CHRISTIAN EVERDELL

Person
Mentions
625
Relationships
52
Events
92
Documents
312

Relationship Network

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Event Timeline

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52 total relationships
Connected Entity Relationship Type
Strength (mentions)
Documents Actions
person GHISLAINE MAXWELL
Client
75 Very Strong
88
View
person GHISLAINE MAXWELL
Legal representative
19 Very Strong
16
View
person Bobbi C. Sternheim
Business associate
19 Very Strong
19
View
person Laura Menninger
Business associate
11 Very Strong
11
View
person Bobbi C Sternheim
Business associate
10 Very Strong
10
View
person MARK S. COHEN
Business associate
10 Very Strong
10
View
person GHISLAINE MAXWELL
Professional
10 Very Strong
10
View
person Laura Menninger
Co counsel
10 Very Strong
10
View
person Bobbi C. Sternheim
Co counsel
7
7
View
person MAURENE COMEY
Professional
6
2
View
person Jeff Pagliuca
Co counsel
6
6
View
person Lara Pomerantz
Professional
6
2
View
person Juror 50
None
6
2
View
person Alison Moe
Professional
6
2
View
person ANDREW ROHRBACH
Professional
6
2
View
person Juror 50
Lack of relationship
5
1
View
organization Cohen & Gresser LLP
Professional
5
1
View
person Assistant United States Attorney
Opposing counsel
5
5
View
person Judge Nathan
Legal representative
5
5
View
person Defendant (Ghislaine Maxwell - implied by Case ID)
Legal representative
5
1
View
person ALEX ROSSMILLER
Opposing counsel
5
1
View
person MAURENE COMEY
Opposing counsel
5
1
View
person Ms. Sternheim
Business associate
5
1
View
person Mark Cohen
Co counsel
5
1
View
person Ms. Sternheim
Professional
5
1
View
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
2022-08-10 N/A Court proceedings in United States v. Ghislaine Maxwell. Defense attorney Christian Everdell read... Southern District of New Yo... View
2022-08-10 Legal proceeding An opening statement was made by Ms. Sternheim on behalf of her client, Ghislaine Maxwell, in cas... Courtroom (implied) View
2022-08-10 Court proceeding The defense, led by Ms. Sternheim, delivers its opening statement in the criminal trial of Ghisla... Southern District Court (im... 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
2022-03-11 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
2022-02-11 N/A Filing of Motion for New Trial by Ghislaine Maxwell. Court View
2022-02-11 N/A Motion for New Trial filed by Ghislaine Maxwell. SDNY View
2021-12-18 N/A Jury Trial held before Judge Alison J. Nathan Court View
2021-12-17 Legal stipulation The prosecution and defense agreed that Government Exhibit 1010 may be received in evidence at tr... New York, New York View
2021-12-17 Legal agreement A stipulation was agreed upon by the defense and prosecution to allow Defense Exhibit A1 to be re... New York, New York View
2021-12-17 N/A Court hearing regarding motions in limine, specifically discussing evidence related to consent an... Southern District of New York View
2021-12-10 Legal agreement A stipulation was signed agreeing that Government Exhibit 1009 may be received in evidence at trial. New York, New York View
2021-12-09 N/A Jury Trial proceedings held Court (before Judge Alison ... View
2021-12-09 N/A Jury Trial Proceedings SDNY Court View
2021-12-06 N/A Jury Trial as to Ghislaine Maxwell SDNY Court View
2021-12-06 N/A Jury Trial held Court (Judge Alison J. Nathan) View
2021-12-02 N/A Jury Trial proceedings held before Judge Alison J. Nathan. SDNY Court View
2021-11-30 N/A Jury Trial SDNY Court View
2021-11-29 N/A Jury Selection / Jury Trial SDNY Court View

EFTA00032797.pdf

This document is an email chain from October 2021 related to the U.S. v. Maxwell case. It discusses a filing by defense attorney Bobbi Sternheim and a subsequent endorsement by Judge Nathan regarding the delay of legal mail for Ghislaine Maxwell (referred to as GM). The judge expressed a 'firm expectation' that the defendant receive legal mail within one business day.

