Case 21-58, Document 39-1, 04/01/2021, 3068530, Page’ of 31 UNITED STATES COURT OF APPEALS FOR THE SECOND CIRCUIT Thurgood Marshall U.S. Courthouse 40 Foley Square, New York, NY 10007 Telephone: 212-857-8500 MOTION INFORMATION STATEMENT Docket Number(s): 21-770/21-58 Caption [use short title] Motion for: Pretrial Release Set forth below precise, complete statement of relief sought: Ghislaine Maxwell requests that this Court set reasonable bail or in the alternative, remand for an evidentiary hearing. United States of America v. Ghislaine Maxwell MOVING PARTY: Ghislaine Maxwell opposinc party: United States of America | |Plaintist | |Defendant | V | Appellant/Petitioner | _|Appeliee/Respondent MOVING ATTORNEY: David Oscar Markus OPPOSING ATTORNEY: Won. S. Shin, AUSA {name of attorney, with firm, address, phone number and e-mail] Markus/Moss PLLC United States Attorney's Office, So. Dist. of NY 40 NW Third Street, PH 1, Miami, FL 33128 | 1 St. Andrew's Plaza, New York, New York 10007 (305)379-6667; [email protected] (212)637-2226 Court- Judge/ Agency appealed from: Alison J. Nathan, Southern District of New York Please check appropriate boxes: FOR EMERGENCY MOTIONS, MOTIONS FOR STAYS AND _ INJUCTIONS PENDING APPEAL: Has movant ves [ WNowe a (required by Local Rule 27.1): Has this request for relief been made below? es [No [v lves No (explain): Has this relief been previously sought in this court? es | |No Requested return date and explanation of emergency: Opposing counsel’s position on motion: Unopposed [V |Opposed|_|Don’t Know Does opposing counsel intend to file a response: [Vlyes [_|No [_|Don’tKnow Is oral argument on motion requested? |v |yes [No (requests for oral argument will not necessarily be granted) Has argument date of appeal been set? ia Yes [Vv INo If yes, enter date: Signature of Moving Attorney: /s/ David Oscar Markus Date: 04/01/2021 Service by: [V lcoweEcF | |other [Attach proof of service] Form T-1080 (rev. 12-13) DOJ-OG