Epstein Project

579.pdf

Type
pdf
Source set
house-oversight-doj
Pages
1
Text status
Searchable text available
OCR confidence
0.9166300366300366

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Extracted text

Casas: 2@20riCkReP AGN DemunmentD78 AibetOyi222 Paétege afdf 1 USDC SDNY DOCUMENT ELECTRONICALLY FILED U.S. Department of Justice DOC #: United States Attorney DATE FILED: 1/19/22 Southern District of New York   The Silvio J. Mollo Building One Saint Andrew’s Plaza New York, New York 10007 January 18, 2022 By BE With respect to Counts 7 and 8, the Court hereby excludes time under the Speedy Trial Act, 18 U.S.C. § 3161(h)(7)(A), from The Honorable Alison J. Nathan today’s date through April 1, 2022. The Court finds that the United States District Court ends of justice served by granting this exclusion from speedy Southern District of New York trial computations outweigh the interests of the public and the : defendant in a speedy trial on these counts because the time is United States Courthouse necessary for the parties to research and brief post-trial 40 Foley Square motions. SO ORDERED.   New York, New York 10007B Re: United States v. Ghislaine Maxwell, 82 20 Cr. 330 (AJN) AN \ 1/19/22 Dear Judge Nathan: The Government submits this letter to respectfully request that the Court exclude time under the Speedy Trial Act with respect to Counts Seven and Eight, from today’s date until April 1, 2022. The exclusion of time will further the interests of justice by permitting the parties to research and brief post-trial motions. See 18 U.S.C. § 3161(h)(7)(A). The Government has conferred with defense counsel, who consent to this request. Respectfully submitted, DAMIAN WILLIAMS United States Attorney By: ___s/ Maurene Comey Alison Moe Lara Pomerantz Andrew Rohrbach Assistant United States Attorneys Southern District of New York Cc: Defense Counsel (by ECF) DOJ-OGR-00008821 

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