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Correspondence · March 12, 2021

Correspondence, 2021-03-12

Prosecutors and Maxwell's defense lawyers exchange emails about scheduling a call and arranging her review of confidential FBI evidence images.Machine-written summary

EFTA00078035 | | :--- | :--- |

This is a simple Markdown document with no headings or paragraphs. It contains a single line of text.

+1 303 831 7364 (Office) lmenninger@hmflaw.com

From:

Sent: Friday, March 12, 2021 11:44 AM

To: Laura Menninger lmenninger@hmflaw.com;

(USANYS) ·

Cc: Jeff Pagliuca jpagliuca@hmflaw.com; Christian R Everdell - Cohen & Gresser LLP (ceverdell@cohengresser.com)

ceverdell@cohengresser.com; ‘BOBBI C STERNHEIM’ bcsternheim@mac.com

Subject: RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view evidence, highly confidential materials, scenes

Counsel,

The FBI team on this case has been out of the office this week and will not be able to answer all of the questions you asked during our Wednesday call until they are back in the office next week. Please let me know if you would like to wait until all of those questions can be answered to schedule a day for your client to be brought to 500 Pearl Street to review the highly confidential images. My understanding is that the FBI is able to provide at least one laptop containing those highly confidential images in time for such a review to take place on Thursday 5/18, but I may not have the answers to all of your questions about those images before that date, and I do not know whether you will also be able to visit the evidence vault that same week.

Please let me know how you would like to proceed. I will reach back out once I have answers to your questions.

Thank you,

Assistant United States Attorney

Southern District of New York

1 St. Andrew’s Plaza

New York, NY 10007

From:

Sent: Tuesday, March 9, 2021 4:56 PM

To: Laura Menninger lmenninger@hmflaw.com;

To: Laura Menninger lmenninger@hmflaw.com;

(USANYS) <

Cc: Jeff Pagliuca jpagliuca@hmflaw.com; Christian R Everdell - Cohen & Gresser LLP (ceverdell@cohengresser.com

ceverdell@cohengresser.com; ‘BOBBI C STERNHEIM’ bcsternheim@mac.com

Subject: RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view evidence, highly confidential materials, scenes

That is the only excel spreadsheet indexing physical evidence that we have produced in discovery. That spreadsheet does not include every physical item currently in the FBI’s custody related to this case. For example, the August 20, 2020 discovery production also included search warrant returns listing the physical items seized by the FBI’s New York Office during the 2019 searches of Jeffrey Epstein’s residences in New York and the U.S Virgin Islands (see Bates range SDNY_GM_00166007-SDNY_GM_00166043), but they are not contained in a spreadsheet.

As a courtesy, I have asked the FBI whether it would be possible to provide us with a similar excel index reflecting the physical evidence seized by the FBI’s New York Office, though it may take some time to compile such an index.

EFTA00078036

Assistant United States Attorney

Southern District of New York

1 St. Andrew’s Plaza

New York, NY 10007

Cc: Jeff Pagliuca jpagliuca@hmflaw.com; Christian R Everdell - Cohen & Gresser LLP (ceverdell@cohengresser.com)

ceverdell@cohengresser.com; ‘BOBBI C STERNHEIM’ bcsternheim@mac.com

Subject: RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view evidence, highly confidential materials, scenes

Thank you. Is that the only index of physical evidence available?

Laura A. Menninger | Partner

Haddon, Morgan & Foreman, P.C.

150 E. 10th Avenue | Denver, CO 80203

+1 303 831 7364 (Office)

lmenninger@hmflaw.com

From:

Cc: Jeff Pagliuca jpagliuca@hmflaw.com; Christian R Everdell - Cohen & Gresser LLP (ceverdell@cohengresser.com)

ceverdell@cohengresser.com; ‘BOBBI C STERNHEIM’ bcsternheim@mac.com

Subject: RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view evidence, highly confidential materials, scenes

Counsel,

In advance of our call tomorrow, I wanted to send a copy of the attached index of physical items in FBI custody from the FBI-Miami office, which we previously produced to you as part of our August 21, 2020 discovery production. Also included in that August 21, 2020 production were scans of numerous items listed on the index. Those scans can be found within Bates range SDNY_GM_00172218-SDNY_GM_00173007. It may be useful to reference some of those items during our conversation tomorrow, so I wanted to make sure you were aware of them.