Email chain
2025-12-25

EFTA00032789.pdf

This document is an email dated April 16, 2021, from a Law Clerk for Judge Alison J. Nathan (NYSD) to the defense counsel (Cohen Gresser, Haddon Morgan and Foreman, Sternheim) and prosecutors (USANYS) in the case US v Maxwell (20-cr-330). The email serves to distribute an attached court order which was about to be entered into the public docket. The document marks a procedural step in the criminal trial of Ghislaine Maxwell.

Email
2025-12-25

EFTA00032744.pdf

This document is a chain of emails between Ghislaine Maxwell's defense attorney, Bobbi Sternheim, and government officials (likely BOP/MDC) regarding her conditions of confinement in June 2021. Sternheim alleges that guards are sleep-depriving Maxwell by waking her at 1 AM and 3 AM when she shivers from cold, and subsequently confiscated her blankets. The correspondence also debates the quality of VTC (video) connections for legal preparation and the behavior of guards, which the defense characterizes as hostile and the prosecution characterizes as enforcing orders.

Email correspondence chain
2025-12-25

EFTA00032729.pdf

This document is an email chain from June 16, 2021, between Ghislaine Maxwell's attorney, Bobbi C. Sternheim, and BOP/MDC officials. Sternheim complains about technical issues in the VTC room hindering attorney-client communication and alleges inappropriate behavior by guards, including 'barking orders' and 'officiousness.' The BOP official responds by explaining VTC storage protocols, noting that Maxwell has declined daily medical care offers, and requesting a photo of ear buds Sternheim wishes to bring in.

Email correspondence / legal correspondence
2025-12-25

EFTA00032727.pdf

An email chain from June 2021 between Ghislaine Maxwell's defense attorney, Bobbi Sternheim, and prison officials (forwarded to USANYS). Sternheim complains about poor VTC quality affecting attorney-client privilege and alleges inappropriate/harassing behavior by guards towards Maxwell. The prison official responds that VTC units are stored for protection, Maxwell must obey orders, and notes that Maxwell consistently declines daily medical care offers.

Email chain
2025-12-25

EFTA00032724.pdf

An email from attorney Bobbi C. Sternheim regarding the confinement conditions of Ghislaine Maxwell. Sternheim complains about technical issues in the VTC room impeding attorney-client communication and alleges inappropriate and threatening behavior by the guards assigned to Maxwell's detail.

Email
2025-12-25

EFTA00032722.pdf

An email chain from June 16, 2021, in which attorney Bobbi C. Sternheim lodges a formal complaint regarding conditions affecting her client, Ghislaine Maxwell. The complaints focus on technical issues in the VTC room hindering attorney-client communication and specific allegations of inappropriate, threatening, and mocking behavior by detention guards toward Maxwell.

Email correspondence
2025-12-25

EFTA00032697.pdf

This document is an email dated April 14, 2021, from attorney Bobbi C. Sternheim to Nathan at NYSD Chambers regarding the case U.S. v. Maxwell (S2 20 Cr. 330). The email attaches a letter regarding a Marshall Order and a proposed order for the Marshal. It is copied to other defense attorneys including Christian Everdell, Laura Menninger, and Jeff Pagliuca.

Email
2025-12-25

EFTA00032686.pdf

An email dated April 9, 2021, from an Assistant US Attorney to Ghislaine Maxwell's defense team regarding a new discovery production. The prosecution offers to send the files via FTP to the lawyers and notes that a CD with PDF-converted files (originally Excel) will be sent to the MDC for Ms. Maxwell to review.

Email
2025-12-25

EFTA00032669.pdf

This document contains a chain of emails between Ghislaine Maxwell's defense team (Haddon, Morgan & Foreman; Cohen & Gresser) and the US Attorney's Office regarding the logistics of reviewing evidence for the case US v. Maxwell. The correspondence details disputes and arrangements for reviewing 'highly confidential' materials, including over 2,100 nude/partially nude images seized from Jeffrey Epstein's devices, as well as physical evidence stored at an FBI warehouse in the Bronx. Specific items discussed include massage tables, plaster busts of female torsos, a stuffed dog, cash held at Federal Plaza, and various electronic recording media.

