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Court Exhibit - Email Chain: 285-5

The document is an email chain between attorneys representing [REDACTED - Survivor] and DOJ attorneys, discussing the sharing of documents and information related to the Jeffrey Epstein case. The emails show that the attorneys provided the DOJ with various documents, including a complaint in a defamation case against Ghislaine Maxwell and declarations filed in a CVRA case. The chain indicates a level of cooperation between the parties.

Date
Unknown
Source
Court Unsealed
Reference
File: 285-5
Pages
4
Persons
5
Integrity
No Hash Available

Summary

The document is an email chain between attorneys representing [REDACTED - Survivor] and DOJ attorneys, discussing the sharing of documents and information related to the Jeffrey Epstein case. The emails show that the attorneys provided the DOJ with various documents, including a complaint in a defamation case against Ghislaine Maxwell and declarations filed in a CVRA case. The chain indicates a level of cooperation between the parties.

This document is from the epstein-docs Archive.

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Related Documents (6)

DOJ Data Set 9OtherUnknown

COHEN & GRESSER LLP

GG COHEN & GRESSER LLP Christian R. Evercle11 +1 (212) 957-7600 ccvcrdclIgathcngresscr.com October 13, 2020 BY EMAIL. , Esq. Esq. Esq. United States Attorney's Office Southern District of New York 1 St. Andrew's Plaza New York, NY 10007 Re: United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN) Dear 000 Thud Avenue New Yoek. NY 10022 +1 212 957 7600 phone owswoohensresser corn We write on behalf of our client, Ghislaine Maxwell, to set forth requests for discovery and Brady material. Based on our review of the government's productions of August 5, 2019, August 13, 2019, and August 21, 2020, we make the following requests for discovery, inspection, and copying, in accordance with the guarantees of the Fourth, Fifth, and Sixth Amendments, Rule 16 of the Federal Rules of Criminal Procedure, the Federal Rules of Evidence, and such other laws and rules as may be applicable. We are still reviewing these productions, as well as the government's most recent production of

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DOJ Data Set 9OtherUnknown

COHEN & GRESSER LLP

ANnW COHEN & GRESSER LLP October 13, 2020 BY EMAIL United States Attorney's Office Southern District of New York 1 St. Andrew's Plaza New York, NY 10007 Re: United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN) Dear ..,-:,w.cohengessercom We write on behalf of our client, Ghislaine Maxwell, to set forth requests for discovery and Brady material. Based on our review of the government's productions of August 5, 2019, August 13, 2019, and August 21, 2020, we make the following requests for discovery, inspection, and copying, in accordance with the guarantees of the Fourth, Fifth, and Sixth Amendments, Rule 16 of the Federal Rules of Criminal Procedure, the Federal Rules of Evidence, and such other laws and rules as may be applicable. We are still reviewing these productions, as well as the government's most recent production of October 2, 2020, and reserve the right to supplement these requests as necessary. 1. We request any oral, written, or recorded statements made by

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DOJ Data Set 8CorrespondenceUnknown

EFTA00023053

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DOJ Data Set 10OtherUnknown

EFTA01324978

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DOJ Data Set 9OtherUnknown

COHEN & GRESSER LLP

COHEN & GRESSER LLP .,:m.cohengesser <cm October 13, 2020 BY EMAIL United States Attorney's Office w York Re: United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN) Dear We write on behalf of our client, Ghislaine Maxwell, to set forth requests for discovery and Brady material. Based on our review of the government's productions of August 5, 2019, August 13, 2019, and August 21, 2020, we make the following requests for discovery, inspection, and copying, in accordance with the guarantees of the Fourth, Fifth, and Sixth Amendments, Rule 16 of the Federal Rules of Criminal Procedure, the Federal Rules of Evidence, and such other laws and rules as may be applicable. We are still reviewing these productions, as well as the government's most recent production of October 2, 2020, and reserve the right to supplement these requests as necessary. 1. We request any oral, written, or recorded statements made by Ms. Maxwell, aside from the statements made in prior civil case proceed

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Dept. of JusticeOtherUnknown

EFTA Document EFTA01324974

From: To: Subject Date: FLY Friday, November 30, 2018 4:01:53 PM .0•Iseasest= From: Peter Skinner Sent: Tuesday, March 8, 201612:28 PM To Cc: Subject: RE: USANYS) ; Sigrid McCawley If you haven't already seen it, the Post reported today on Jeffrey Epstein's continued relationships with young women. hrto•Hoagesix.romn016/03/08/ieffrey-eosteins-east-side-mansion-houses-russian- playmates/ Best, Pete From: Peter Skinner Sent: Monday, February 29, 2016 10:13 PM To: Amanda Kramer

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