomerantz
|
Business associate |
10
Very Strong
|
6 | |
|
person
DAMIAN WILLIAMS
|
Professional |
10
Very Strong
|
17 | |
|
person
GHISLAINE MAXWELL
|
Legal representative |
10
Very Strong
|
7 | |
|
person
AUDREY STRAUSS
|
Professional |
10
Very Strong
|
14 | |
|
person
ALEX ROSSMILLER
|
Business associate |
9
Strong
|
5 | |
|
location
USA
|
Professional |
8
Strong
|
4 | |
|
person
DAMIAN WILLIAMS
|
Business associate |
8
Strong
|
4 | |
|
person
Nicole Simmons
|
Legal representative |
8
Strong
|
4 | |
|
person
Nicole Simmons
|
Professional adversarial |
8
Strong
|
4 | |
|
location
UNITED STATES OF AMERICA
|
Professional |
8
Strong
|
3 | |
|
person
Geoffrey S. Berman
|
Professional |
7
|
3 | |
|
person
DAMIAN WILLIAMS
|
Subordinate superior |
7
|
3 | |
|
location
USA
|
Employment representation |
7
|
3 | |
|
person
Christian R. Everdell
|
Professional |
7
|
3 | |
|
person
MAURENE COMEY
|
Professional |
7
|
3 | |
|
person
ALEX ROSSMILLER
|
Professional |
7
|
3 | |
|
person
Appellant's counsel (filer)
|
Professional |
6
|
1 | |
|
person
ANDREW ROHRBACH
|
Business associate |
6
|
2 | |
|
person
Jeffrey Epstein
|
Prosecutor defendant |
6
|
2 | |
|
person
ANDREW ROHRBACH
|
Professional |
6
|
1 | |
|
person
CHRISTIAN EVERDELL
|
Professional |
6
|
2 | |
|
person
Lara Pomerantz
|
Professional |
6
|
1 |
| Date | Event Type | Description | Location | Actions |
|---|---|---|---|---|
| N/A | Pretrial conference | A pretrial conference was held where counsel for the government and defendant made their appearan... | Courtroom | View |
| N/A | Legal stipulation | The prosecution and defense formally agreed that Government Exhibits 52A, 52D, 52E, 52F, 52G, and... | UNITED STATES DISTRICT COUR... | View |
| N/A | Pretrial conference | A final pretrial conference was held to discuss outstanding issues and the plan for jury selection. | Courtroom | View |
| 2023-06-29 | N/A | Submission of legal filing concluding that the judgment of conviction should be affirmed. | New York, New York | View |
| 2022-08-22 | N/A | Sentencing Hearing in United States v. Ghislaine Maxwell | Courtroom | View |
| 2022-07-22 | N/A | Sentencing hearing for Ghislaine Maxwell | Courtroom (Southern District) | View |
| 2022-06-28 | N/A | Sentencing of Ghislaine Maxwell | District Court | View |
| 2022-06-28 | N/A | Sentencing held for Ghislaine Maxwell on Counts 1ss, 3ss, 4ss, 5ss, 6ss. | Southern District of New York | View |
| 2022-06-28 | Sentencing | Sentencing hearing for the case of United States of America v. Ghislaine Maxwell. | United States District Cour... | View |
| 2022-06-26 | Court filing | The Government submitted a motion filed by Kate's attorney. | United States District Cour... | View |
| 2022-06-22 | N/A | Sentencing Submission filed by USA as to Ghislaine Maxwell. | SDNY | View |
| 2022-06-22 | Legal filing | The U.S. Government filed its sentencing memorandum in the case against Ghislaine Maxwell. | UNITED STATES DISTRICT COUR... | View |
| 2022-06-22 | N/A | Filing of Government's sentencing recommendation conclusion. | New York, New York | View |
| 2022-06-15 | Legal document service | Christian R. Everdell served a memorandum via ECF upon four individuals. | N/A | View |
| 2022-05-11 | N/A | Filing of Document 661 in Case 1:20-cr-00330-PAE | Southern District of New York | View |
| 2022-05-11 | N/A | Filing of Document 660 in Case 1:20-cr-00330-PAE | Southern District of New York | View |
| 2022-04-01 | Legal filing | Document 650 was filed in case 1:20-cr-00330-PAE. | Southern District of New York | View |
| 2022-04-01 | N/A | Filing of Document 652 in Case 1:20-cr-00330-PAE | Southern District of New York | View |
| 2022-03-15 | N/A | Filing of Government's opposition to defendant's motion for a new trial. | New York, New York | View |
| 2022-03-11 | Court hearing | A hearing was held regarding the defendant's motion for a new trial, specifically focusing on Jur... | Court (unspecified) | View |
| 2022-03-08 | Court proceeding/appearance | A court proceeding in the case of United States of America v. Ghislaine Maxwell, with a list of a... | New York, N.Y., Southern Di... | View |
| 2022-03-01 | N/A | Filing of Document 635 in Case 1:20-cr-00330-PAE | Southern District of New York | View |
| 2022-02-25 | N/A | Filing of Government's response to defendant's post-trial motions | New York, New York | View |
| 2022-02-24 | N/A | Filing of Document 617 in Case 1:20-cr-00330-PAE | Southern District of New York | View |
| 2022-02-16 | Court filing | Document 603 was filed in Case 1:20-cr-00330-PAE. | Southern District of New York | View |
An official Arrest Warrant issued by the United States District Court for the Southern District of New York against Ghislaine Maxwell on June 29, 2020. The warrant, signed by U.S. Magistrate Judge Lisa Margaret Smith, lists five specific charges based on an indictment, including conspiracy to entice minors, enticement of a minor, conspiracy to transport minors, transportation of a minor, and perjury. The document lists AUSA Alison Moe as the contact.
