EFTA00040593.pdf
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U.S. Department of Justice
United States Attorney
Southern District of New York
By Email & Hand
Christian Everdell, Esq.
Mark Cohen, Esq.
Cohen & Gresser LLP
Laura Menninger, Esq.
Jeffrey Pagliuca, Esq.
Haddon. Morgan and Foreman, P.C.
August 5, 2020
Re:
United States v. Chislaine Maxwell, 20 Cr. 330 (MN)
Dear Counsel:
This letter provides discovery pursuant to Rule 16(a) of the Federal Rules of Criminal
Procedure ("Fed. R. Crim. P."), and seeks reciprocal discovery.'
Disclosure by the Government
Based on your request for discovery in this case, enclosed please find copies of the
materials listed in the attached index, which materials are stamped with control numbers
SDNY_ GM _00000001 through SDNY_GM_00012841. Please note that both this letter and the
enclosed materials are governed by the July 31, 2020 Protective Order in this case.2
In addition to information provided herein, please note that this Office periodically posts content
on social media platforms including Twitter, Facebook and YouTube. Members of the public may
post comments in response to the Office's postings. We do not control these user-generated
comments, nor do we monitor or regularly review such comments. You may directly access these
social media platforms in the event you believe someone may have posted information relevant to
this case.
2 Files in PDF format designated as "confidential" under the protective order have been stamped
"confidential." However, certain files cannot be individually labeled as confidential on the
documents themselves due to their file format. Such files include in their electronic names the
word "Confidential," and, additionally, the bates numbers for confidential files that could not be
individually labeled are included in the table below.
06.20.2018
EFTA00040593
Page 2
This letter is itself designated as "confidential," because it includes information
regarding records designated as "confidential" under the Protective Order.
The Government recognizes its obligations under Brady v. Maryland, 373 U.S. 83 (1963),
and its progeny. The Government will provide material under Giglio v. United States, 405 U.S.
150, 154 (1972), and its progeny, in a timely manner prior to trial and consistent with the schedule
set by the Court.
Disclosure by the Defendant
In light of your request for discovery in this case, the Government hereby requests
reciprocal discovery under Fed. it Crim. P. 16(b). Specifically, we request that you allow
inspection and copying of: (1) any books, or copies or portions thereof, which are in the
defendant's possession, custody or control, and which the defendant intends to introduce as
evidence or otherwise rely on at trial; and (2) any results or reports of physical or mental
examinations and of scientific tests or experiments made in connection with this case, or copies
thereof, which are in the defendant's possession or control, and which the defendant intends to
introduce as evidence or otherwise rely on at trial or which were prepared by a witness whom the
defendant intends to call at trial.
The Government also requests that the defendant disclose prior statements of witnesses he
will call to testify. See Fed. R. Crim. P. 26.2; United States v. Nobles, 422 U.S. 225 (1975). We
request that such material be provided on the same basis upon which we agree to supply the
defendant with 3500 material relating to Government witnesses.
Sentence Reduction for Acceptance of Responsibility
This Office will oppose the additional one-point reduction under the Sentencing Guidelines
available for defendants who plead prior to the Government's initiation of trial preparations
pursuant to U.S.S.G. § 3E1.1(b), in the event your client has not entered a plea of guilty six weeks
prior to trial, or prior to the provision of 3500 material, whichever is earlier. We will follow this
policy whether or not suppression or other pretrial motions remain outstanding after this date and
even if the trial date has not been announced by the Court six weeks in advance of the trial.
Finally, please be advised that pursuant to the policy of the Office concerning plea offers,
no plea offer is effective unless and until made in writing and signed by authorized representatives
of the Office. In particular, discussions regarding the pretrial disposition of a matter that are not
reduced to writing and signed by authorized representatives of the Office cannot and do not
constitute a "formal offer" or a "plea offer," as those terms are used in Lafler v. Cooper, 132 S.Ct.
1376 (2012); Missouri v. Frye, 132 S.Ct. 1399 (2012).
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EFTA00040594
Page 3
Bates Start
Bates End
Confidential Non-PDF Files Summary Description
Designation
SDNY GM 00000001 SDNY_GM_00000002
Ghislaine Maxwell Joint
Automated Booking
S stem Summa
SDNY_GM_00000003 SDNY_GM_00000044
Pen Register Orders and
A 8 . lications
SDNY GM 00000045 SDNY_GM_00000717
