Christian It. Everdcll +1 (212) 957-76140 ccvcrdclICicohcngresscr.c(>m BY ECF | USDC SDNY | | | ---------------------- | --------------- | | DOCUMENT | | | ELECTRONICALLY FILED | | | DOC #: | | | DATE FILED: | 2/2/22 | The Honorable Alison J. Nathan United States District Court Southern District of New York United States Courthouse 40 Foley Square New York, NY 10007 Re: United States v. Ghislaine Maxwell, S2 20 Cr. 330 (AJN) A Dear Judge Nathan: We write on behalf of our client, Ghislaine Maxwell, to respectfully request a one-week extension of time until Friday, February 11, 2022 to file our post-trial motions. The motions are currently due on Friday, February 4, 2022. We have conferred with the government, which has consented to the requested extension. The requested extension is necessary because we need to meet with Ms. Maxwell in person to review work product related to the motions. In-person visits at the MDC only recently became available again this week. Due to other commitments, we are unable to meet with Ms. Maxwell until the end of this week. This is the defense's first request for an extension. We would consent to a similar one-week extension for the government to file its response. Sincerely, February 1, 2022 The extension request is hereby GRANTED. The briefing schedule for other post-verdict motions is revised as follows: - Defense submission: February 11, 2022 - Government response: February 25, 2022 - Defense reply: March 11, 2022 SO ORDERED. /s/ Christian Everdell Christian R. Everdell & GRESSER LLP 800 Third Avenue, 21st Floor New York, New York 10022 (212) 957-7600 2/2/22