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lso talked about SOF's role in a potential conflict with Russia and China and, possibly, in Afghanistan after the troop withdrawal later this year." Clarke says that access and the "ability to influence because of that access and placement of ours is critical," adding that because "we have great allies
rassment allegations from several women who worked on his staff," Gov. Cuomo has faced criticism "for obscuring the number of coronavirus deaths in New York State nursing homes." The Wall Street Journal (5/20, Mullin, Vielkind, Subscription Publication, 8.41M), the New York Post (5/20, Fonrouge, 7.45M), and t
tate interest is relatively minimal and United States treaty obligations have made federal intervention a high priority. See, e.g., United States v. Clarke, 159 Fed. Appx. 128, 2005 WL 3438434 (11th Cir. 2005Xunpublished); United States v. Strevell, 185 Fed. Appx. 841, 2005 WL 1697529 (11th Cir. 2006Xu
dency for tax purposes is not conclusive on the question of where one in fact resides, on a number of occasions since 1995 the taxing authorities of New York State have determined that Mr. Epstein did not spend sufficient time in New York to be considered a resident of New York for tax purposes. Since 1999, Mr
state interest is relatively minimal and United States treaty obligations have made federal intervention a high priority. See, e.g., United States 'Clarke, 159 Fed. Appx. 128, 2005 WL 3438434 (It ch Cir. 2005)(unpublished); United States I Strevell, 185 Fed. Appx. 841, 2005 WL 1697529 (11th Cir. 2006)
dency for tax purposes is not conclusive on the question of where one in fact resides, on a number of occasions since 1995 the taxing authorities of New York State have determined that Mr. Epstein did not spend sufficient time in New York to be considered a resident of New York for tax purposes. Since 1999, Mr
tate interest is relatively minimal and United States treaty obligations have made federal intervention a high priority. See, e.g., United States v. Clarke, 159 Fed. Appx. 128, 2005 WL 3438434 (11th Cir. 2005)(unpublished); United States v. Strevell, 185 Fed. Appx. 841, 2005 WI, 1697529 (11th Cir. 2006
idency for tax purposes is not conclusive on the question of where one in fact esides, on a number of occasions since 1995 the taxing authorities of New York State have determined that stein did not spend sufficient time in New York to be considered a resident of New York for tax purposes. 999, Mr. Epstein has
state interest is relatively minimal and United States treaty obligations have made federal intervention a high priority. See, e.g., United States' Clarke, 159 Fed. Appx. 128, 2005 WL 3438434 (11th Cir. 2005Xunpublished); United StatesIStrevell, 185 Fed. Appx. 841, 2005 WI. 1697529 (II' Cir. 2006Xunpu
dency for tax purposes is not conclusive on the question of where one in fact resides, on a number of occasions since 1995 the taxing authorities of New York State have determined that Mr. geli, Ccs Epstein did not spend sufficient time in New York to be considered a resident of New York for tax purposes. Sinc
Entities connected to both Clarke and New York State

Jeffrey Epstein
PERSON
New York
LOCATION
United States
LOCATION
Ghislaine Maxwell
PERSON
New York City
LOCATION
Prince Andrew
PERSONLeon Black
PERSON
Department of Justice
ORGANIZATION
Julie K. Brown
PERSON
George W. Bush
PERSON
Samantha Power
PERSON
NEW YORK NY
LOCATION
Donald Trump
PERSON
Prince Charles
PERSON
Michael Jackson
PERSON
U.S. Virgin Islands
LOCATION
John F. Kennedy
PERSON
Alan Dershowitz
PERSON
Virginia Giuffre
PERSONthe Southern District
LOCATION