Legal correspondence / email chain
2025-12-25

EFTA00032602.pdf

An email dated November 21, 2021, from an Assistant United States Attorney in the Southern District of New York to Judge Nathan's chambers. The email serves as a cover letter for the submission of the Government's reply brief regarding Exhibit 52 (GX 52) in the case US v. Maxwell, noting it is submitted temporarily under seal. Defense attorneys Christian Everdell, Jeff Pagliuca, and Laura Menninger are copied on the correspondence.

Email / legal correspondence
2025-12-25

EFTA00032234.pdf

This document is an email dated August 18, 2020, from Nicole Simmons of Haddon, Morgan and Foreman, P.C. to Judge Nathan's chambers. The email serves to transmit a sealed Letter Motion, Affidavit, and ten exhibits on behalf of defendant Ghislaine Maxwell regarding a 'Request to Modify Protective Order' in the case United States v. Ghislaine Maxwell. The filing was made at the request of attorney Jeffrey S. Pagliuca.

Email correspondence / legal transmittal
2025-12-25

EFTA00032083.pdf

This document is an email chain from September 2, 2021, involving Ghislaine Maxwell's defense attorney, Bobbi C. Sternheim. Sternheim is formally notifying government officials (likely USANYS) of a breach in attorney-client privilege, stating that during a VTC session the previous day, Maxwell observed suspicious activity on the monitor which was also witnessed by an MDC Case Manager. Sternheim demands an explanation and remediation for this interference with the 'secure' Webex line.

Email correspondence / legal communication
2025-12-25

EFTA00032021.pdf

This document is a letter from the U.S. Department of Justice to Ghislaine Maxwell's defense team, dated September 15, 2021. It serves as notice that the government intends to call FBI Computer Forensic Examiner Stephen [Redacted] as an expert witness to testify regarding the extraction of data from seized electronic devices. The letter also reiterates previous government requests from 2020 and early 2021 for reciprocal discovery and expert witness notices from the defense.

Legal correspondence / government disclosure
2025-12-25

EFTA00031952.pdf

This document is an email chain from December 4, 2020, involving defense attorney Christian Everdell of Cohen & Gresser LLP and prosecutors from the US Attorney's Office (USANYS). The correspondence concerns a draft letter regarding a briefing schedule to be sent to Judge Nathan in the Ghislaine Maxwell case. The top email indicates approval of the draft ('Fine with me') from one of the recipients.

Email chain / legal correspondence
2025-12-25

EFTA00031916.pdf

This document is an email dated March 16, 2021, from attorney Bobbi C. Sternheim to the chambers of Judge Nathan (NYSD). Sternheim submits an unredacted Reply Memorandum in support of Ghislaine Maxwell's pending bail application under seal, copying other defense attorneys including Christian Everdell, Laura Menninger, and Jeff Pagliuca.

Email
2025-12-25

EFTA00031906.pdf

This document is an email chain from May 28, 2021, regarding the case U.S. v. Ghislaine Maxwell. Defense attorney Christian Everdell of Cohen & Gresser LLP emailed Judge Nathan's chambers to submit Ms. Maxwell's Omnibus Reply Memorandum in support of supplemental pretrial motions related to the S2 Superseding Indictment. The memorandum was filed under seal, while the cover letter was filed publicly. The email was subsequently forwarded internally within the US Attorney's Office (USANYS).

Email correspondence / legal filing
2025-12-25

EFTA00031675.pdf

This document is an email thread from May 7, 2021, originating from attorney Bobbi C. Sternheim. Sternheim sends a courtesy copy of an ECF filing (Reply to Dkt 270) related to the case U.S. v. Maxwell (S2 20 Cr. 330) to prosecutors (redacted) and cc's fellow defense attorneys Christian Everdell, Laura Menninger, and Jeff Pagliuca. The email was subsequently forwarded internally by a redacted sender.

Email thread
2025-12-25

EFTA00031440.pdf

This document is a discovery production letter from the U.S. Attorney's Office for the Southern District of New York to Ghislaine Maxwell's defense team, dated April 14, 2021. It details the production of a single photograph (Bates number SDNY_GM_02753398) designated as 'Confidential' under a Protective Order. The letter is signed by U.S. Attorney Audrey Strauss, with the specific Assistant U.S. Attorneys' signatures redacted.

