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816 KB

Extraction Summary

3
People
3
Organizations
4
Locations
3
Events
2
Relationships
4
Quotes

Document Information

Type: Legal correspondence / bail memorandum (government letter to court)
File Size: 816 KB
Summary

This document is a formal letter from the U.S. Attorney's Office (SDNY) to Judge Henry Pitman, dated July 8, 2019, arguing for the pretrial detention of Jeffrey Epstein. The government asserts Epstein poses an extraordinary flight risk due to his wealth and private planes, and a danger to the community due to a history of witness intimidation. It references his recent arrest upon returning from abroad and characterizes him as a serial sexual predator facing a massive sentence.

People (3)

Name Role Context
Jeffrey Epstein Defendant
Subject of the criminal case; described as an alleged serial sexual predator facing massive prison sentence.
Henry Pitman Judge (Magistrate)
Recipient of the letter; The Honorable Henry Pitman, United States District Court.
RMB Judge
Initials in case caption (19 Cr. 490 (RMB)), referring to Judge Richard M. Berman.

Organizations (3)

Name Type Context
U.S. Department of Justice
Header authority.
United States Attorney, Southern District of New York
Sender of the letter.
United States District Court
Court handling the case.

Timeline (3 events)

July 8, 2019
Bail hearing
United States District Court, SDNY
Jeffrey Epstein Government Court
Prior to July 8, 2019
Arrest of Jeffrey Epstein
United States (upon arrival on private jet)
Weeks prior to arrest
Multi-week stay abroad
Abroad

Locations (4)

Location Context
Address of the U.S. Attorney's Office.
Address of the United States Courthouse.
Location where arrest occurred.
Location from which Epstein returned prior to arrest.

Relationships (2)

Jeffrey Epstein Alleged Predator/Victim Victims/Witnesses
Document alleges he preyed on minor girls and may attempt to intimidate them.
United States Attorney Prosecutor/Defendant Jeffrey Epstein
Filings of United States v. Jeffrey Epstein

Key Quotes (4)

"the defendant is alleged to be a serial sexual predator who preyed on dozens of minor girls over a period of years"
Source
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Quote #1
"he cannot meet his burden of overcoming the presumption that there is no combination of conditions that would reasonably assure his continued appearance"
Source
DOJ-OGR-00000343.jpg
Quote #2
"there is an extraordinary risk of flight, particularly given the defendant’s exorbitant wealth, his ownership of and access to private planes"
Source
DOJ-OGR-00000343.jpg
Quote #3
"the defendant could attempt to pressure and intimidate witnesses and potential witnesses in this case, including victims and their families"
Source
DOJ-OGR-00000343.jpg
Quote #4

Full Extracted Text

Complete text extracted from the document (2,432 characters)

Case 1:19-cr-00490-RMB Document 11-1 Filed 07/12/19 Page 1 of 10
U.S. Department of Justice
United States Attorney
Southern District of New York
The Silvio J. Mollo Building
One Saint Andrew's Plaza
New York, New York 10007
July 8, 2019
VIA ECF
The Honorable Henry Pitman
United States District Court
Southern District of New York
United States Courthouse
500 Pearl Street
New York, New York 10007
Re: United States v. Jeffrey Epstein, 19 Cr. 490 (RMB)
Dear Judge Pitman:
The Government respectfully submits this letter in advance of the bail hearing scheduled for July 8, 2019, in the above-captioned case. For the reasons set forth herein, the Court should order that the defendant be detained pending trial; he cannot meet his burden of overcoming the presumption that there is no combination of conditions that would reasonably assure his continued appearance in this case or protect the safety of the community were he to be released.
As set forth below, the charges in this case are exceptionally serious: the defendant is alleged to be a serial sexual predator who preyed on dozens of minor girls over a period of years, and he now faces a potentially massive prison sentence predicated on substantial and multifaceted evidence of his guilt. In light of the strength of the Government’s evidence and the substantial incarceratory term the defendant would face upon conviction, there is an extraordinary risk of flight, particularly given the defendant’s exorbitant wealth, his ownership of and access to private planes capable of international travel, and his significant international ties. Indeed, the arrest of the defendant occurred when he arrived in the United States on his private jet after having returned from a multi-week stay abroad.
Finally, and as detailed herein, the Government has real concerns—grounded in past experience with this defendant—that if allowed to remain out on bail, the defendant could attempt to pressure and intimidate witnesses and potential witnesses in this case, including victims and their families, and otherwise attempt to obstruct justice. As a result, he poses both an acute danger to the community, including some of its most vulnerable members, and a significant risk of flight. The defendant thus cannot overcome the statutory presumption that detention is appropriate in this case, and the Court should order that he be detained pending trial.
DOJ-OGR-00000343

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