This document is the second page of a legal letter filed on July 5, 2020, in the case United States v. Ghislaine Maxwell (Case 1:20-cr-00330). The US Attorney's office requests Judge Nathan exclude time under the Speedy Trial Act to allow for the transportation of the defendant from another district and to facilitate discussions regarding a protective order to shield the identities of victims and third parties during discovery. Defense counsel consented to this request.
This document is the conclusion of a legal filing from the U.S. Attorney's office, dated July 2, 2020, in case 1:20-cr-00330-AJN. The government argues that the defendant is an extreme flight risk and that no conditions of bail would ensure their presence in court. Citing several legal precedents, the filing respectfully requests that the defendant's application for bail be denied.
This is the conclusion page (page 23 of 24) of a legal filing submitted on May 27, 2021, in Case 21-770. The document, signed by Assistant US Attorney Maurene Comey on behalf of the Southern District of New York prosecution team (including Alison Moe, Lara Pomerantz, and Andrew Rohrbach), argues that Ghislaine Maxwell's motion should be denied.
This document is Page 2 of a legal filing (Document 220) from the US Attorney's Office (SDNY) dated March 5, 2021, regarding the incarceration conditions of the defendant (contextually Ghislaine Maxwell). It addresses safety concerns necessitating her isolation and responds to a court inquiry by stating that MDC cannot provide an eye mask as it is considered contraband, though she may use other items. A footnote clarifies that her current housing was determined partly due to her own safety concerns regarding the general population and as an alternative to the SHU.
This legal document is a Notice of Appearance filed on April 16, 2021, in the case of United States v. Maxwell (Docket No. 21-58(L), 21-770(CON)). Attorney Alison Moe of the United States Attorney's Office for the Southern District of New York is formally entering her appearance as additional co-counsel for the United States of America, joining Won S. Shin.
This document is the signature page (Page 6) of a legal filing submitted on July 6, 2021, in the case United States v. Ghislaine Maxwell (Case 1:20-cr-00330-AJN). It is signed by Assistant United States Attorneys Maurene Comey, Alison Moe, and Lara Pomerantz on behalf of U.S. Attorney Audrey Strauss, stating that the Government is willing to provide further details to the Court if necessary.
This document is page 2 of a government filing (Case 1:20-cr-00330-AJN) regarding the confinement conditions of the defendant (Ghislaine Maxwell) at the Metropolitan Detention Center (MDC). It details security protocols including daily emails with counsel, twice-daily pat-down searches, weekly body scans, and nightly flashlight checks every 15 minutes to ensure the inmate is breathing. The government asserts these measures are necessary for safety and clarifies that strip searches are currently suspended due to lack of in-person visitation.
This legal document, filed by the Acting U.S. Attorney for the Southern District of New York, addresses the court regarding the stringent and individualized detention conditions of a detainee, Ms. Maxwell. The filing notes that a previous letter of complaint received no meaningful response and suggests that the facility's warden, Warden Tellez, should be directed to provide a first-hand explanation to the court for these specialized conditions.
This document is page 2 of a legal filing by the US Attorney's Office for the Southern District of New York regarding the conditions of confinement for a defendant (identified by case number as Ghislaine Maxwell) at the MDC. The text details the defendant's schedule, including 13 hours of time outside the isolation cell daily (7am-8pm), access to discovery materials, computers, CorrLinks, and legal calls. It asserts that the defendant has more access to discovery and attorney communication than any other inmate at the facility, even while in quarantine.
This is the conclusion page (page 24) of a legal filing dated April 12, 2021, submitted by the Southern District of New York (Assistant US Attorneys Pomerantz, Comey, and Moe). The document argues that Judge Nathan acted correctly in denying Ghislaine Maxwell's motion for temporary release and concludes that the motion should remain denied.
This document is the conclusion page (Page 9) of a legal filing submitted on March 9, 2021, by the United States Attorney for the Southern District of New York. The filing argues that the defendant (identified by case number as Ghislaine Maxwell) poses a substantial flight risk and that their 'Third Bail Motion' should be denied. The document is signed by Assistant US Attorneys Maurene Comey, Alison Moe, and Lara Pomerantz.
This legal document is the conclusion of a filing by the U.S. Attorney's office, dated December 16, 2020, in case 1:20-cr-00330-AJN. The prosecution argues that the defendant's 'Renewed Bail Motion' should be denied, referencing a prior court finding that the defendant “poses a substantial actual risk of flight.” The document asserts that no new information justifies changing this conclusion.
