In the case of United States v. Combs (24-cr-542), Sean Combs’ legal team submitted a 20-minute video under seal to support his renewed bail application (Dkt. 60) and its reply (Dkt. 80). This submission was made in compliance with the court's Protective Order (Dkt. 81) and is intended to provide evidence outlined in the declaration by Teny Geragos (Ex. D). The video, shared with both the court and the government, is a critical element of Combs’ defense, addressing issues central to his bail request..
In a letter to Judge Subramanian regarding United States v. Sean Combs (24 Cr. 542), the Government addressed the upcoming November 22, 2024, hearing on Combs’ renewed bail motion. The letter responds to the Court’s inquiry about the applicability of the bail package approved in United States v. Jeffries (24 Cr. 423). The Government argues that the circumstances in the Jeffries case are not comparable to those in Combs’ case and do not support his bail application, emphasizing distinctions that render the Jeffries precedent irrelevant.
Finally,
In a letter to Judge Subramanian regarding United States v. Combs (24-cr-542), Sean Combs' legal team submitted additional support for his Renewed Motion for Bond (Dkt. 60). Included was an exhibit containing a letter from the government, received late the previous evening, in response to targeted Brady requests. The defense argues that the proffers cited in the government’s letter further bolster their position regarding the "weight of the evidence" and the "nature and seriousness of the offense," as outlined under 18 U.S.C. § 3142(g)(2) and (4).
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source:
Microsoft Word - 2024.11.21 - Ltr to AS re McCourt
gov.uscourts.nysd.628425.83.0.pdf
gov.uscourts.nysd.628425.84.0.pdf
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