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efta-efta00015825DOJ Data Set 8Correspondence

EFTA00015825

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DOJ Data Set 8
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EFTA Disclosure
Text extracted via OCR from the original document. May contain errors from the scanning process.
From: David Oscar Markus aa> To: (USANYS)" Cc: r>, Subject: Re: U.S. v. Ghislaine Maxwell Date: Sat, 10 Apr 2021 01:23:56 +0000 If you are filing that one unredacted pleading, would you be willing to file the others as well? I think the court should have them all. Let me know if you will include the others. Thanks, David --David Oscar Markus Markus/Moss markuslaw.com On Apr 9, 2021, at 6:25 PM, David Oscar Markus a wrote: Hi= No objection. Have a nice weekend. David. --David Oscar Markus Markus/Moss markuslaw.com On Apr 9, 2021, at 6:21 PM, (USANYS) a wrote: David, We intend to submit a motion to seek leave to file an unredacted copy of Exhibit F under seal and need to indicate your position. Do you consent to this request? Thanks' EFTA00015825 From: David Oscar Markus Sent: Thursday, April 01, 2021 6:35 PM To: (USANYS) Cc: Subject: Re: U.S. v. Ghislaine Maxwell Thanks. I won't ask to shorten the 10 days if the government doesn't plan on asking for an extension. —dm --David Oscar Markus Markus/Moss markuslaw.com On Apr 1, 2021, at 6:07 PM, > wrote: (USANYS) < We do not oppose the Court expediting consideration but do oppose any request to shorten the ten days by which we have to respond. From: David Oscar Markus Sent: Thursday, April 01, 2021 5:59 PM To: (USANYS) Cc: Subject: Re: U.S. v. Ghislaine Maxwell Both. --David Oscar Markus Markus/Moss markuslaw.com On Apr 1, 2021, at 5:33 PM, David, (USANYS) a> wrote: Are you asking to expedite the Court's consideration of the appeal or asking to shorten our timeline for responding? Thanks, From: David Oscar Markus Sent: Thursday, April 01, 2021 5:27 PM To: Cc: (USANYS) c ) Subject: Re: U.S. v. Ghislaine Maxwell Counsel: EFTA00015826 What is the government's position on expediting the appeal? Thank you. David --David Oscar Markus Markus/Moss markuslaw.com On Mar 25, 2021, at 7:11 PM, wrote: David, Thanks for letting us know that you'll be counsel on this appeal. As an initial matter, the majority of the docket entries you've referenced do not appear to be redacted. In any event, you may obtain these materials from defense counsel — I've copied them here. This case is already governed by a protective order (ECF No. 36), which is binding on all counsel. Thanks, Assistant United States Attorney Southern District of New York One Saint Andrew's Plaza New York, NY 10007 (212) 63 From: David Oscar Markus Sent: Thursday, March 25, 2021 5:33 PM To: •= > (USANYS) Subject: U.S. v. Ghislaine Maxwell Good afternoon counsel: ) I have been engaged to represent Ghislaine Maxwell in her appeal from the denial of her third application for bail. In preparing this appeal, I will need access to certain unredacted documents, including docket entries 4, 18, 22, 97, 100, 103, 106, 159, 160, 165, 171, 169. Do you have any objection to me having access to these unredacted documents? (There may be additional documents that I need, but I have not identified them as of yet.) I'm happy to enter into a protective order with the government if you believe EFTA00015827 that is necessary. I plan on filing the appeal next week, so I would appreciate it if you could get back to me as soon as possible. Thank you, David --David Oscar Markus markuslaw.corn EFTA00015828

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Related Documents (6)

Dept. of JusticeLegal FilingUnknown

court filing: DOJ-OGR-00004969

The document appears to be a court filing in the US v Maxwell case, referencing statements made by Ghislaine Maxwell's attorney about her difficult conditions and her readiness to fight the charges. The case involves charges related to procuring and grooming underage victims. The document includes excerpts from news articles and court proceedings.

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Court UnsealedLegal FilingUnknown

Court Filing - Appellant's Reply Brief: 57

Ghislaine Maxwell's reply brief argues that the lower court erred in denying her pretrial release, citing the government's failure to provide actual evidence and the harsh conditions of her confinement that hinder her ability to prepare for trial. The brief disputes the government's claims about the strength of their case, arguing that the indictment is not evidence and that the accusers' testimonies are not corroborated.

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House OversightLegal FilingUnknown

The document is a compilation of court filings related to Ghislaine Maxwell's case, including an ack...

The document is a compilation of court filings related to Ghislaine Maxwell's case, including an acknowledgment and notice of appearance by her lead counsel, David Oscar Markus, and a certification regarding a protective order in the case. It also includes a notice of appeal in a related case involving Jeffrey Epstein.

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Court UnsealedLegal FilingUnknown

Declaration in Support of Motion to Withdraw as Co-Counsel: 798-1

Christian R. Everdell of Cohen & Gresser LLP declares that the firm is withdrawing as co-counsel for Ghislaine Maxwell with her consent, as Markus Moss PLLC has taken over her representation for the government's motion to unseal grand jury transcripts. Cohen & Gresser LLP represented Maxwell during her trial and sentencing but not in her appellate proceedings. The firm will share its files with Markus Moss PLLC upon request.

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DOJ Data Set 8CorrespondenceUnknown

EFTA00031442

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DOJ Data Set 8CorrespondenceUnknown

EFTA00025177

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