Fron ee Subject: RE: [EXTERNAL] RE: United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN) Date: Tue, 02 Nov 2021 16:55:25 +0000 All set, saved here: \ INN Fron: a ) < Sent: Tuesday, November 2, 2021 12:05 PM a Subject: FW: [EXTERNAL] RE: United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN) Hi all, Could you please pull these bates ranges from the JPMC subpoena productions and save them in the Q&A folder for a witness named] He works at JPMC and will be testifying. Thanks! From: Stoddart, Allison < Sent: Tuesday, November 2, 2021 10:57 AM To: a) <n Ce: Sahni, Anjan ES SS) a; —— lg} < ; ~—_—__¥jJ¥ Subject: RE: [EXTERNAL] RE: United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN) As we discussed last week, below are the Bates ranges of the account opening documents for three accounts that appear in the exhibits that you provided: « Account Number : JPM-SDNY-00001896 to JPM-SDNY-00001943 « Account Number JPM-SDNY-00002398 to JPM-SDNY-00002439 « Account Number JPM-SDNY-000018239 to JPM-SDNY-00001849 Additionally, JPM-SDNY-00002539 to JPM-SDNY-00002570 contains onboarding documents for Ghislaine Maxwell, but they are not necessarily associated with Account Number Please let us know if you have any questions. Thanks, Allison Fron: a ) <> Sent: Wednesday, October 27, 2021 9:02 AM To: Stoddart, Allison Ce: Sahni, Anjan SS S\N)S) TT; EFTA00087574

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SS) < >| ee) < Subject: RE: [EXTERNAL] RE: United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN) Hi Allison, Thanks— would 3 p.m. work for a call today? From: Stoddart, Allison a Sent: Wednesday, October 27, 17:48 AM To: a) <a Ce: Sahni, Anjo TS | aS (USA NYS) i; SS) < >; ee) <> Subject: RE: [EXTERNAL] RE: United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN) 7} We wanted to provide an update on the trial witness topic. Do you have any time this afternoon or tomorrow for a brief call? Thanks, Allison From: Stoddart, Allison Monday, October 18, 2021 9:05 PM To: rs < > Ce: Sahni, Anjo) (SANS) <i; a) < >; es ) <> Subject: RE: [EXTERNAL] RE: United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN) Great. Thanks, J. Appreciate it. Allison From: a <i Sent: Monday, October 18, 2021 8:58 PM To: Stoddart, Allison [a Ce: Sahni, Anjr SS (USA NYS) <i; a) < >; ee) < Subject: RE: [EXTERNAL] RE: United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN) Hi Allison, Thanks, that’s not a problem. I’m attaching a broadly worded subpoena to the bank, but please let me know if you'd like me to direct this more specifically to a particular entity or officer. Thanks, EFTA00087575

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From: Stoddart, Allison , | Sent: Monday, October T&, To: es) <> Ce: Sahni, Anjan SS >; a (SANS) <i >; a) < >; ee) < Subject: RE: [EXTERNAL] RE: United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN) HE, Maurene, Lara, Following up on our last discussion, JPMorgan is working on identifying a witness for trial. Are you able to provide JPMorgan with a trial appearance subpoena? Thanks very much, Allison Allison Stoddart | WilmerHale Fron: a ) <> Sent: Friday, October 8, 2021 12:15 PM To: Stoddart, Allison Ce: Sahni, Anjan SS (SANS) Se) < >; es ) <> Subject: Re: [EXTERNAL] RE: United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN) Hi Allison, I’m traveling for work for much of next week, but I’m available for a call anytime on Monday, or at 9 a.m. on Tuesday. I’m also available for a call this afternoon anytime from 4 pm onwards if that’s easier. Thanks. On Oct 8, 2021, at 11:18 AM, Stoddart, Allison <Allison.Stoddart@wilmerhale.com> wrote: Thanks, J. Could we find some time early next week to discuss? Are there certain windows that would work on your end? Thanks, Allison EFTA00087576

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Allison Stoddart | WilmerHale From: a ) <> Sent: Friday, October 8, 2021 10:01 AM To Sabnl Aan SEE St00¢2rt, Alison Cc: A (SANS) <i; a — ee SS < Subject: United States v. Ghislaine Maxwell, 20 Cr. 330 (AJN) Anjan, Allison, Hope you're both doing well. Following up on our last conversation, we wanted to send along a few documents in order to facilitate our conversation about identifying an appropriate witness from JP Morgan. Attached is a zip file containing a few draft exhibits. We are still working on finalizing exhibits, but we thought it made sense to start the conversation about this sooner rather than later. Please let us know if you have any questions or if a call would be useful. Thanks, Assistant United States Attorney Southern District of New York One Saint Andrew’s Plaza New York, NY 10007 EFTA00087577