📄 Extracted Text (310 words)
From:
Subject: FW: Rule 412
Date: Fri, 05 Nov 2021 17:38:04 +0000
Attachments: Del_412_Mot.Jo Redacted.pdf
Very good to speak with you just now, thanks very much for taking the time to talk. As I mentioned, attached is the
defense's motion seeking to admit certain evidence abouabackground at trial. The hearing on this motion will
now be on November 10, 2021.
As we discussed, I already intended to bring out at trial the fact that was previously sexually abused and sexually
active with because she discussed those facts with Maxwell and Epstein, so they are relevant to the charges.
However, the remaining details referenced in this motion are irrelevant to the charges, so we intend to oppose their
admission at trial.
You and both have a right to be heard on the motion at the November 10th hearing, but there is no requirement
that you appear. Please let me know if you or wish to be heard on this motion, in which case I'll coordinate with
the Court regarding the logistics.
As always, please feel free to call my cell ) if you have any questions or would like to discuss this or anything
else. I'll keep you posted as we finalize the logistics for travel to New York for her trial testimony.
Thanks,
From: >
Sent: Frida October 29 2021 3:38 PM
To:
Cc:
Subject: Rule 412
Attached please find a redacted version of the defense's Rule 412 motion, which was filed under seal. Our response will
be filed under seal on Monday. If the Court holds a hearing on the motion, it will be in camera on Friday, November 5,
2021.
I'm also attaching the Court's Order about the November 1 in-person pretrial conference.
Thanks,
Assistant United States Attorney
United States Attorney's Office
EFTA00095747
Southern District of New York
One St. Andrew's Plaza
New York, New York
U:
EFTA00095748
ℹ️ Document Details
SHA-256
a4693860c27f1e6c9af3e8081d81fb2ca01ca23d5c55812d6703f43a63e250fb
Bates Number
EFTA00095747
Dataset
DataSet-9
Document Type
document
Pages
2
Comments 0