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

EFTA00011133.pdf

This document is a letter dated October 13, 2021, from U.S. Attorney Damian Williams to Ghislaine Maxwell's defense team. The Government asserts that Maxwell has waived her right to use an insanity or mental condition defense (Rule 12.2) because she failed to provide notice by the pretrial motion deadlines in early 2021. The letter demands that if the defense intends to use such evidence despite the waiver, they must provide notice by October 20, 2021.

Legal correspondence / letter from u.s. department of justice
2025-12-25

EFTA00011132.pdf

This document is an email dated October 13, 2021, from an Assistant United States Attorney (SDNY) to the legal defense team of Ghislaine Maxwell (Christian Everdell, Bobbi Sternheim, Jeff Pagliuca, Laura Menninger). The email serves to transmit an attached letter regarding a '12.2 Notice,' which refers to Federal Rule of Criminal Procedure 12.2 concerning notice of an insanity defense or expert evidence of a mental condition. The filename of the attachment includes 'GM,' likely referring to Ghislaine Maxwell.

Email
2025-12-25

EFTA00010410.pdf

This document contains an email chain between defense attorney Christian Everdell and US Attorney's Office prosecutors (Lara Pomerantz, Maurene Comey, et al.) dated June 30, 2021, regarding the case USA v. Maxwell. The correspondence confirms that the defense has no redactions to propose regarding a court opinion and coordinates the filing of a joint letter to the court. The document also includes the official Notice of Electronic Filing (Order 305) from Judge Alison J. Nathan, which set the deadlines for these redaction proposals.

Email correspondence and court notice (notice of electronic filing)
2025-12-25

EFTA00010180.pdf

A discovery letter from the U.S. Attorney's Office (SDNY) to Ghislaine Maxwell's defense team dated November 11, 2021. The letter details the production of 'Amazon records' (Bates SDNY_GM_02771981-02771983) which were sourced from the U.S. Attorney's Office for the Southern District of Florida and potentially duplicate materials previously produced from the Florida FBI file.

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

EFTA00010164.pdf

This document is an email chain from November 9-10, 2021, between defense attorney Christian Everdell (Cohen & Gresser) and prosecutors from the US Attorney's Office (USANYS). The correspondence concerns the coordination of three joint letters due to the court regarding the use of pseudonyms for witnesses, limiting instructions, and voir dire procedures in the Ghislaine Maxwell trial. The parties also discuss the logistics of exchanging four hard drives containing data, arranging a hand-off at a security tent near the courthouse.

Email chain
2025-12-25

EFTA00010162.pdf

A letter dated November 16, 2021, from US Attorney Damian Williams to Ghislaine Maxwell's defense team. The letter accompanies the production of Jencks Act and Giglio materials for potential trial witnesses, as well as materials related to individuals the government does not currently intend to call. It specifies that these materials are subject to a protective order and explains the specific labeling used to distinguish them from classified documents.

Legal correspondence / discovery letter
2025-12-25

EFTA00010160.pdf

This document is a letter dated November 16, 2021, from U.S. Attorney Damian Williams to the defense counsel for Ghislaine Maxwell. It serves as a cover letter for the production of discovery materials, specifically AT&T records, phone records, and photographs, noting that these materials are subject to a protective order.

Legal correspondence / discovery production letter
2025-12-25

EFTA00010159.pdf

This document is an email dated November 16, 2021, from an Assistant United States Attorney (SDNY) to the defense counsel for Ghislaine Maxwell (Everdell, Sternheim, Menninger, Pagliuca). The email serves to notify the defense of an additional discovery production, including testifying and non-testifying witness materials, sent via USAfx. It also notes that a hard drive provided by the defense will be sent to the MDC for Ms. Maxwell's use.

Email / legal correspondence
2025-12-25

EFTA00010133.pdf

This document is a discovery letter dated November 9, 2021, from U.S. Attorney Damian Williams to Ghislaine Maxwell's defense team. It details the production of 'SDFL Files' (likely Southern District of Florida files) with Bates numbers SDNY_GM_02767074 through SDNY_GM_02771980. The letter notes these materials are confidential under a protective order and appear to be duplicative of previous discovery.

Legal correspondence / discovery letter
2025-12-25

EFTA00010017.pdf

A discovery letter dated November 9, 2021, from U.S. Attorney Damian Williams to Ghislaine Maxwell's defense team. The letter accompanies the production of 'Business Records from SDFL Files' (Bates SDNY_GM_02767074 - 02771980), which the government notes are likely duplicative of materials previously produced from Florida FBI files in 2020. The letter also clarifies confidentiality designations under the Protective Order.

Legal correspondence (discovery letter)
2025-12-25

EFTA00010016.pdf

An email dated November 9, 2021, from attorney Bobbi C. Sternheim to redacted recipients and co-counsel (Everdell, Menninger, Pagliuca). The email serves to provide a courtesy copy of an ECF filing ('Reply_to_Dkt_423.pdf') related to the case U.S. v. Maxwell (S2 20 Cr. 330) and to update recipients on Sternheim's new office address, which is redacted in the document.

Email
2025-12-25

EFTA00009985.pdf

An email dated November 9, 2021, from defense attorney Christian Everdell (Cohen & Gresser LLP) to the US Attorney's Office (USANYS) providing a Rule 16 Disclosure. The email includes attachments referencing AT&T certifications, FedEx records/invoices, Interlochen records, a release regarding A. Farmer, and the Epstein Non-Prosecution Agreement (NPA).