Best,

Assistant United States Attorney Southern District of New York 1 St. Andrew’s Plaza

EFTA00078037

New York, NY 10007

Cc: Jeff Pagliuca jpagliuca@hmflaw.com; Christian R Everdell - Cohen & Gresser LLP (ceverdell@cohengresser.com)

ceverdell@cohengresser.com; ‘BOBBI C STERNHEIM’ bcsternheim@mac.com

Subject: RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view evidence, highly confidential materials, scenes

Yes, that works for us, thank you very much. We can use the below dial-in:

Cc: Jeff Pagliuca jpagliuca@hmflaw.com; Christian R Everdell - Cohen & Gresser LLP (ceverdell@cohengresser.com)

ceverdell@cohengresser.com; ‘BOBBI C STERNHEIM’ bcsternheim@mac.com

Subject: RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view evidence, highly confidential materials, scenes

Good morning,

We are free at 1:30 p.m. ET / 11:30 a.m. MST tomorrow. Would that work? We are generally free thereafter, so please suggest another later time if not.

Thank you,

Laura

Laura A. Menninger | Partner

Haddon, Morgan & Foreman, P.C.

150 E. 10th Avenue | Denver, CO 80203

+1 303 831 7364 (Office)

lmenninger@hmflaw.com

Cc: Jeff Pagliuca jpagliuca@hmflaw.com; Christian R Everdell - Cohen & Gresser LLP (ceverdell@cohengresser.com)

ceverdell@cohengresser.com; ‘BOBBI C STERNHEIM’ bcsternheim@mac.com

Subject: RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view evidence, highly confidential materials, scenes

Good morning,

EFTA00078038

It would be helpful to have a call to discuss the requests contained in this letter. Are there times tomorrow when you would be available to speak, please?

Thank you,

Assistant United States Attorney

Southern District of New York

1 St. Andrew’s Plaza

New York, NY 10007

From: Laura Menninger<lmenninger@hmflaw.com>
Sent: Monday, March 8, 2021 2:03 PM

(USANYS) •

Cc: Jeff Pagliuca <jpagliuca@hmflaw.com>; Christian R Everdell - Cohen & Gresser LLP (&leverdell@cohengresser.com)<ceverdell@cohengresser.com>; 'BOBBI C STERNHEIM'<bcsternheim@mac.com>
Subject: US v. Maxwell-20 Cr. 330(AJN)-Request to view evidence, highly confidential materials, scenes

Counsel -

Please see attached correspondence.

-Laura

Laura A. Menninger
Haddon, Morgan and Foreman, P.C.
150 East 10th Avenue
Denver, Colorado 80203
Main 303.831.7364 FX 303.832.2628
lmenninger@hmflaw.com
www.hmflaw.com

CONFIDENTIALITY NOTICE: This e-mail transmission, and any documents, files or previous e-mail messages attached to it may contain information that is confidential or legally privileged. If you are not the intended recipient, or a person responsible for delivering it to the intended recipient, you are hereby notified that you must not read this transmission and that any disclosure, copying, printing, distribution or use of any of the information contained in or attached to this transmission is STRICTLY PROHIBITED. If you have received this transmission in error, please notify the sender by telephone or return e-mail and delete the original transmission and its attachments without reading or saving it in any manner. Thank you.

EFTA00078039

Correspondence, 2021-03-12

Emails and letters

Prosecutors and Maxwell's defense lawyers exchange emails about scheduling a call and arranging her review of confidential FBI evidence images.

DOJ Epstein Files, Data Set 9 · March 12, 2021

EFTA00078035 | | :--- | :--- | This is a simple Markdown document with no headings or paragraphs. It contains a single line of text. +1 303 831 7364 (Office) lmenninger@hmflaw.com From: Sent: Friday, March 12, 2021 11:44 AM To: Laura Menninger <lmenninger@hmflaw.com ; (USANYS) · Cc: Jeff Pagliuca <jpagliuca@hmflaw.com ; Christian R Everdell - Cohen & Gresser LLP (ceverdell@cohengresser.com) <ceverdell@cohengresser.com ; 'BOBBI C STERNHEIM' <bcsternheim@mac.com Subject: RE: US v. Maxwell - 20 Cr. 330 (AJN) - Request to view evidence, highly confidential materials, scenes Counsel, The FBI team o…