CG COHEN & GRESSER LLP thrtstan lt. Fvcaltil +I (21Z;9>-"-;600 coved& ril cishmgrestrr.ann BY CERTIFIED MAIL Office of the Legal Adviser U.S...rtment of State Suit 600 19th Street, NW Washington, D.C. 20522 Re: United States v. Ghislaine Maxwell, S2 20 Cr. 330 (AJN) Deal-: 7 • • L A 201i ("*" 1 2 A co DD. October 14, 2021 KO Third AA MO New York, NY 10022 4,1 212 957 7600 phone wwwcotbarogeser.ccal D IN ITV ONLY CTOR F LEGAL ADVISER We represent the defendant, Ghislaine Maxwell, in the above-referenced matter. This letter constitutes a request made pursuant to United States ex. rel. Touhy v. Regan, 340 U.S. 462 (1951) and 22 C.F.R. § 172.3(a)(1) for the production of documents in the possession of the U.S. Department of State at the trial in this case on November 29, 2019 at 9:00 A.M., before the Honorable Alison J. Nathan, United States District Judge. The requested documents are set forth in the attached subpoena. In accordance with 22 C.F.R. § 172.5(a), we make the following statement setting forth "the nature and relevance" of the information we seek: On March 29, 2021, Ghislaine Maxwell was charged in a superseding indictment with the following offenses: (1) Count One: conspiracy to entice minors to travel to engage in illegal sex acts, (2) Count Two: enticement of a minor to travel to engage in illegal sex acts, (3) Count Three: conspiracy to transport minors with intent to engage in criminal sexual activity, (4) Count Four: transportation of a minor with intent to engage in criminal sexual activity, (5) Count Five: sex trafficking conspiracy, and (6) Count Six: sex trafficking of a minor. The charges relate to an alleged scheme between Ms. Maxwell and Jeffrey Epstein to sexually abuse underaged girls from in or about 1994 to in or about 2004. The three individuals listed in the attached subpoena are identified in the superseding indictment as "Minor Victim 1," "Minor Victim 2," and "Minor Victim 3." All three ind