Search Warrants and
Applications
Confidential
SDNY_GM_00000718 SDNY_GM_00000833
Immigration and Travel
Records for Jeffrey Epstein
and Ghislaine Maxwell
SDNY_GM_00000834 SDNY_GM_00000905
Unsealing materials
pertaining to 15 Civ. 7433
RWS , 19 Misc. 149 CM
Confidential
SDNY_GM_00000906 SDNY_GM_00000962
Unsealing materials
pertaining to 17 Civ. 0616
(SN), 19 Misc. 179 (SN)
Confidential
SDNY_GM_00000963 SDNY_GM_00000964 SDNY_GM_00000963
Airline Reporting
Corporation records
Confidential
SDNY_GM_00000965 SDNY_GM_00000965
Alaska Airlines records
Confidential
SDNY GM 00000966 SDNY_GM_00000976 SDNY_GM_00000967;
SDNY_GM_00000969;
SDNY_GM_00000971;
SDNY_GM_00000973;
SDNY_GM_00000974;
SDNY_GM_00000976
Amazon Records
Confidential
SDNY_GM_00000977 SDNY_GM_00001012
American Airlines records
Confidential
SDNY_GM_00001013 SDNY_GM_00001014 SDNY_GM_00001014
Apple Records for Jeffrey
Epstein
Confidential
SDNY GM 00001015 SDNY GM 00003637
AT&T Records
Confidential
SDNY_GM_ 00003638 SDNY_GM_00003701
Bank of America Records
Confidential
SDNY GM 00003702 SDNY GM 00003702
_
_
Century Link Records for
the numbe
Confidential
SDNY_GM_00003703 SDNY_GM_00004639 SDNY_GM_00004511
Citibank Records
Confidential
SDNY_GM_00004640 SDNY_GM_00004649
Delaware Division of
Corporations Records
relating to LSJ LLC
SDNY_GM_00004650 SDNY_GM_00004655
Delta Airlines Records
Confidential
SDNY_GM_00004656 SDNY_GM_00004656
Confidential
School Records
SDNY_GM_00004657 SDNY_GM_00004657
Expedia Records
SDNY GM 00004658 SDNY GM 00004721
Experian Records
Confidential
SDNY GM 00004722 SDNY_GM_00004762
Gold Coast Federal Credit
Union records
Confidential
SDNY GM 00004763 SDNY_GM_00004776
Google records regarding
account information for
Jeffrey Epstien and
Ghislaine Maxwell
Confidential
SDNY GM 00004776 SDNY GM 00004781
Instagram records
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EFTA00040595
Page 4
SDNY GM 00004782 SDNY GM 00005414
Records
Confidential
SDNY_GM_00005415 SDNY_GM_00005416
MCC Request for Emails
SDNY_GM_00005417 SDNY_GM_00005417
Microsoft Records
regarding account
information for Jeffrey
Epstein
SDNY_GM_0005418
SDNY_GM_00005444 SDNY_GM_00005431;
SDNY_GM_00005432;
SDNY_GM_00005433;
SDNY_GM_00005435
MoneyGram Records
relating to
Ghislaine Maxwell, and
Confidential
SDNY_GM_00005445 SDNY_GM_00005484
New York State
Department of State records
SDNY_GM_00005485 SDNY_GM_00005491 SDNY_GM_00005487;
SDNY_GM_00005488;
SDNY_GM_00005490;
SDNY_GM_00005491
Oath Holdings records for
Jeffrey Epstein email
accounts
Confidential
SDNY GM 00005492 SDNY_GM_00005531
Confidential
School Records
SDNY GM 00005532 SDNY_GM_00005676
Flight manifests and
records from David
Rodgers, 1991 - 2013
Confidential
SDNY_GM_00005677 SDNY_GM_00006060 SDNY_GM_00006007;
SDNY_GM_00006008;
SDNY_GM_00006009
;
SDNY GM 00006010
Charles Schwab Records
Confidential
SDNY_GM_00006061 SDNY_GM_00006079
Shoppers Travel Records
Confidential
SDNY_GM_00006080 SDNY_GM_00006096
Southwest Records
Confidential
SDNY_GM_00006097 SDNY_GM_00006129
Capital One Records
Confidential
SDNY_GM_00006130 SDNY_GM_00007425
TD Bank Records
Confidential
SDNY_GM_00007426 SDNY_GM_00007641 SDNY_GM_00007521
—
SDNY_GM_00007580;
SDNY_GM_00007620
-
SDNY_GM_00007641
PayPal Records
Confidential
SDNY_GM_00007642 SDNY_GM_00007677 SDNY_GM_00007642
SDNY_GM_00007654
-
SDNY_GM_00007658;
SDNY_GM_00007666;
SDNY_GM_00007676;
SDNY_GM_00007677
T-Mobile records
Confidential
SDNY GM 00007678 SDNY_GM_00008136
Materials from Darren
Indyke and Richard Kahn
(Epstein Estate Executors)
Confidential
SDNY_GM_00008137 SDNY_GM_00008137
UMB Bank no records
notification
Confidential
SDNY_GM_00008138 SDNY_GM_00008146
United Airlines records
Confidential
SDNY_GM_00008147 SDNY_GM_000 10164 SDNY_GM_00009087;
SDNY GM 00009088
UBS Bank records
Confidential
SDNY GM 00010165 SDNY GM 00010355
USAA records
06.20.2018
EFTA00040596
Page 5
SDNY GM 00010356 SDNY_GM_000 10456
U.S. Virgin Islands
Division of Corporations
records for Laurel Inc,
Maple Inc, and Nautilus,
Inc
Confidential
SDNY GM 00010457 SDNY GM 00010459
Venmo records
Confidential
SDNY_GM_00010460 SDNY_GM_000 10461
Verizon records
Confidential
SDNY GM 00010462 SDNY_GM_000 11483
Flight manifest records
from Lawrence Visoki
Confidential
SDNY_GM_000 11484 SDNY_GM_000 11488
Western Union record of no
accounts found
Confidential
SDNY_GM_00011489 SDNY_GM_00012474 SDNY_GM_00011489;
SDNY_GM_00011490;
SDNY_GM_00012217;
SDNY_GM_00012220;
SDNY_GM_00012305;
SDNY_GM_00012359;
SDNY_GM_00012382;
SDNY_GM_00012396
SDNY_GM_00012405
SDNY_GM_00012435
TD Ameritrade Materials
Confidential
SDNY_GM_000 12475 SDNY_GM_000 12841
Materials frot
Confidential
Very truly yours,
Acting United States Attorney
by:
/s
Assistant United States Attorneys
Enclosure
06.20.2018
EFTA00040597
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| Filename | EFTA00040593.pdf |
| File Size | 321.1 KB |
| OCR Confidence | 85.0% |
| Has Readable Text | Yes |
| Text Length | 9,899 characters |
| Indexed | 2026-02-11T10:20:02.257000 |