Anonymous ID: 7a4a7a Dec. 31, 2020, 2:26 p.m. No.12256758   🗄️.is đź”—kun   >>6798 >>7428

New filing in USA v. Maxwell

 

Dear Judge Nathan:

 

'''We write on behalf of our client, Ghislaine Maxwell, to respectfully request a two-week

extension of time to file our pretrial motions and to shift the other motion deadlines forward by

two weeks.''' We have conferred with the government, which has consented to the requested

extension and the modified briefing schedule. The requested extension is necessary given the

large volume of discovery produced by the government, which we are still reviewing, and to

ensure that defense counsel can adequately discuss the motions with our client and have her

review them. As the Court is aware, '''Ms. Maxwell was recently placed in quarantine for 14 days

and in-person legal visits at MDC have been indefinitely suspended due to COVID, which has

constrained our ability to confer with her.'''

Under the Court’s original briefing schedule, the defendant’s pretrial motions were due on

December 21, 2020, the government’s response was due January 22, 2021, and the defendant’s

reply was due on February 5, 2021. (Dkt. 25). '''The Court agreed to move those deadlines by three

weeks''' because the government needed additional time to finish producing discovery. (Dkt. 72).

Under the current briefing schedule, '''the defendant’s pretrial motions are due on January 11, 2020,

the government’s response is due February 12, 2021, and the defendant’s reply is due on February

19, 2021'''. (Id.). We respectfully request that the Court so order the briefing schedule below. The

next scheduled appearance before the Court is the first day of trial on July 12, 2021.

January 25, 2021

February 26, 2021

March 5, 2021

 

https://www.usatoday.com/documents/7340465-Letter-Motion/

 

https://twitter.com/big_cases/status/1344770138210500610

Anonymous ID: 7a4a7a Dec. 31, 2020, 2:32 p.m. No.12256798   🗄️.is đź”—kun

>>12256758

 

>'We write on behalf of our client, Ghislaine Maxwell, to respectfully request a two-week

>extension of time to file our pretrial motions and to shift the other motion deadlines forward by

>two weeks.

 

>Ms. Maxwell was recently placed in quarantine for 14 days

>and in-person legal visits at MDC have been indefinitely suspended due to COVID, which has

>constrained our ability to confer with her.

 

>The Court agreed to move those deadlines by three

>weeks''' because the government needed additional time to finish producing discovery. (Dkt. 72).

>Under the current briefing schedule, '''the defendant’s pretrial motions are due on January 11, 2020,

>the government’s response is due February 12, 2021, and the defendant’s reply is due on February

>19, 2021

Anonymous ID: 7a4a7a Dec. 31, 2020, 2:52 p.m. No.12257027   🗄️.is đź”—kun   >>7078 >>7098 >>7101 >>7428

>>12256858

>Something happens at midnight tonight.

 

(1) IN GENERAL.—All Federal reserve banks shall, not later than January 1, 2021, make digital wallets available to all residents and citizens of the United States and to businesses domiciled in the United States.

 

https://www.congress.gov/bill/116th-congress/senate-bill/3571/text

 

(c) Terms of digital dollar wallets.—Digital dollar wallets—

 

(1) shall not be subject to any account fees, minimum balances, or maximum balances, and shall pay interest at a rate not below the greater of the rate of interest on required reserves and the rate of interest on excess reserves;

 

(2) shall provide debit cards, online account access, automatic bill-pay, mobile banking, customer service and other such services as the Board of Governors of the Federal Reserve System determines appropriate in the public interest, provided that digital dollar wallets shall not include overdraft coverage;

 

(3) shall provide, in conjunction with the Postal Service, access to automatic teller machines to be maintained on behalf of the Board of Governors of the Postal Service at postal retail facilities;