| Date | Event Type | Description | Location | Actions |
|---|---|---|---|---|
| 2019-08-06 | N/A | Day Watch Shift report notes placement of inmates Ramos and Hill in SHU for weapon possession. | MCC New York | View |
This document contains the Daily Lieutenant's Logs for the Metropolitan Correctional Center (MCC) in New York for August 9 and 10, 2019. It chronicles the timeline of events surrounding the death of inmate Jeffrey Epstein, recording that he was found unresponsive in cell Z06-220 at 6:33 AM on August 10, administered CPR, and transported to a local hospital. The logs also note significant facility issues, including inoperable fire alarm/pump systems and malfunctioning public address systems, as well as the status of other inmates on suicide watch or psychological observation.
This document is the Daily Lieutenant's Log from the Metropolitan Correctional Center in New York for the morning of August 10, 2019. It details the chronological events surrounding the discovery of Jeffrey Epstein unresponsive in his cell (Z06-220) at 6:33 AM. The log records the initiation of CPR, the notification of 911 at 6:35 AM, the arrival of EMS, and Epstein's transport to a local hospital at 7:10 AM with CPR still in progress.
This document is a Daily Activity Report from the Metropolitan Correctional Center (MCC) in New York, dated August 7, 2019, covering activities from the previous day, August 6. It highlights significant staffing shortages, noting that the '10 South #2' post (the unit housing high-profile inmates) was vacated due to a lack of staff, and lists 11 staff members as AWOL. The report also notes an unnamed inmate on suicide watch with a companion, and details the movement of two inmates to the Special Housing Unit (SHU) for weapon possession.
This document is a 'Daily Activity Report' memorandum from the Metropolitan Correctional Center (MCC) New York dated August 11, 2019, covering events from August 10, 2019. The report documents that Inmate Jeffrey Epstein (#76318-054) was found unresponsive in the Special Housing Unit and escorted to an outside hospital. The report also notes staffing shortages, a malfunctioning fire panel, and overtime statistics for the facility.
This legal document, part of a court filing, presents an argument from Ms. Maxwell's defense against the joinder of Perjury Counts with Mann Act Counts in her indictment. The defense contends that this joinder would prejudice the jury and that the government is strategically manipulating the timeframes of the alleged conduct (1994-1997) to avoid the legal implications of Epstein's 2007 Non-Prosecution Agreement, which the government claims only covers conduct from 2001-2007.
This legal document, filed on January 25, 2021, presents an argument from Ms. Maxwell's defense. The defense argues against the joinder of Perjury Counts with Mann Act Counts, asserting it would create a substantial risk of jury confusion and prejudice Ms. Maxwell. The document also accuses the government of strategically limiting the charges to the 1994-1997 period to avoid the legal implications of Epstein's 2007 Non-Prosecution Agreement, while simultaneously trying to introduce conduct from a later period.
This document is page 9 of a legal filing (Document 120) in the case of United States v. Ghislaine Maxwell (Case 1:20-cr-00330-AJN), filed on January 25, 2021. The text argues legal standards for the 'Severance of Offenses,' citing Federal Rule of Criminal Procedure 14 and various precedents regarding when charges should be tried separately to avoid prejudice to the defendant. It lists numerous case citations including U.S. v. Mitan, U.S. v. Bradford, and U.S. v. Burke to support the argument that misjoined counts must be severed.
This document is page 9 of a legal filing (Document 120) from Case 1:20-cr-00330-AJN (United States v. Ghislaine Maxwell), filed on January 25, 2021. The text presents legal arguments regarding the 'Severance of Offenses' under Federal Rule of Criminal Procedure 14, citing various precedents to argue that counts should be severed if joinder prejudices the defendant. It discusses the legal standards for 'misjoinder' and 'substantial prejudice' required to grant a motion to sever.
This document is page 'ii' (3 of 19) of a legal filing from January 25, 2021, related to Case 1:20-cr-00330-AJN (United States v. Ghislaine Maxwell). It is a 'Table of Authorities' section listing various legal precedents (cases) cited in the main document, including United States v. Halper and United States v. Burke. The document bears a Department of Justice Bates stamp 'DOJ-OGR-00002281'.
This document is a Table of Authorities page (Page 3 of 19) from a court filing dated January 25, 2021, in Case 1:20-cr-00330-AJN (United States v. Ghislaine Maxwell). It lists twenty-one legal precedents (cases) cited in the brief, primarily from the Second Circuit and D.C. Circuit, covering dates from 1964 to 2011. The document bears a Department of Justice Bates stamp DOJ-OGR-00002281.
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