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United States v. G'hislaine Maxwell 20 Cr. 330 (AJN) Government Exhibit Index 11/20/2021 0 Series Message Pads GX Description Bates Ranee/Identifier Produced to Defense GX-I
B Message Pad Excerpt# SDNY GM 00165560 2021.10.11 GX-I-C Message Pad Excerpt# SDNY GM 00165562 2021.10.11 GX-1-J Message Pad Excerpt# SDNY GM 00165584 2021.10.11 GX-I-K Message Pad Excerpt# SDNY GM 00165587 2021.10.11 GX-I-M Message Pad Excerpt# SDNY GM 00165610 2021.10.11 GX-1-O
1.11 GX-109 Photogra h of Minor Victim-3# SDNY GM 00166002 2021.10.11 GX-110 Photograph of SDNY GM 02753621 2021.10.11 GX-III Photograph of Ghislaine Maxwell SDNY GM 02753632 2021.10.11 GX-112 Photograph of Jeffery Epstein SDNY GM 02753623 2021.10.11 GX-113 Photograph of Minor Victim-5# Made Avail
NY GM 02753621 2021.10.11 GX-III Photograph of Ghislaine Maxwell SDNY GM 02753632 2021.10.11 GX-112 Ph
I Professional Children's School GX Description Bates Number/Identifier Produced to Defense GX-761 Professional Children's School Records for Minor Victim-I# SDNY GM 000055 II -SDNY GM 00005514 2021.10.11 780 Series Records Palm Beach County School District GX Description Bates Number/Identifier
UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK x UNITED STATES OF AMERICA v. GHISLAINE MAXWELL, Defendant. x S2 20 Cr. 330 (AJN) GHISLAINE MAXWELL'S MOTION IN LIMINE TO EXCLUDE EVIDENCE RELATED TO ACCUSER-3 Christian R. Everdell
INE MAXWELL, Defendant. x S2 20 Cr. 330 (AJN) GHISLAINE MAXWELL'S MOTION IN LIMINE TO EXCLUDE EVIDENCE RELATED TO
not probative of the charged conspiracies and inadmissible under Rule 404(b) and Rule 403 of the Federal Rules of Evidence. In the alternative, Ms. Maxwell respectfully moves (1) to preclude the government and Accuser-3 from referring to Accuser-3 as a "minor" or asserting that she was a "minor" at the
he Federal Rules of Evidence. In the alternative, Ms. Maxwell respectfully moves (1) to preclude the governmen
s individual is described in the S2 Superseding Indictment as Minor Victim-3. Similarly, we refer to the individuals identified in the indictment as Minor Victim-I and Minor Victim-2 as Accuser-I and Accuser-2, respectively. EFTA00074483 Accuser-3 were illegal. Indeed, referring to Accuser-3 in the indictmen
UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK x UNITED STATES OF AMERICA v. GHISLAINE MAXWELL, Defendant. x S2 20 Cr. 330 (AJN) GHISLAINE MAXWELL'S MOTION IN LIMINE TO EXCLUDE EVIDENCE RELATED TO ACCUSER-3 Christian R. Everdell
INE MAXWELL, Defendant. x S2 20 Cr. 330 (AJN) GHISLAINE MAXWELL'S MOTION IN LIMINE TO EXCLUDE EVIDENCE RELATED TO
not probative of the charged conspiracies and inadmissible under Rule 404(b) and Rule 403 of the Federal Rules of Evidence. In the alternative, Ms. Maxwell respectfully moves (1) to preclude the government and Accuser-3 from referring to Accuser-3 as a "minor" or asserting that she was a "minor" at the
he Federal Rules of Evidence. In the alternative, Ms. Maxwell respectfully moves (1) to preclude the governmen
s individual is described in the S2 Superseding Indictment as Minor Victim-3. Similarly, we refer to the individuals identified in the indictment as Minor Victim-I and Minor Victim-2 as Accuser-I and Accuser-2, respectively. EFTA00087778 Accuser-3 were illegal. Indeed, referring to Accuser-3 in the indictmen
Entities connected to both Ghislaine Maxwell and Minor Victim-I

Jeffrey Epstein
PERSON
Prince Andrew
PERSON
United States
LOCATION
Michael Cohen
PERSONJeffrey Pagliuca
PERSONLeon Black
PERSONthe Southern District
LOCATIONFBI
ORGANIZATION
New York City
LOCATION
Palm Beach
LOCATION
John F. Kennedy
PERSON
U.S. Virgin Islands
LOCATION
Christian Everdell
PERSONBobbi C. Sternheim
PERSONCohen & Gresser LLP
ORGANIZATION
United Kingdom
LOCATION
Southern District of New York
ORGANIZATION
Geoffrey S. Berman
PERSON
the United States District Court
ORGANIZATIONGarcia
PERSON