From: Christian Everdell Sent: Sunday, July 5, 2020 5:49 PM To: Cc: Subject: RE: SDNY indictment >; Mark S. Cohen Thanks, We are planning to make a bail submission on Thursday, subject to being able to communicate with our client. So we will need your help to arrange an interview with Pretrial Services. From: [mailto Sent: Sunday, July 05, 2020 5:31 PM To: Christian Everdell• Mark S. Cohen Cc: Subject: RE: SDNY indictment Thanks Chris. We will request that the arraignment take place this Friday and will note your consent. Are you planning to file a written submission in support of a bail application in advance of Friday? If so, would it make sense for us to include a proposed briefing schedule in our letter? Along those same lines, please let us know if you need assistance coordinating an interview with Pretrial Services, which will need to take place in advance of any bail application. Best, From: Christian Everdell < Sent: Sunday, July 5, 2020 5:25 PM To: Cc: Subject: RE: SDNY indictment >; Mark S. Cohen We would prefer that the arraignment take place on Friday, rather than Wednesday, and will consent to an exclusion of speedy trial time until Friday. I don't think a call is necessary, but let me know if you want to discuss. Thanks, Chris From: [mailto Sent: Sunday, July 05, 2020 5:18 PM To: Mark S. Cohen; Christian Everdell Cc: Subject: RE: SDNY indictment Chris and Mark, We are planning to submit a letter to Judge Nathan this evening informing her that the Marshals expect Ms. Maxwell to arrive in SDNY in time for a court appearance this Wednesday, requesting that the Court schedule an arraignment, and requesting the exclusion of time through the arraignment date. We intend to seek the exclusion of time both for the EFTA00075320
transportation of the defendant from another district and to allow for us to discuss the terms of a protective order to cover discovery in this case. If possible, we would like to include your views in that letter. Would you please let us know whether you have any preferences on scheduling and whether you will consent to the exclusion of speedy trial time? We are also happy to have a call if that would be useful. Thanks, From: Mark S. Cohen Sent: Friday, July 3, 2020 12:12 PM To: Christian Everdell Cc: sc > Subject: Re: SDNY indictment Thanks very much, My mobile is Best Mark >; On Jul 3, 2020, at 11:44 AM, Christian Everdell > wrote: Thanks, . My cell From: rmailto Sent: Friday, July 03, 2020 11:42 AM To: Christian Everdell: Cc: Subject: RE: SDNY indictment Chris and Mark, ; Mark S. Cohen We are working with the USMS in New Hampshire to add you both to the list of attorneys who may contact your client while she is detained there. To that end, the NH USMS have asked for the best phone numbers to contact you two. Would you please let me know what numbers to provide? Thanks, From: Christian Everdell Sent: Thursday, July 2, 2020 8:48 PM To: Mark S. Cohen < >; Cc: ) Subject: RE: SONY indictment Thanks, . We'll speak to you then. EFTA00075321