This document is the cover page for a legal filing from the U.S. Government in the criminal case against Ghislaine Maxwell. Filed on June 25, 2020, in the Southern District of New York, it is a memorandum opposing Maxwell's renewed motion for release. The document lists the prosecuting attorneys, including Acting U.S. Attorney Audrey Strauss.
This document is a court transcript from April 1, 2021, for a hearing in the case of United States v. Ghislaine Maxwell, presided over by Judge Nathan. The transcript records the appearances of the legal counsel for both the defendant, Ghislaine Maxwell, and the U.S. government. The government's counsel also requests permission for staff from the U.S. Attorney's office to be dialed into the hearing due to technical issues with an overflow line from Connecticut.
This document is the cover page for the Government's Reply Memorandum in Support of Detention in the case of United States of America v. Ghislaine Maxwell (Case 20 Cr. 330). It was filed on July 13, 2020, in the Southern District of New York. The filing lists Acting US Attorney Audrey Strauss and Assistant US Attorneys Alison Moe, Alex Rossmiller, and Maurene Comey as counsel for the prosecution.
This document is the conclusion page of a legal memorandum submitted by the United States Government on July 2, 2020, in Case 1:20-cr-00330-AJN (United States v. Ghislaine Maxwell). The filing argues that the defendant poses an 'extreme risk of flight' and requests that any application for bail be denied, asserting that no conditions would assure the defendant's presence in court. It is signed by Assistant US Attorney Alison Moe on behalf of Acting US Attorney Audrey Strauss.
This document is the cover page for a legal filing titled "THE GOVERNMENT'S MEMORANDUM IN SUPPORT OF DETENTION" in the case of United States of America v. Ghislaine Maxwell. Filed on July 5, 2020, in the U.S. District Court for the Southern District of New York, the memorandum was submitted by Acting U.S. Attorney Audrey Strauss and her team of Assistant U.S. Attorneys.
This document is a page from a court docket sheet (Case 21-770) covering March 22–24, 2021. It details the denial of Ghislaine Maxwell's third motion for bail by Judge Alison J. Nathan and Maxwell's subsequent notice of appeal. Additionally, it contains a significant order regarding a defense subpoena directed at a law firm representing alleged victims, outlining the procedural requirements for victim notification and privacy protection under Rule 17(c)(3).
This document is a court docket sheet from Case 21-770 covering February 23, 2021, to March 18, 2021. It details Ghislaine Maxwell's third motion for bond, the Government's opposition to it, and various scheduling orders regarding pretrial motions. A significant order on March 18, 2021, addresses the redaction and sealing of documents, specifically denying the Government's request to completely seal 'Exhibit 11' because portions of the transcript are already public record in the *Giuffre v. Maxwell* civil case.
This document is a court docket sheet from Case 21-770 (related to Ghislaine Maxwell) covering filings between February 4, 2021, and February 16, 2021. It details numerous defense motions filed by Maxwell's legal team (Cohen, Pagliuca) to dismiss charges, suppress evidence, and strike surplusage, alongside multiple sealed documents. The log also records correspondence to Judge Nathan regarding conditions at the MDC (Metropolitan Detention Center) from both the prosecution (USA) and the defense.
This document is a court docket sheet from the case USA v. Ghislaine Maxwell, covering entries from Jan 26 to Feb 4, 2021. It details significant pre-trial activity, including the filing of twelve pre-trial motions by the defense, disputes over laptop access at the MDC Brooklyn involving the Bureau of Prisons, and specific motions to suppress evidence and dismiss charges (counts 1-6). The document highlights the involvement of various AUSAs, defense attorneys, and Judge Alison J. Nathan in managing redactions and discovery disputes.
This document is a court docket sheet from late 2020 and early 2021 detailing proceedings in the case against Ghislaine Maxwell. It records Judge Alison J. Nathan's denial of Maxwell's bail application due to flight risk, citing specific charges including conspiracy to entice minors for illegal sex acts and perjury. The docket tracks correspondence between the prosecution (USA) and defense (Everdell), sealed documents, and Maxwell's subsequent filing of a Notice of Appeal after a request for an extension of time was denied.
This document is a court docket sheet from December 2020 in the case of USA v. Ghislaine Maxwell. It details correspondence regarding Maxwell's conditions of confinement at the MDC and a denied request for an in camera conference regarding a renewed bail motion. Judge Alison J. Nathan issued orders balancing privacy interests with public access, ultimately allowing tailored redactions to defense letters but denying the request to keep proceedings entirely sealed or in camera.
This document is a page from a federal court docket in the case of USA v. Ghislaine Maxwell, listing entries from November 6, 2020, to December 1, 2020. It details various filings including letters regarding discovery deadlines, affidavits, mandates from the USCA dismissing an appeal, and several memo endorsements and orders by Judge Alison J. Nathan regarding discovery schedules and conditions of confinement.
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Request for extension of time.
Requesting until 5 p.m. tomorrow to respond to defense counsel's letter.
Request for extension until 5 p.m. the following day.
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