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title: DOJ Epstein Files, Data Set 9 (EFTA00095747)
source: DOJ Epstein Files, Data Set 9
sourceUrl: https://huggingface.co/datasets/ishumilin/epstein-files-ocr-complete
date: '2026-01-01'
category: DOJ Data Set
eftaNumber: EFTA00095747
ocrPages: 0
ocrChars: 1814
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engine: ishumilin OCR pipeline (engine undisclosed; CC0 mirror)
externalSource: ishumilin-ocr-complete
externalLicense: CC0-1.0
externalCredit: ishumilin/epstein-files-ocr-complete (Hugging Face)
externalUrl: https://huggingface.co/datasets/ishumilin/epstein-files-ocr-complete

Subject: FW: Rule 412

Date: Fri, 05 Nov 2021 17:38:04 +0000

Attachments: Def._412_Mot._for Redacted.pdf

```markdown


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 about background 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,

Sent: Friday, October 29, 2021 3:38 PM

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

EFTA00095748