EFTA00021425.pdf

46.9 KB

Extraction Summary

6
People
3
Organizations
2
Locations
2
Events
3
Relationships
2
Quotes

Document Information

Type: Legal correspondence / court filing
File Size: 46.9 KB
Summary

This document is a letter filed on July 15, 2019, by U.S. Attorney Geoffrey S. Berman to Judge Richard M. Berman regarding the case United States v. Jeffrey Epstein. The Government requests the exclusion of speedy trial time until the next conference on July 18, 2019, noting that defense counsel (Martin Weinberg and Reid Weingarten) consent to the request.

People (6)

Name Role Context
Richard M. Berman Judge
Recipient of the letter; United States District Court Judge
Jeffrey Epstein Defendant
Subject of the case: United States v. Jeffrey Epstein
Geoffrey S. Berman United States Attorney
Signatory of the letter representing the Government
Martin Weinberg Defense Counsel
Cc'd on the letter; counsel for Jeffrey Epstein
Reid Weingarten Defense Counsel
Cc'd on the letter; counsel for Jeffrey Epstein
Unknown Assistant US Attorneys Assistant United States Attorney
Names redacted in signature block

Organizations (3)

Name Type Context
U.S. Department of Justice
Letterhead organization
United States Attorney's Office
Southern District of New York
United States District Court
Southern District of New York

Timeline (2 events)

2019-07-15
Filing of letter requesting speedy trial time exclusion
Southern District of New York
US Attorney's Office Judge Berman
2019-07-18
Scheduled conference in the case United States v. Jeffrey Epstein
New York
Government Defense Counsel

Locations (2)

Location Context
Jurisdiction
Address redacted

Relationships (3)

Geoffrey S. Berman Prosecutor/Defendant Jeffrey Epstein
Berman is US Attorney prosecuting United States v. Jeffrey Epstein
Martin Weinberg Attorney/Client Jeffrey Epstein
Listed as 'counsel for defendant'
Reid Weingarten Attorney/Client Jeffrey Epstein
Listed as 'counsel for defendant'

Key Quotes (2)

"The Government submits this letter respectfully to request the exclusion of speedy trial time between July 15, 2019, and July 18, 2019"
Source
EFTA00021425.pdf
Quote #1
"I have conferred with defense counsel, who consent to this request."
Source
EFTA00021425.pdf
Quote #2

Full Extracted Text

Complete text extracted from the document (1,005 characters)

Case 1:19-cr-00490-RMB Document 15 Filed 07/15/19 Page 1 of 1
U.S. Department of Justice
United States Attorney
Southern District of New York
[REDACTED]
July 15, 2019
VIA ECF
The Honorable Richard M. Berman
United States District Court
Southern District of New York
United States Courthouse
[REDACTED]
Re: United States v. Jeffrey Epstein, 19 Cr. 490 (RMB)
Dear Judge Berman:
The Government submits this letter respectfully to request the exclusion of speedy trial time between July 15, 2019, and July 18, 2019, the date of the next conference in the above-captioned case, in the interests of justice and pursuant to 18 U.S.C. § 3161(h)(7)(A) and (B). I have conferred with defense counsel, who consent to this request.
Very truly yours,
GEOFFREY S. BERMAN
United States Attorney
By: [Signature]
[REDACTED] / [REDACTED] / [REDACTED]
Assistant United States Attorney
Southern District of New York
[REDACTED]
Cc: Martin Weinberg, Esq., and Reid Weingarten, Esq., counsel for defendant
EFTA00021425

Discussion 0

Sign in to join the discussion

No comments yet

Be the first to share your thoughts on this epstein document