EFTA00031454.pdf
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Fact Witness Travel Request (Domestic Witness Travel)
AUSA, see instructions below.
To:
SDNY Victim/Witness Unit
From: AUSA
Date: August 16, 2021
Re:
United States v. Ghislaine Maxwell
Court Docket No:
20 Cr. 330 (AN)
USA° No:
2018R01618
Witness-1 Name:
Witness-1 DOB:
Witness-1 Address:
Witness-1 TelNos
Witness-1 e-mail:
Witness-2 Name:
Witness-2 DOB:
Witness-2 Address:
Witness-2 TelNos
Witness-2 e-mail:
Witnesses Needed to Appear in SDNY on
Dates: August 25-27, 2021
Witness Needed to Appear for:
Trial ( )
Date:
Grand Jury ( )
Date:
Trial Prep ( X )
Dates: Both witnesses needed for prep on 8/25, 8/26, and 8/27
Estimated Dates Witness will Arrive: August 24, 2021
Depart: August 29, 2021
Is the person a Fact Witness and not an Expert Witness?
(Yes/No): _Yes for both_
Current Federal Civilian or Military Employee?
(Yes/No):
No for both
Is the Witness Facing Criminal Charges?
(Yes/No):
No for both
Does the Witness Reside Outside the Continental United States?
(Yes/No):
N f r
th
Is this Witness a Victim-Witness?
(Yes/No): Yes fo
No fo
Hotel Required?
(Yes/No):
Yes for both
my. 2019.11.19
EFTA00031454
Has the Witness advised you of any unusual travel expenses?
(Yes/No):
Yes
Unusual expenses of fact witnesses can include
•
special travel arrangements
•
care for dependent child or incapacitated family member left at home
•
kennel fees for pets
•
necessary travel companion
•
extra baggage (more than one bag)
Please describe the unusual expense:
We are requesting that
husband and three minor children travel with
and
for this trip. The process of preparing to testify about years of childhood sexual abuse is
extremely traumatizing for
and she relies heavily on her family, including her husband
and mother, for emotional support.
as struggled significantly with flashbacks and relived
trauma as a result of trial preparation and the significant extent of the sexual abuse she suffered at
the hands of Jeffr…
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