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Document 380-1

AI Analysis

Summary: The letter is a formal request from Ghislaine Maxwell's defense attorney, Christian R. Everdell, to the U.S. Department of Justice, seeking testimony from four law enforcement officers involved in investigations into Jeffrey Epstein's alleged sexual abuse. The requested testimony concerns the scope, timeline, and details of the investigations, which the defense argues is relevant and material to Maxwell's case.
Significance: This document is significant because it reveals the defense's strategy to obtain testimony from key law enforcement agents involved in the investigations into Jeffrey Epstein and Ghislaine Maxwell, potentially impacting the outcome of Maxwell's trial.
Key Topics: Request for testimony of FBI agents and Task Force Officer in the case against Ghislaine Maxwell Details of investigations into Jeffrey Epstein's alleged sexual abuse Relevance of the requested testimony to Ghislaine Maxwell's case
Key People:
  • Ghislaine Maxwell - Defendant in the case
  • Christian R. Everdell - Defense attorney representing Ghislaine Maxwell
  • Kenneth A. Polite, Jr. - Assistant Attorney General, Criminal Division, U.S. Department of Justice
  • Jeffrey Epstein - Individual investigated for alleged sexual abuse

Full Text

Case 1:20-cr-00330-PAE Document 380-1 Filed 10/29/21 Page 1 of 3 Exhibit A DOJ-OGR-00005448 --- PAGE BREAK --- Case 1:20-cr-00330-PAE Document 380-1 Filed 10/29/21 Page 2 of 3 COHEN & GRESSER LLP Christian R. Everdell +1 (212) 957-7600 ceverdell@cohengresser.com 800 Third Avenue New York, NY 10022 +1 212 957 7600 phone www.cohengresser.com August 30, 2021 BY FIRST CLASS MAIL Mr. Kenneth A. Polite, Jr. Assistant Attorney General Criminal Division U.S. Department of Justice 950 Pennsylvania Avenue, NW Washington, D.C. 20530-0001 Re: United States v. Ghislaine Maxwell, S2 20 Cr. 330 (AJN) Dear Assistant Attorney General Polite: We represent the defendant, Ghislaine Maxwell, in the above-referenced matter. This letter constitutes a request made pursuant to United States ex. Rel. Touhy v. Regan, 340 U.S. 462 (1951), for the testimony of (1) FBI Special Agent , (2) FBI Special Agent , (3) FBI Special Agent , and (4) Task Force Officer, Detective at the trial in this case on November 29, 2019 at 9:00 A.M., before the Honorable Alison J. Nathan, United States District Judge. In accordance with 28 C.F.R. § 16.23(c), we make the following statement setting forth a summary of the testimony we seek: were co-case agents in charge of an investigation into allegations of sexual abuse by Jeffrey Epstein conducted by the Palm Beach FBI and the U.S. Attorney's Office for the Southern District of Florida from approximately July 2006 to June 2008. We request testimony from and concerning the scope, timeline, and resolution of the investigation, as well as the various investigative steps taken by the agents, including but not limited to testimony about numerous witness interviews they conducted, physical evidence they reviewed, documents they obtained by subpoena, and their testimony before the grand jury. and are the co-case agents in charge of the current investigation being conducted by the New York FBI and the U.S. Attorney's Office for the Southern District of New York, which resulted in the indictment against Jeffrey Epstein returned on July 2, 2019 (19 Cr. 490 (RB)) and the above-captioned superseding indictment against Ms. Maxwell (S2 20 Cr. 330 (AJN)), the initial indictment against Ms. Maxwell having been returned on June 29, 2020 (20 Cr. 330 2028844.3 DOJ-OGR-00005449 --- PAGE BREAK --- Case 1:20-cr-00330-PAE Document 380-1 Filed 10/29/21 Page 3 of 3 U.S. Department of Justice August 30, 2021 Page 2 (AJN)). We request testimony from and concerning the scope, timeline, and resolution of the investigation, as well as the various investigative steps taken by the agents, including but not limited to testimony about numerous witness interviews they conducted, physical evidence they reviewed, documents they obtained by subpoena, their testimony before the grand jury, and the indictments returned by the grand jury. The testimony of these law enforcement officers is relevant and material to the issues in this case. Furthermore, it is Ms. Maxwell's position that the disclosure is appropriate under rules of procedure and that disclosure, to Ms. Maxwell's knowledge, would not violate any statute or regulations or reveal confidential sources, classified information, trade secrets, ongoing investigations, or investigatory techniques. (28 C.F.R. § 16.26(b)). If you have any questions or would like to discuss further, please do not hesitate to contact me. Sincerely, /s/ Christian R. Everdell Christian R. Everdell COHEN & GRESSER LLP 800 Third Avenue, 21st Floor New York, New York 10022 (212) 957-7600 cc: All counsel of record (by email) 2028844.3 DOJ-OGR-00005450

