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Case 1:20-cr-00330-AJN Document 78 Filed 12/02/20 Page 1 of 2
U.S. Department of Justice
United States Attorney
Southern District of New York USDC SONY
DOCUMENT
The Silvio J. Mono Building
One Saint Andrew's Plaza ELECTRONICALLY FILED
New York. New York 10007 DOC 0:
DATE FILED: 1212120
December 1, 2020
BY ECF
The Honorable Alison J. Nathan
United States District Court
Southern District of New York
United States Courthouse
40 Foley Square
New York, New York 10007
Re: United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN)
Dear Judge Nathan:
The parties jointly submit this letter in response to the Court's November 24, 2020 order
directing the parties to meet and confer regarding the defendant's request that the warden of the
Metropolitan Detention Center ("MDC") report directly to the Court and counsel on the
defendant's conditions of detention. (Dkt. No. 76). Over the past week, the Government has
spoken with MDC legal counsel regarding the defendant's conditions of confinement and has tried
to gather additional information regarding the concerns raised by the defendant, which the
Government has shared with defense counsel. The Government has also conferred with defense
counsel three times regarding the same, as well as the defense's request relating to MDC Warden
. The parties have been unable to reach agreement. Our respective positions
follow.
The Government respectfully submits that the Court should allow MDC legal counsel to
respond directly in writing to the Court and defense counsel regarding the concerns defense
counsel has raised relating to the defendant's conditions of confinement. The Government
understands that MDC legal counsel is prepared to submit a letter by this Friday, December 4,
2020. Such a letter is the appropriate next step at this time, as it will allow the Court to hear
directly from MDC legal counsel who can address the defendant's conditions of confinement. The
letter will allow the Court to ascertain whether further inquiry, including a personal appearance by
the Warden or other MDC personnel, is necessary. Moreover, the Government does not
understand the concerns raised by the defense to implicate the defendant's access to legal materials
or her ability to communicate with her counsel. As noted in the Government's letter dated
November 23, 2020, the defendant continues to have more time to review her discovery than any
other inmate at the MDC. The defendant also has as much, if not more, time as any other MDC
inmate to communicate with her attorneys. (Dkt. No. 74).
The defense disaerees. As communicated to the Government, the defense's position is as
follows: Warden should appear before the Court to directly address concerns
regarding Ms. Maxwell's conditions of confinement which specifically target her. On October
29, 2020, the defense emailed a letter to Warden detailing the onerous and restrictive
conditions, including but not limited to concerns regarding the supplemental camera; excessive
EFTA00079701
Case 1:20-cr-00330-AJN Document 78 Filed 12/02/20 Page 2 of 2
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searching (e.g., weekly body scan, 15-minute interval flashlight checks at night, and open-mouth
inspection) despite being surveilled 24/7 by a dedicated three-guard security detail and two
cameras; and the reason she is not being moved to the day room, which we understood was the
original plan (and would reduce searching). Receipt of the letter was acknowledged, but to date
there has been no response and little, if any, redress to the most serious conditions. Upon
informal, belief, decisions concerning Ms. Maxwell's specialized detention are made by
Warden or from others outside the MDC. A report from the MDC Legal Department would
provide second-hand information. Accordingly, Warden should be directed to provide a
first-hand accounting to the Court and counsel why Ms. Maxwell is being detained under such
individualized conditions.
Your consideration is greatly appreciated.
Respectfully submitted,
AUDREY STRAUSS
Acting United States Attorney
By:
Assistant United States Attorneys
Southern District of New York
Tel:
Cc: All Counsel of Record (By ECF)
MDC legal counsel shall submit their
letter to the Court by December 4,
2020. Upon review of that letter, the
Court will determine whether any
additional information is required,
either orally or in writing.
SO ORDERED. 12/2/2020
SO ORDERED.
Alison J. Nathan, U.S.D.J.
EFTA00079702
ℹ️ Document Details
SHA-256
bc716eb43695262ddce6e6c59579aa6ad6ebe51cbade9d434110409368c841cd
Bates Number
EFTA00079701
Dataset
DataSet-9
Type
document
Pages
2
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