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Court filing · Nov. 2021

Stipulation on 2009 deposition exhibits in US v. Maxwell, S2 20 CR 330

Stipulation by prosecutors and Maxwell's defense counsel agreeing that a December 2009 deposition transcript may be admitted as government exhibits at her trial.Machine-written summary

UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK

UNITED STATES OF AMERICA

STIPULATION

GHISLAINE MAXWELL,

S2 20 CR 330 (AJN)

Defendant.

IT IS HEREBY STIPULATED AND AGREED by and among the United States of America, by Damian Williams, United States Attorney for the Southern District of New York, and Assistant United

States Attorneys, of counsel, and defendant Ghislaine Maxwell, by and with the consent of her attorneys, Christopher Everdell, Esq., Laura Menninger, Esq., Jeffrey Pagliuca, Esq., and Bobbi Sternheim, Esq., that:

  1. The documents marked 3505-043 and 3505-044 are a true and accurate copy of the transcript of the deposition taken on December 4, 2009 in West Palm Beach, Florida.

EFTA00090937

  1. IT IS FURTHER STIPULATED AND AGREED THAT this stipulation, marked as Government Exhibit 1007, and the documents marked 3505-043 and 3505-044, may be received in evidence as Government exhibits at trial subject to objections by the defense based on relevance, hearsay, or under Rule 403.
Dated:November ___, 2021
New York, New York

DAMIAN WILLIAMS

United States Attorney for the Southern District of New York

Assistant United States Attorneys Southern District of New York

Christopher Everdell, Esq. / Laura Menninger, Esq. Jeffrey Pagliuca, Esq. / Bobbi Sternheim, Esq. Attorneys for Defendant Ghislaine Maxwell

2

EFTA00090938