Individual Pages

Page 1 - DOJ-OGR-00005448
Case 1:20-cr-00330-PAE Document 380-1 Filed 10/29/21 Page 1 of 3 Exhibit A DOJ-OGR-00005448
Page 2 of 3 - DOJ-OGR-00005449
Case 1:20-cr-00330-PAE Document 380-1 Filed 10/29/21 Page 2 of 3 COHEN & GRESSER LLP Christian R. Everdell +1 (212) 957-7600 ceverdell@cohengresser.com 800 Third Avenue New York, NY 10022 +1 212 957 7600 phone www.cohengresser.com August 30, 2021 BY FIRST CLASS MAIL Mr. Kenneth A. Polite, Jr. Assistant Attorney General Criminal Division U.S. Department of Justice 950 Pennsylvania Avenue, NW Washington, D.C. 20530-0001 Re: United States v. Ghislaine Maxwell, S2 20 Cr. 330 (AJN) Dear Assistant Attorney General Polite: We represent the defendant, Ghislaine Maxwell, in the above-referenced matter. This letter constitutes a request made pursuant to United States ex. Rel. Touhy v. Regan, 340 U.S. 462 (1951), for the testimony of (1) FBI Special Agent , (2) FBI Special Agent , (3) FBI Special Agent , and (4) Task Force Officer, Detective at the trial in this case on November 29, 2019 at 9:00 A.M., before the Honorable Alison J. Nathan, United States District Judge. In accordance with 28 C.F.R. § 16.23(c), we make the following statement setting forth a summary of the testimony we seek: were co-case agents in charge of an investigation into allegations of sexual abuse by Jeffrey Epstein conducted by the Palm Beach FBI and the U.S. Attorney's Office for the Southern District of Florida from approximately July 2006 to June 2008. We request testimony from and concerning the scope, timeline, and resolution of the investigation, as well as the various investigative steps taken by the agents, including but not limited to testimony about numerous witness interviews they conducted, physical evidence they reviewed, documents they obtained by subpoena, and their testimony before the grand jury. and are the co-case agents in charge of the current investigation being conducted by the New York FBI and the U.S. Attorney's Office for the Southern District of New York, which resulted in the indictment against Jeffrey Epstein returned on July 2, 2019 (19 Cr. 490 (RB)) and the above-captioned superseding indictment against Ms. Maxwell (S2 20 Cr. 330 (AJN)), the initial indictment against Ms. Maxwell having been returned on June 29, 2020 (20 Cr. 330 2028844.3 DOJ-OGR-00005449
Page 3 - DOJ-OGR-00005450
Case 1:20-cr-00330-PAE Document 380-1 Filed 10/29/21 Page 3 of 3 U.S. Department of Justice August 30, 2021 Page 2 (AJN)). We request testimony from and concerning the scope, timeline, and resolution of the investigation, as well as the various investigative steps taken by the agents, including but not limited to testimony about numerous witness interviews they conducted, physical evidence they reviewed, documents they obtained by subpoena, their testimony before the grand jury, and the indictments returned by the grand jury. The testimony of these law enforcement officers is relevant and material to the issues in this case. Furthermore, it is Ms. Maxwell's position that the disclosure is appropriate under rules of procedure and that disclosure, to Ms. Maxwell's knowledge, would not violate any statute or regulations or reveal confidential sources, classified information, trade secrets, ongoing investigations, or investigatory techniques. (28 C.F.R. § 16.26(b)). If you have any questions or would like to discuss further, please do not hesitate to contact me. Sincerely, /s/ Christian R. Everdell Christian R. Everdell COHEN & GRESSER LLP 800 Third Avenue, 21st Floor New York, New York 10022 (212) 957-7600 cc: All counsel of record (by email) 2028844.3 DOJ-OGR-00005450