The letter mentions claims made by "defense counsel" on behalf of Ms. Maxwell and details the extensive communication she has with her "legal counsel".
The letter discusses claims made by 'defense counsel' regarding Ms. Maxwell's access to discovery and mentions her ability to communicate with her 'legal counsel'.
Refers to 'The defendant and her counsel'.
Mention of 'Ms. Maxwell and her attorneys'
Defense counsel arguing for her bail; funds held in attorney escrow for legal services.
Defense counsel advocating on her behalf and communicating with government.
Discusses inability to meet, phone calls, and legal strategy.
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This document is page 6 of a legal filing (Document 172) dated March 22, 2021, in the case of United States v. Ghislaine Maxwell. The defense argues that Maxwell has been transparent about her assets, including those held jointly with her spouse, and that the government's argument regarding asset control and flight risk is illogical. A footnote strongly defends the integrity of Maxwell's New York legal team against the government's implication that they would use escrow funds to help her flee as a fugitive.
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This document is page 5 of a Government filing from July 28, 2020, in the case against Ghislaine Maxwell. The Government argues against a defense proposal that would allow them to publicly name victims and witnesses, stating that such a request is broad, unjustified, and contrary to the Crime Victims' Rights Act. The text highlights the distinction between the previous Epstein protective order and the current case, emphasizing that victims should not fear reprisal or shaming by having their identities broadcast by the defense.
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This document is Page 3 of a legal filing in the case United States v. Ghislaine Maxwell (Case 1:20-cr-00330-AJN), dated October 15, 2021. It contains a submission by the US Attorney's office followed by a 'SO ORDERED' endorsement from the Judge (Alison J. Nathan). The Judge denies a specific order requested by the defense but establishes a firm expectation that Maxwell should receive legal mail within approximately one business day to ensure she can prepare for trial.
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This legal document is a letter dated January 25, 2021, from the Metropolitan Detention Center (MDC) in Brooklyn to Judge Alison J. Nathan. The MDC requests the court to vacate a January 15, 2021 order concerning inmate Ghislaine Maxwell, arguing that her access to discovery materials and legal counsel is already extensive and sufficient. A stamped court order dated February 2, 2021, shows that Judge Nathan considered the request and responses from the Government and Defendant, and ultimately denied the MDC's request.
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This document is a letter dated January 25, 2021, from the Metropolitan Detention Center (MDC) in Brooklyn to Judge Alison J. Nathan. The MDC argues that inmate Ghislaine Maxwell has been provided ample resources and time to review discovery materials and communicate with her lawyers, contrary to her defense counsel's claims, and requests the court vacate a prior order from January 15, 2021. A stamped order on the document, dated February 2, 2021, shows that Judge Nathan considered the request and ultimately denied it.
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This document is page 24 of a Government filing (Document 100) in the case US v. Maxwell (1:20-cr-00330), filed on December 18, 2020. It argues against bail by highlighting the defendant's evasion of law enforcement, noting that her counsel never disclosed her location despite being in contact with the Government. It details that during her arrest, Maxwell ignored FBI directives and ran away from agents who were clearly identified.
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This document is page 12 of a legal filing (Document 18, filed July 10, 2020) in the case United States v. Ghislaine Maxwell. Defense counsel argues for Maxwell's release on bail, citing the inability to effectively communicate with her due to MDC's COVID-19 protocols, which restrict in-person visits and delay phone calls. The text details a specific incident on July 6, 2020, where counsel struggled to connect with Maxwell to comply with a court order, and footnotes cite legal precedents where other defendants were released due to similar pandemic-related restrictions.
Entities connected to both GHISLAINE MAXWELL and Defense counsel
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