4
Shared Docs
3
Same-Page
4 / 4
Mentions
e approximately 1991. I am currently incarcerated at the Metropolitan Detention Center in Brooklyn, New York. 2. I have reviewed with my counsel, Mark S. Cohen and Christian R. Everdell of Cohen & Gresser, LLP, the charges contained in the superseding indictment in the above- captioned case (the "Indictment
States. An extradition judge would treat 66 Kakis at 784. Although the passage of time bar was successfully relied on in the US extradition case of Eason v Government of the United States of America [2020] EWHC 604 (Admin) the case-law is clear that a fact-specific enquiry is required, and that autho
e approximately 1991. I am currently incarcerated at the Metropolitan Detention Center in Brooklyn, New York. 2. I have reviewed with my counsel, Mark S. Cohen and Christian R. Everdell of Cohen & Gresser, LLP, the charges contained in the superseding indictment in the above- captioned case (the "Indictment
States. An extradition judge would treat 66 Kakis at 784. Although the passage of time bar was successfully relied on in the US extradition case of Eason v Government of the United States of America [2020] EWHC 604 (Admin) the case-law is clear that a fact-specific enquiry is required, and that autho
e approximately 1991. I am currently incarcerated at the Metropolitan Detention Center in Brooklyn, New York. 2. I have reviewed with my counsel, Mark S. Cohen and Christian R. Everdell of Cohen & Gresser, LLP, the charges contained in the superseding indictment in the above- captioned case (the "Indictment
States. An extradition judge would treat 66 Kakis at 784. Although the passage of time bar was successfully relied on in the US extradition case of Eason v Government of the United States of America [2020] EWHC 604 (Admin) the case-law is clear that a fact-specific enquiry is required, and that autho
States. An extradition judge would treat 66 Kakis at 784. Although the passage of time bar was successfully relied on in the US extradition case of Eason v Government of the United States of America [2020] EWHC 604 (Admin) the case-law is clear that a fact-specific enquiry is required, and that autho
Page: EFTA00011202 →e approximately 1991. I am currently incarcerated at the Metropolitan Detention Center in Brooklyn, New York. 2. I have reviewed with my counsel, Mark S. Cohen and Christian R. Everdell of Cohen & Gresser, LLP, the charges contained in the superseding indictment in the above- captioned case (the "Indictment
Page: EFTA00011213 →Entities connected to both Mark S. Cohen and Eason Jeffers

Michael Cohen
PERSON
Ghislaine Maxwell
PERSON
Jeffrey Epstein
PERSONSouthern District
LOCATION
United States
LOCATION
Christian R. Everdell
PERSON
Thomas Jefferson
PERSON
Julie K. Brown
PERSON
George W. Bush
PERSON
Northern Ireland
LOCATION
James Baker
PERSONHouse of Lords and Supreme Court
ORGANIZATIONthe International Criminal Court
ORGANIZATION
Supreme Court
ORGANIZATIONthe United Kingdom of Great Britain
LOCATION
Tobago
LOCATIONthe United Kingdom's
LOCATIONCohen & Gresser
ORGANIZATIONCarolina Gomes
PERSON
Samantha Power
PERSON