Email
2025-12-25

EFTA00009980.pdf

An email dated November 8, 2021, from attorney Bobbi C. Sternheim regarding the U.S. v. Maxwell case (S2 20 Cr. 330). The email serves as a courtesy copy of an ECF filing (referenced as 'fling') related to an attachment titled 'Suggestion_to_Dkt_404.pdf' and provides notice of Sternheim's new office address. Recipients include co-counsel Christian Everdell, Laura Menninger, and Jeff Pagliuca.

Email
2025-12-25

EFTA00009895.pdf

An email dated April 20, 2021, from an Assistant US Attorney in the Southern District of New York to Ghislaine Maxwell's defense team (Everdell, Cohen, Sternheim, Menninger, Pagliuca). The email serves filing notice for a letter regarding redactions to the defense's reply briefs in the case US v. Maxwell, 20 Cr. 330 (AJN).

Email
2025-12-25

EFTA00009831.pdf

This document is an email from attorney Bobbi C. Sternheim regarding the confinement conditions of Ghislaine Maxwell on April 13, 2021. Sternheim inquires if the recipient can persuade the Marshal to allow Maxwell access to legal materials while in the cell block, noting that Maxwell sat idle for over three hours that morning. Sternheim suggests she may seek a Court order if the issue cannot be resolved.

Email / legal correspondence
2025-12-25

DOJ-OGR-00018362.jpg

This document is a page from the court transcript of the trial of Ghislaine Maxwell (Case 1:20-cr-00330-PAE), filed on August 10, 2022. It details a stipulation agreed upon by the prosecution and defense regarding the testimony of Sergeant Michael Dawson to avoid recalling him to the stand. Defense attorney Christian Everdell reads the stipulation into the record, which concerns a cardboard box (Government Exhibit 294) recovered during a search.

Court transcript
2025-11-20

DOJ-OGR-00014878.jpg

This document is a court transcript from a pretrial conference in case 1:20-cr-00330-PAE, filed on January 15, 2025. Counsel for the government and for the defendant, Ghislaine Maxwell, state their appearances for the record. The judge outlines the case schedule, noting that jury selection began on November 4th and the trial is set to commence on November 29th, and sets the agenda to address the defendant's motions to exclude evidence.

Legal document
2025-11-20

DOJ-OGR-00008412.jpg

This document is a page from a court transcript filed on December 17, 2021, in the case USA v. Ghislaine Maxwell (Case 1:20-cr-00330). The Judge discusses procedural matters regarding background information for the jury and addresses 'No. 6, evidence that goes to consent issues.' Attorneys Ms. Moe (Government) and Christian Everdell (Defense) are present, and the court suggests deferring the consent argument to the discussion of the Rule 412 motion due to overlapping issues.

Court transcript
2025-11-20

DOJ-OGR-00008312.jpg

This document is a transcript from a final pretrial conference in case 1:20-cr-00330-PAE, filed on December 10, 2021. Counsel for the government and for the defendant, Ghislaine Maxwell, state their appearances for the record. The court outlines the plan for jury selection, which is scheduled to conclude on "Monday morning, the 29th," and notes that unused jurors are being kept on call at the recommendation of the jury department.

Legal document
2025-11-20

DOJ-OGR-00008246.jpg

This document is a transcript from a pretrial conference held on December 8, 2021, for the case United States v. Ghislaine Maxwell. Judge Alison J. Nathan presides over the session, with legal teams for both the government (led by Maurene Comey) and the defense (led by Bobbi C. Sternheim) introducing themselves. The primary purpose of the conference is to discuss the logistics of jury selection (voir dire) and review lists of prospective jurors based on questionnaires administered in November.

Court transcript
2025-11-20

DOJ-OGR-00001641.jpg

This document is the final signature page (page 7 of 7) of a legal filing dated July 21, 2020, for Case 1:20-cr-00330-AJN (United States v. Ghislaine Maxwell). It is submitted by attorney Jeffrey S. Pagliuca to Judge Alison J. Nathan, with copies sent to prosecutors at the SDNY (Moe, Rossmiller, Comey) and other defense counsel (Cohen, Everdell, Menninger).

Legal filing (signature page)
2025-11-20

DOJ-OGR-00001539.jpg

Page 2 of a court filing (Document 9) dated July 7, 2020, in Case 1:20-cr-00330-AJN (USA v. Ghislaine Maxwell). The Assistant United States Attorneys (Rossmiller, Moe, Comey) inform Judge Nathan that they have conferred with defense counsel (Everdell and Cohen), who consent to a request regarding the timeline for discovery production.

Court filing / legal correspondence
2025-11-20

DOJ-OGR-00001498.jpg

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.

Legal correspondence / court filing (letter motion)
2025-11-20

DOJ-OGR-00001497.jpg

A letter from the U.S. Attorney's Office for the Southern District of New York to Judge Alison J. Nathan regarding United States v. Ghislaine Maxwell. The government requests the scheduling of an arraignment and bail hearing for July 10, 2020, following the defendant's arrest in New Hampshire, and discusses Speedy Trial Act time exclusions.

Legal correspondence / court filing
2025-11-20

DOJ-OGR-00021035.jpg

A page from a court transcript (likely the sentencing hearing in US v. Maxwell, filed in the 2023 appeal) debating sentencing enhancements. The prosecution (Ms. Moe) argues that testimony from pilots proves Maxwell had supervisory authority over Sarah Kellen within the conspiracy. Defense attorney Everdell rebuts that Maxwell's presence while Kellen scheduled 'massage appointments' does not constitute supervision. The defense also mentions a 'five-point enhancement for repeated and dangerous sex offenders.'

Court transcript (appellate appendix)
2025-11-20
Total Received
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Total Paid
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Net Flow
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0 total transactions
No financial transactions found for this entity. Entity linking may need to be improved.
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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