EFTA00102211.pdf
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From: BOBBI C STERNHEIM
To:
Cc: Christian Everdell
eff Pagliuca
Subject: US v. Maxwell -Trial Start Date
Date: Mon, 10 May 2021 21:33:55 +0000
Good afternoon-
Following up on the status of our conferral emails as ow- joint letter (re: trial start date) is due today.
Thanks-
Bobbi
BOBBI C. STERNHEIM, ESQ.
Law Offices of Bobbi C. Stemheim
••Covid-19 Notice: The West 19th Street office is currently closed but we continue to work remotely.
Please use entail or fax, instead of regular mail, for all correspondence during this time.
We continue to work regular business hours throughout this situation.
Thank you for your consideration. Our best wishes for your good health and well being.
This message and any attached documents contain information from the Law Offices of Bobbi C. Sternheim
that may be confidential and/or privileged.
If you are not the intended recipient, you may not read, copy, distribute, or use this information.
If you have received this transmission in error, please notify the sender immediately by reply e-mail and
then delete this message. Thank you.
On May 9, 2021, at 12:14 PM, BOBBI C STERNHEIM
wrote:
Good afternoon-
In our 4/22 letter, we provided specific details concerning cases and trial dates
to justify our request for a continuance to 11/8.
Beyond a vague statement regarding consideration of availability of witnesses and counsel,
you have provided no specific details why the government cannot proceed to trial on 11/8.
EFTA00102211
Starting the trial on 11/29 - besides disrupting Thanksgiving holiday plans - will push the trial
to the end of the year and possibly into the new year, interfering with Christmas and
New Year's plans, as COVID did last year. This will cast the defense and defense case
in a negative light as jurors impatiently wait for the trial to conclude before Christmas, which it won't.
Our previous email explained our reasons for firmly pressing the 11/8 trial date,
but as an accommodation, we would consider starting on 11/15, but no later.
For now, we will not agree to exclusion of speedy trial time beyond 11/8.
These scheduling conflicts can be easily eliminated by consenting to bail for Ms. Maxwell.
It is unclear why the scheduling order, which contemplated a continuance, should be altered.
As previously discussed and raised with the Court, we need to review of 3500 material
and exhibits before determining the need to call any experts.
Enjoy the day.
Bobbi
BOBBI C. STERNHEIM, ESQ.
Law Offices of Bobbi C. Stemheim
••Covid-19 Notice: The \Vest 19th Street office is currently closed but we continue to work remotely.
Please use entail or fax, instead of regular mail, for all correspondence during this time.
We continue to work regular business hours throughout this situation.
Thank you for your consideration. Our best wishes for your good health and well being.
This message and any attached documents contain information from the Law Offices of Bobbi C. Stemheim
that may be confidential and/or privileged.
If you are not the intended recipient, you may not read, copy, distribute, or use this information.
If you have received this transmission in error, please notify the sender immediately by reply e-mail and
then delete this message. Thank you.
On May 7, 2021, at 9:30 PM,
Bobbi,
rote:
Thanks very much for letting us know your availability. Regarding the trial date, after considering the availability of
witnesses and counsel, we plan to propose a trial date of November 29, 2021. Could you please let us know your
position regarding that date, so that we can include it in our letter to the Court? In addition, please let us know
whether you consent to an exclusion of time under the Speedy Trial Act between now and the new trial date the Court
selects.
EFTA00102212
With respect to other scheduling matters, we intend to propose that the Court set a deadline of three months before
trial for the Government to disclose the identities of victims referenced in the indictment; this is an earlier proposal
than the timeframe we had originally proposed for the July trial date. We also intend to propose that the deadline for
defense expert disclosures be set for two months before trial, given the substantial length of the adjournment. Please
let us know your position regarding those proposed dates and we'll include it in our letter.
Thanks very much, and hope everyone has a nice weekend--
From: BOBBI C STERNHEI
Sent: Friday, May 7, 2021 5:
Menninger
; Jeff Pagliuca
Subject: Re: United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN)
We are available to begin November 8th and to conclude by the end of the year.
Laura has a civil trial scheduled for December 13th, but will try to move it.
Bobbi
BOBBI C. STERNHEIM, ESQ.
