EFTA00029286.pdf

36.6 KB

Extraction Summary

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

Document Information

Type: Email chain
File Size: 36.6 KB
Summary

An email chain from a Deputy US Marshal regarding Ghislaine Maxwell's confinement and transport conditions during her trial (USA v. Maxwell). The email explains that Maxwell is transported first daily due to enhanced security measures to avoid delaying other proceedings. It also clarifies that the USMS does not provide extra clothing or utensils, noting that the lunch provided by MDC Brooklyn generally does not require utensils.

People (2)

Name Role Context
Ghislaine Maxwell Prisoner / Defendant
Subject of enhanced security measures and transport protocols discussed in the email.
Redacted Sender Deputy United States Marshal
Sender of the email explaining USMS protocols regarding Maxwell.

Organizations (4)

Name Type Context
USMS
United States Marshals Service; responsible for transporting Maxwell.
BOP
Bureau of Prisons; determined enhanced security measures.
MDC Brooklyn
Metropolitan Detention Center; facility housing Maxwell.
Southern District of New York
Jurisdiction of the Deputy Marshal.

Timeline (2 events)

2021-11-01
Court hearing where issues regarding Maxwell's treatment were raised.
Court (implied SDNY)
Ongoing
Transport of Ghislaine Maxwell from MDC Brooklyn to Court.
MDC Brooklyn to Court

Locations (2)

Location Context
Detention facility where Maxwell is held.
Location of the US Marshal's office.

Relationships (2)

Ghislaine Maxwell Custody/Transport USMS
USMS must transport the prisoner before all other court productions
Ghislaine Maxwell Incarceration MDC Brooklyn
Maxwell's enhanced security measures at MDC Brooklyn

Key Quotes (4)

"Due to Ghislaine Maxwell's enhanced security measures at MDC Brooklyn (which has been determined by BOP), the USMS must transport the prisoner before all other court productions for the day"
Source
EFTA00029286.pdf
Quote #1
"The USMS does not provide additional clothing to prisoners when they are produced for Court."
Source
EFTA00029286.pdf
Quote #2
"The USMS does not provide prisoners with their lunches as the facility gives it to them without utensils."
Source
EFTA00029286.pdf
Quote #3
"Usually, the lunch items prisoners have been given do not require the use of utensils."
Source
EFTA00029286.pdf
Quote #4

Full Extracted Text

Complete text extracted from the document (1,209 characters)

From: [Redacted]
To: [Redacted]
Subject: FW: Prisoner-related Questions USA v. Maxwell
Date: Mon, 01 Nov 2021 21:24:10 +0000
From: [Redacted]
Sent: Monday, November 1, 2021 5:07 PM
To: [Redacted]
Subject: Fwd: Prisoner-related Questions USA v. Maxwell
More information you need for the issues raised today in court
[Redacted]
Deputy United States Marshal
Southern District of New York
[Redacted]
Due to Ghislaine Maxwell's enhanced security measures at MDC Brooklyn (which has been determined by BOP), the USMS must transport the prisoner before all other court productions for the day because her movement later in the day would lead to delays in other in-custody court productions that have been scheduled. The USMS does not provide additional clothing to prisoners when they are produced for Court. The clothing of prisoners transported from BOP are given to them by the facility; not the USMS. Lastly, the USMS does not provide prisoners with utensils for the food they come over from MDC with. The USMS does not provide prisoners with their lunches as the facility gives it to them without utensils. Usually, the lunch items prisoners have been given do not require the use of utensils.
EFTA00029286

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