EpsteinProject.org

House Oversight — DOJ production

DOJ-OGR-00004117

Format
pdf
File
276.pdf
Set
House Oversight (DOJ)
Pages
4
Text
Searchable
Text confidence
94%

View at the original source

Text as released

Machine-read from the scan. Names, dates and numbers can be misread — check anything you rely on against the original page.

Case 1:20-cr-00330-AJN Document 276 Filed 05/11/21 Page1of4 LAW OFFICES OF BOBBI C. STERNHEIA\ 212-243-1100 © Main 33 West 19th Street - 4th Floor 917-306-6666 °¢ Cell New York, New York 10011 888-587-4737 ° Fax bc@sternheimlaw.com May 10, 2021 Honorable Alison J. Nathan United States District Judge United States Courthouse 40 Foley Square New York, NY 10007 Re: United States v. Ghislaine Maxwell S2 20 Cr. 330 (AJN) Dear Judge Nathan: We write in response to the government’s May 10, 2021 letter to the Court regarding the trial start date. This Court ordered that the parties meet and confer regarding a trial start date and to "agree to the earliest possible trial date this fall and to seek adjustments to other schedules in order to facilitate an early fall trial start date." (Dkt. 266 at 3). Defense counsel attempted to confer with the government in good faith to find a mutually acceptable date. We sent several emails to counsel stating our reliance on our April 22d submission (Dkt. 246) where we specified our conflicts and the justification for our request. By contrast, and despite our requests for clarification, the government failed to provide any details to justify its request to delay the trial start to November 29, 2021. Instead, the government filed a lengthy submission to the Court, complete with case law citations, at 8:12 p.m., a few hours before the deadline for the “joint letter.” Moreover, the government also audaciously seeks by way of their joint letter regarding the trial date to re-litigate the schedule this Court has already crafted after hearing from the parties both on submissions and in person, without even the courtesy of a motion for reconsideration on that schedule. For the reasons previously detailed in our April 22d letter to the Court, defense counsel’s earliest possible — and preferred — trial start date is November 8". As the Court is aware, Judge Furman moved my October 4" trial to March, clearing the way for this trial to start on Novem

[…]

Open in the archive