Legal correspondence (discovery production letter)
2025-12-25

EFTA00031437.pdf

A discovery letter from the U.S. Department of Justice to Ghislaine Maxwell's defense team dated April 14, 2021. The letter documents the production of a single item, a photograph (Bates SDNY_GM_02753398), which is designated as confidential under a July 2020 Protective Order. The specific names of the Assistant U.S. Attorneys signing the document are redacted.

Legal correspondence (discovery letter)
2025-12-25

EFTA00031432.pdf

An email chain from April 2021 discussing the conditions of Ghislaine Maxwell's confinement. Her attorney, Bobbi Sternheim, requests that Maxwell be allowed to access legal materials while waiting in the cell block, noting she spent over three hours idle there that morning. The forwarding party indicates they have no objection to this request subject to Marshal approval.

Email chain
2025-12-25

EFTA00031428.pdf

This document is an email thread from April 2021 between Defense Counsel Christian Everdell and Judge Alison Nathan's chambers (specifically Law Clerk Juan Ruiz Toro). The correspondence concerns a request by the defense to bring electronic devices into the courthouse via the Worth Street entrance for 'evidence views'. The final email confirms that Judge Nathan has signed an order granting permission.

Email thread
2025-12-25

EFTA00031205.pdf

This document is an email chain from October 18, 2021, regarding the legal case U.S. v. Maxwell (Ghislaine Maxwell). Defense attorney Bobbi C. Sternheim sends a courtesy copy of an ECF filing (a response to government voir dire opposition) to prosecutors at the US Attorney's Office for the Southern District of New York (USANYS). The email is then forwarded internally among USANYS staff with an 'FYI'. The document lists co-counsel for the defense including Christian Everdell, Laura Menninger, and Jeff Pagliuca.

Email chain
2025-12-25

EFTA00031202.pdf

This document is an email chain from October 14-15, 2021, among US Attorney's Office (USANYS) staff coordinating a response to a letter filed by Ghislaine Maxwell's defense attorney, Bobbi Sternheim. The emails reveal urgent internal coordination to meet a 5 PM deadline set by Judge Nathan, discussions about reviewing the draft with the MDC/BOP, and strategic decisions regarding how to address specific points raised by the defense, specifically regarding legal mail and the volume of discovery materials.

Email chain
2025-12-25

EFTA00031113.pdf

A letter from US Attorney Damian Williams to Ghislaine Maxwell's defense team dated November 24, 2021, detailing the production of discovery materials. The production includes Jencks Act and Giglio materials for potential trial witnesses, as well as courtesy materials for individuals the government does not currently intend to call. The letter also clarifies protective order designations for the enclosed documents.

Legal correspondence / discovery letter
2025-12-25
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As Sender
89
As Recipient
54
Total
143

No Subject

From: CHRISTIAN EVERDELL
To: Unknown

Email address ceverdell@cohengresser.com is provided for attorney Christian Everdell.

Email
N/A

Stipulation of Testimony

From: CHRISTIAN EVERDELL
To: The Court / Jury

Reading of a legal stipulation regarding the testimony of Sergeant Michael Dawson concerning a cardboard box recovered during a search.

Court statement
2022-08-10

Objections to the Presentence Investigation Report

From: CHRISTIAN EVERDELL
To: Court

Support memorandum filed by defense.

Memorandum
2022-06-15

RE: Witness-3 - proposed redactions

From: Assistant United State...
To: CHRISTIAN EVERDELL

Confirming the correct document is attached.

Email
2021-11-21

Re: U.S. v. Ghislaine Maxwell, S2 20 Cr. 330 (AJN) -- Res...

From: Nathan NYSD Chambers
To: CHRISTIAN EVERDELL

Instructions to refer to Dkt. No. 474 for filing the redacted letter.

Email
2021-11-21

[EXTERNAL] U.S. v. Ghislaine Maxwell, S2 20 Cr. 330 (AJN)...

From: CHRISTIAN EVERDELL
To: Nathan NYSD Chambers

Submission of defense response regarding self-authentication of birth certificates of alleged Minor Victims, filed under temporary seal.

Email
2021-11-20

RE: U.S. v. Ghislaine Maxwell, S2 20 Cr. 330 (AJN) -- Res...

From: CHRISTIAN EVERDELL
To: Nathan NYSD Chambers

Informing Chambers that the defense has no redactions to add to the government's proposed redactions and is awaiting instructions.

