Epstein Files

EFTA00022486.pdf

efta-20251231-dataset-8 Court Filing 89.4 KB Feb 13, 2026
From: (USANYS)" < To:' )" C Subject: FW: US v. Maxwell, 20 Cr. 330 (AJN) - meet and confer Date: Thu, 29 Apr 2021 00:35:54 +0000 Attachments: 2021-04-30 Gov't Letter to Manley.docx >, 11 MC — I can join you for a call on Manley's letter. I put together the start of a letter (attached) based on your notes in the calendar invite and some other additions, but of course I imagine this may change based on our convo with counsel. From: Laura Menninger Sent: Wednesday, April 28, 2021 6:13 PM To: ) Bobbi Sternheim 'BOBBI C STERNHEIM' Jeff Pagliuca Cc: Mark S. Cohen )4S Subject: RE: US v. Maxwell, 20 Cr. 330 (AJN) - meet and confer (USANYS) Thanks for reaching out. We probably are best served by sending you our position on defense disclosures by email. We should be able to send that by Friday and can schedule a time to talk thereafter if you wish, with an eye towards the joint filing on Monday. We will confer with the team on the Speedy Trial issue and also get back to you on that. Lastly, do you want to discuss anything regarding Mr. Manley's application to the Court? I believe we are to discuss and then you are to write the Court by Friday. I am free tomorrow afternoon to discuss if you wish. Thanks, Laura Laura A. Menninger I Partner Haddon. Morgan & Foreman, P.C. From: c › Sent: Tuesday, April 27, 2021 10:22 PM To: Bobbi Sternheim < ; 'BOBBI C STERNHEIM' Cc: ) ; Laura Menninger < >; Jeff Pagliuca Mark S. Cohen Subject: US v. Maxwell, 20 Cr. 330 (AJN) - meet and confer Counsel, (USANYS) Per Judge Nathan's Order (docket number 250), is there a time this week when you would be available for a call to meet and confer regarding a proposed schedule for defense disclosure of witness statements pursuant to Rule 26.2? Or if you EFTA00022486 would prefer to confer by email, would you please let us know your position? Additionally, we intend to submit a letter to Judge Nathan requesting that time under the Speedy Trial Act be excluded through the date the Court intends to set for trial of Counts One through Six of the 52 Indictment. Although Judge Nathan previously excluded time through July 12, 2021, she has not reissued such an order since the return of the 52 Indictment, and, of course, the date of trial may change. We therefore intend to seek a clarifying order excluding time, both in light of the still-pending suppression motion, which automatically excludes time, and in the interests of justice to allow for trial preparation. Would you please let us know whether you consent to the exclusion? Thank you, Assistant United States Attorney Southern District of New York EFTA00022487

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af770b3f-39b0-4836-9a8e-89b951a7caa4
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efta-modified/20251231/DataSet 8/VOL00008/IMAGES/0004/EFTA00022486.pdf
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Created
Feb 13, 2026