Law Offices of Bobbi C. Sternheim
••Covid-19 Notice: The West 19th Street office is currently closed but we continue to work remotely.
Please use email or fax, instead of regular mail, for all correspondence during this time.
We continue to work regular business hours throughout this situation.
Thank you for your consideration. Our best wishes for your good health and well being.
This message and any attached documents contain information from the Law Offices of Bobbi C. Sternheim
that may be confidential and/or privileged.
If you are not the intended recipient, you may not read, copy, distribute, or use this information.
If you have received this transmission in error, please notify the sender immediately by reply e-mail and then delete
this message. Thank you.
On May 7, 2021, at 5:16 PM,
Wrote:
Bobbi,
EFTA00102213
We understand that you're requesting a November 8th date, and that you prefer that date. Separate from your
preferences, our question was simply about your scheduling availability in light of the Court's order. Can you please
let us know your availability and we will note that accordingly in our submission to the Court?
From: BOBBI C STERNHEIM
Sent: Friday, May 7, 2021 4:00 PM
Cc: Christian Everdell
Laura Menninger
Jeff Pagliuca
Subject: Re: United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN)
Good afternoon-
For the reasons stated in our letter-motion of 4/22 (Dkt. 246),
our earliest and preferred date in the fall is 11/8.
In light of Ms. Maxwell's extended period of detention
and its deleterious effect on her health and well-being,
we cannot agree to a date tar beyond 11/8.
However, should you agree to her release pending trial,
we would have greater date flexibility.
Enjoy the weekend.
Bobbi
BOBBI C. STERNHEIM, ESQ.
Law Offices of Bobbi C. Sternheim
33 West 19th Street - 4th Floor
New York, NY 10011
Main:
Cell:
Fax:
••Covid-19 Notice: The West 19th Street office is currently closed but we continue to work remotely.
Please use email or fax, instead of regular mail, for all correspondence during this time.
We continue to work regular business hours throughout this situation.
Thank you for your consideration. Our best wishes for your good health and well being.
This message and any attached documents contain information from the Law Offices of Bobbi C. Sternheim
that may be confidential and/or privileged.
If you are not the intended recipient, you may not read, copy, distribute, or use this information.
If you have received this transmission in error, please notify the sender immediately by reply e-mail and then delete
this message. Thank you.
On May 7, 2021, at 1:13 PM,
wrote:
EFTA00102214
Hi Bobbi,
Thanks for your response. Your April 22, 2021 letter does not address the defense's availability for trial dates after
November 8th, and it would be helpful to get a complete picture of available dates throughout the balance of 2021
in order to provide the Court with comprehensive information. We're still in the process of conferring with
witnesses regarding their availability, so we're gathering a variety of data points. Please let us know your
availability and we can put together a proposal.
Thanks,
From: BOBBI C STERNHEIM
Sent: Thursday, May 6, 2021 11:5 PIN/
1
Subject: Re: United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN)
enninger
; e - •agluca
Good evening-
Our 4/22 letter detailed our position. Please let us know your availability for 11/8.
Thank you-
Bobbi
BOBBI C. STERNHEIM, ESQ.
Law Offices of Bobbi C. Sternheim
This message and any attached documents contain information from the Law Offices of Bobbi C Sternheim
that may be confidential and/or privileged.
If you are not the intended recipient, you may not read, copy, distribute, or use this information.
If you have received this transmission in error, please notify the sender immediately by reply e-mail and then
delete this message. Thank you.
EFTA00102215
On May 6, 2021, at 7:15 PM
Counsel,
wrote:
We write to confer in accordance with the Court's Order about a trial date in this case. Please let us know your
preferences and availability for trial dates from September 2021 through the end of the year. If you could please
provide details for any conflicts, that would be helpful.
Thank you,
Assistant United States Attorney
Southern District of New York
One Saint Andrew's Plaza
New York, NY 10007
EFTA00102216
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| Filename | EFTA00102211.pdf |
| File Size | 287.4 KB |
| OCR Confidence | 85.0% |
| Has Readable Text | Yes |
| Text Length | 9,230 characters |
| Indexed | 2026-02-11T10:38:12.606141 |