Epstein Project

675-01.pdf

Type
pdf
Source set
house-oversight-doj
Pages
2
Text status
Searchable text available
OCR confidence
0.8601819582740634

Original source

Extracted text

Case 1:20-cr-00330-PAE Document 675-1 Filed 06/25/22 Page1of2 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK UNITED STATES OF AMERICA, —Vv— Case No. 20—CR-330 (AJN) GHISLAINE MAXWELL, Defendant. Ne Ree ee Ne He Ne Se Se Se DECLARATION OF ROBERT Y. LEWIS Robert Y. Lewis declares under penalty of perjury as follows: 1. Irepresent Sarah Ransome and Elizabeth Stein, two victims of the sex trafficking conspiracy of Jeffrey Epstein, Ghislaine Maxwell and others. 2. I make this declaration in support of their motion to speak at the upcoming sentencing of Ghislaine Maxwell who was convicted of five sex trafficking criminal counts — Nos. 1 and 3-6 of the government’s Second Superseding indictment. 3. On May 9, 2022, I emailed Dawn Donino at the probation office of the Southern District of New York to inquire to whom and when to submit Victim Impact Statements for Ms. Ransome and Ms. Stein. 4. On May 9, 2022, Ms. Donino emailed back to say that I should communicate with Probation Officer Ashley Geiser. 5. On May 10, 2022, Ms. Geiser emailed me saying that she was completing the presentence investigation for Ms. Maxwell and directed that I submit any Victim Impact Statement to her by June 3 for inclusion in the Presentence Report. 6. On May 31, 2022, I emailed the Victim Impact Statement of Sarah Ransome to Ms. Geiser. DOJ-OGR-00010713 

Case 1:20-cr-00330-PAE Document 675-1 Filed 06/25/22 Page 2of2 7. On June 3, 2022, I emailed the Victim Impact Statement of Elizbeth Stein to Ms. Geiser. Dated: June 23, 2022 Robert Y. Lewis Robert Y. Lewis DOJ-OGR-00010714 

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