Email
2021-11-20

U.S. v. Ghislaine Maxwell, S2 20 Cr. 330 (AJN) -- Respons...

From: CHRISTIAN EVERDELL
To: Nathan NYSD Chambers

Submitting Maxwell's response to the government's Nov 11 letter regarding self-authentication of birth certificates of alleged Minor Victims under temporary seal.

Email
2021-11-20

[EXTERNAL] RE: Stip

From: CHRISTIAN EVERDELL
To: [Redacted - Government...

Follow-up asking if the revised stipulation is acceptable to the government.

Email
2021-11-20

[EXTERNAL] RE: Witness-3 - proposed redactions

From: CHRISTIAN EVERDELL
To: Assistant United State...

Asking for a quick cell phone call.

Email
2021-11-20

Stip

From: [Redacted - Assistant ...
To: CHRISTIAN EVERDELL

Proposing specific wording for a stipulation regarding a witness's trial testimony transcript given on February 26.

Email
2021-11-16

[EXTERNAL] U.S. v. Ghislaine Maxwell, S2 20 Cr. 330 (AJN)...

From: CHRISTIAN EVERDELL
To: Nathan NYSD Chambers

Submission of Ms. Maxwell's response to government letters dated Nov 5 and Nov 7, 2021, regarding Accuser-3's evidence. Submitted under temporary seal.

Email
2021-11-11

RE: Pseudonyms

From: [REDACTED]
To: CHRISTIAN EVERDELL

Sending draft letter regarding logistics relating to pseudonyms; asking for position language by tomorrow evening.

Email
2021-11-10

[EXTERNAL] FW: 20cr330, US v. Maxwell

From: CHRISTIAN EVERDELL
To: [Redacted - likely Gov...

Stating understanding that the government was supposed to handle victim notifications and report to the Court.

Email
2021-11-09

[EXTERNAL] Defense Rule 16 Disclosure

From: CHRISTIAN EVERDELL
To: USANYS (Redacted)

Attached is the defense Rule 16 disclosure.

Email
2021-11-09

RE: Pseudonyms

From: [REDACTED]
To: CHRISTIAN EVERDELL

Confirming letter will be sent later; requests extra drives be brought to the hearing.

Email
2021-11-09

[EXTERNAL] RE: Pseudonyms

From: CHRISTIAN EVERDELL
To: [REDACTED]

Agreeing to drop hard drives at the security tent.

Email
2021-11-09

RE: Pseudonyms

From: [REDACTED]
To: CHRISTIAN EVERDELL

Suggesting drop off at security tent next door to office to avoid delays.

Email
2021-11-09

[EXTERNAL] RE: Pseudonyms

From: CHRISTIAN EVERDELL
To: [REDACTED]

Discussing logistics of handing off 4 hard drives; suggests meeting paralegal at 40 Foley side entrance.

Email
2021-11-09

[EXTERNAL] Pseudonyms

From: CHRISTIAN EVERDELL
To: [REDACTED]

Listing three joint letters due to court tomorrow regarding pseudonyms, limiting instructions, and voir dire procedures. Requests proposals by COB.

Email
2021-11-09

[EXTERNAL] Defense Rule 16 Disclosure

From: CHRISTIAN EVERDELL
To: [Redacted] (USANYS)

Attached is the defense Rule 16 disclosure.

Email
2021-11-08

[EXTERNAL] Defense Rule 16 Disclosure

From: CHRISTIAN EVERDELL
To: USANYS

Attached is the defense Rule 16 disclosure.

Email
2021-11-08

[EXTERNAL] RE: questionnaires

From: CHRISTIAN EVERDELL
To: Menninger, Jeff Pagliuca

Planning to send strikes by noon but requesting simultaneous exchange of strike lists.

Email
2021-11-07

RE: Redactions: Government motion in limine

From: Assistant United State...
To: CHRISTIAN EVERDELL

Sending draft joint letter.

Email
2021-10-30

[EXTERNAL] RE: Redactions: Government motion in limine

From: CHRISTIAN EVERDELL
To: Assistant United State...

Confirming Gov incorporated defense redactions. Opposing additional Gov redactions. Stating defense will file motions/exhibits.

Email
2021-10-29

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