Document EFTA00028274 is a letter from the law firm Cohen & Gresser LLP to the United States Attorney's Office for the Southern District of New York (SDNY) regarding the case of United States v. Ghislaine Maxwell.
The letter, dated November 8, 2021, serves as a disclosure by the defense in accordance with Rule 16 of the Federal Rules of Criminal Procedure, providing a preliminary list of documents that the defense may use in its case-in-chief. The document clarifies the defense's understanding of Rule 16, particularly regarding the disclosure of impeachment evidence and documents used to refresh a witness's recollection. Key individuals mentioned include Ghislaine Maxwell, and attorneys involved in the case, such as Christian R. Everdell.

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COHEN & GRESSER LLP November 8, 2021 BY EMAIL. United States Attorney's Office Southern District of New York 1 St. Andrew's Plaza New York, NY 10007 Re: United States v. Ghislaine Maxwell, S2 20 Cr. 330 (AJN) Dear Counsel: Pursuant to the Court's Order dated June 2, 2021 (Dkt. 297), we write to provide the government with the defense's disclosures under Rule 16(b)(1)(A) and (b)(1)(B) of the Federal Rules of Criminal Procedure. As the government is aware, the defense is under no obligation to present a defense case and whether we will do so remains subject to the developments at trial. Nevertheless, in accordance with the Court's order, we provide below a preliminary list of documents that the defense may use in its case-in-chief, should we decide to present a defense case. We note that Rule 16(b)(1)(A) requires disclosure only of documents and other items that are "within the defendant's possession, custody, or control; and ... [that] the defendant intends to use ... in the defendant's case-in-chief at trial." Fed. R. Crim. P. 16(b)(1)(A) (emphasis added). Rule 16(b)(1)(A) does not require the defense to disclose, for example, potential impeachment evidence or documents that the defense may use to refresh a witness's recollection during the government's case-in-chief. See United States v. Medearis, 380 F.3d 1049, 1057 (8th Cir. 2004) (Rule 16(b)(1)(A) does not require disclosure of impeachment evidence); United States v. Moore, 208 F.3d 577, 579 (7th Cir. 2000) (same); United States v. Haffield, No. 06 Cr. 550 (JS), 2009 WL 10673619, at *1-2 (E.D.N.Y. Apr. 22, 2009) (same) (citing Medearis and Moore); see also United States v. Gray-Bwriss, 791 F.3d 50, 57-58 & n.2 (D.C. Cir. 2015) (using documents to refresh recollection of government's witnesses not covered by Rule 16); United States v. King, 703 F.2d 119, 126 n.6 (5 Cir.1983) (noting that "even though the documents were excluded from evidence" because of defendant's failure to make a Rule 16 disclosure, "[d]efense counsel was allowed to use the documents to refresh the recollection of witnesses"). EFTA00028274
November 8, 2021 Page 2 We also note the following: First, the defense continues to investigate and prepare its case for trial, which is still three weeks away. The defense has not made final determinations about which documents it may use in the defense case-in-chief, should we decide to present one. Indeed, those decisions will depend heavily on developments at trial. Second, the defense may receive documents from Rule 17 subpoenas or other document requests which the defense may want to use in any case-in-chief. Third, the government is still producing Rule 16 discovery, 3500 material, and Giglio material, which may require additional investigation and may, in turn, yield additional documents that the defense may wish to use in any case-in-chief. To that end, the defense reserves its right to supplement these disclosures. The defense further recognizes that its disclosure obligations under Rule 16 are ongoing, and we will produce any additional Rule 16 materials to the government as we identify them. See Fed. R. Crim. P. 16(c). Defense Rule 16 Disclosure Pursuant to Rule 16(b)(1)(A), below is the preliminary list of the documents that the defense may use should it elect to present a case-in-chief. We have attached copies of the documents listed below if they were not provided to the defense by the government in discovery. Otherwise, we provide the Bates numbers for the produced documents. Because we have already provided the government with the defense expert notice, which referenced articles, reports, and other materials they relied upon to prepare their testimony, we have not repeated that information here. See Fed. R. Crim. P. 16(b)(I)(B) & (b)(1)(C). I. AT&T phone records SDNY GM 00514773-00514915 Certification — attached as Exhibit A 2. Federal Express records SDNY GM 00338750-343831 Certification — attached as Exhibit B List of certified invoices (highlighted in yellow) — attached as Exhibit C 3. Customs and Border Patrol records SDNY GM 02753139-02753143 SDNY GM 00000799-00000833 4. Interlochen records SDNY GM 00004784-00005076 SDNY GM 02753433-02753440 SDNY GM 02753466-02753528 Additional records — attached as Exhibit D EFTA00028275
November X, Page 3 5. Shopper's Travel records SDNY GM 00006061-00006079 6. Larry Visoski flight manifests SDNY_GM_00405330-00405565 SDNY GM 00405788-00405969 7. General Release, Epstein Victims' Compensation Program Attached as Exhibit E 8. General Release, Epstein Victims' Compensation Program Not attached — pending release by Judge Koeltl in Doe v. Indyke, 20 Civ. 484 (JGK) (S.D.N.Y. 2020) 9. Floorplans, Palm Beach residence SDNY GM 00328519-00328521 10. Palm Beach Police Department incident reports E.g., 3501.014-004 II. Jeffrey Epstein Non-Prosecution Agreement Attached as Exhibit F 12. February 29, 2016 Meeting Materials SDNY GM 02742753-02742762 SDNY GM 02742878-02742892 SDNY GM 02742895-02742962 Sincerely, /s/ Christian R. Everdell Christian R. Everdell COHEN & GRESSER LLP cc: All counsel of record (by email) EFTA00028276



