Villazor LIP 250 West 55th Street. 30th Floor New York. New York 10019 www.smithvillazor.com¶
J. T 212.582.4400¶
I VILLAZOR¶
November 18, 2021¶
BY E-MAIL to NathanNYSDChambers@nysd.uscourts.gov¶
The Honorable Alison J. Nathan United States District Judge Southern District of New York 40 Foley Square New York, New York 10007¶
Re: United States v. Maxwell, No. 20 Cr. 330¶
Dear Judge Nathan:¶
We represent Jordana H. , the independent administrator of the Epstein Victims’ Com ensation Program. As we explained in our letter to the Court dated November 15, 2021, SO ORDERED. Ms. intends to move to quash defendant Maxwell’s subpoena directed to her. So that file papers on the ECF s stem as directed by the Court, we respectfully request that the Court approve Jordana H. being added to the ECF docket in this case as a “movant.” We understand that if the Court approves this request, the S.D.N.Y. docketing clerk will add to the ECF system so that we may file her papers electronically at the appropriate time.¶
USDC SDNY DOCUMENT ELECTRONICALLY FILED DOC t: DATE FILED: 11/19/21¶
The Clerk of Court is respectfully directed to add Jordana H. to the ECF docket in this case as a “movant.” SO ORDERED.¶
We are available should the Court have any questions.¶
Respectfully submitted,¶
/s/~J.¶
J. E i-Villazor LLP¶
cc: AUSA Alison Moe, AUSA Maurene Comey, AUSA Andrew Rohrbach, AUSA Lam Pomerantz, Christian R. Everdell, Esq., Jeffrey S. Pagliuca, Esq., Laura A. Menninger, Esq., Mark Stewart =, Esq., Bobbi C. Sternheim, Esq. (by e-mail)¶
tie r¶
11/19/21¶