U.S. Department of Justice United States Attorney Southern District of Florida First Assistant U.S. Attorney 7 99 N.E. 4 Street Miami, FL 33132 (305) 961-9100 DELIVERY BY FACSIMILE May 19, 2008 Jay P. Lefkowitz, Esq. Kirkland & Ellis LLP Citigroup Center 153 East 53rd Stree...
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… on behalf of Jane Doe. All of the cases were filed in the summer of 2008. My clients received correspondence from the U.S. Department of Justice regarding their rights as victims of Epstein’s federal sex offenses. (True and accurate copies of the letters are attached to Stateme...
From: Jeffrey Epstein [[email protected]] Sent: 2/26/2010 6:37:49 PM To: Robert D. Critton Jr. ; Jessica Cadwell________________________________ Subject: Fwd: Fw: Epstein -- I apologize if you have received this but it keeps coming back to me as undeliverable ----------Forwar...
From: Jeffrey Epstein [[email protected]] Sent: 2/26/2010 6:37:49 PM To: Robert D. Critton Jr. • Jessica Cadwell Subject: Fwd: Fw: Epstein -- I apologize if you have received this but it keeps coming back to me as undeliverable ----------Forwarded message---------- From: Jeff...
Polygraph shows he didn’t know girls’ ages, lawyer says b> EPSTEIN from 1B using the name “Pimpin’ Made EZ.” Robson, who was not charged in the case, is a potential prosecution wit- ness. According to Recarey, prosecutor Lanna Belohlavek offered Epstein attorneys Dershowitz. a...
… On Monday, May 19, 2008, First Assistant Jeffrey Sloman of the USAO responded to an email from Jay Lefkowitz informing U.S. Attorney Alex Acosta that we would be seeking your Office's review. Mr. Sloman's letter, which imposed a deadline of June 2, 2008 to comply with all the te...
From: Sent: To: Subject: 9/12/2017 10:25:56 PM jeffrey E. [[email protected]] Re: Importance: High hi habebey i m in new york .. the sooner we meet the faster i go back to be with my son on his first week in a new school.. if you bussy dont worry i can wait until thursday thn...
… On Monday, May 19, 2008, First Assistant Jeffrey Sloman of the USAO responded to an email from Jay Lefkowitz informing U.S. Attorney Alex Acosta that we would be seeking your Office's review. Mr. Sloman's letter, which imposed a deadline of June 2, 2008 to comply with all the te...
From: Kathy Ruemmler Sent: 9/19/2014 9:12:49 PM To: jeffrey E. [[email protected]] Subject: Re: Fwd: Importance: High I think I should do it. On Sep 19, 2014 4:12 PM, "jeffrey E." <[email protected]> wrote: free now On Fri, Sep 19, 2014 at 3:46 PM, Kathy Ruemmler <_______...
…."). 321 59 F.3d 750, 755-56 (8th Cir. 1995). 322 Iq. 323 651 A.2d 866, 868, 877 (Md. 1995). 324 Id. at 873. 325 18 U.S.C. § 3500 (2006). 326 Td. § 3500(a). DAVID SCHOEN HOUSE_OVERSIGHT_017674
…nal. Students visited the Washington Monument, Martin Luther King Me- HOUSE_OVERSIGHT_014511 morial, the Smithsonian, U.S. Capi- tol, Arlington National Cemetery, the White House and more. Students also participated in political discussions and met with members of Congress. The...
Case 1:15-cv-07433 Document1 Filed 09/21/15 Page 3 of 12 PARTIES 6. Plaintiff Giuffre is an individual who is a citizen of the State of Colorado. 7. Defendant Maxwell, who is domiciled in the Southern District of New York, is not a citizen of the state of Colorado. FACTUAL ALLEG...
In re: TERRORIST ATTACKS ON SEPTEMBER 11, 2001., 2012 WL 257568 (2012) present at the time of death or injury to recover under NIED. Bovsun, 61 N.Y.2d at 233. Here, plaintiffs -- many of them the surviving family members of 9/11 victims -- allege that the defendants’ knowing mat...
…ngdom and SHC, the Panel held that tort claims against foreign states for injuries resulting from a terrorist attack on U.S. soil may not be brought under the FSIA’s non-commercial torts exception, 28 U.S.C. §1605(a)(5), but must instead be brought exclusively under the FSIA’s so...
…aint.'” The CVRA draws no distinction between misdemeanor and 65 OLC CVRA Rights Memo, supra note 2, at 14 (quoting 18 U.S.C. § 3771(d\(3) (2012)). °° Id. 67 Td. (citing United States v. Alvarado, 440 F.3d 191, 200 (4th Cir. 2006)). 68 Wayne R. LAFAVE ET AL., CRIMINAL PROCEDUR...