June 26, 2019
Period of assignment to the SHU post for the defendants.
| Name | Type | Mentions | |
|---|---|---|---|
| Defendant Noel | person | 4 | View Entity |
| Defendant [Redacted] | person | 0 | View Entity |
EFTA00032572.pdf
This document is an email chain from June 2020 between legal counsel (likely for the guards charged in connection with Jeffrey Epstein's death) and a Special Investigative Agent at MCC New York regarding discovery requests. The correspondence confirms that Epstein was never placed on the prison's 'Hot List' (high risk list) and that his entire central file and control center paperwork were seized by the FBI immediately following his death. The MCC agent explains the absence of certain physical logs due to digitization and addresses specific requests for BOP Program Statements, training manuals, and watch call sheets.
Events with shared participants
A court hearing to discuss the pretrial release conditions for Defendant Thomas and Defendant Noel. The discussion covers specific conditions from pretrial reports and an attorney, Mr. Foy, raises an objection to a newly added condition.
2019-12-16 • Courtroom
Defendant's Response in Opposition to Motion to Exceed Presumptive Ten Deposition Limit in v. Maxwell, No. 15-cv-07433-RWS (S.D.N.Y.).
2016-06-16 • S.D.N.Y.
Start date of assignment to SHU post for defendants.
2019-06-26 • MCC SHU
Start of Defendant Noel's assignment to the SHU post
2019-06-26 • MCC New York SHU
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