Case 1:20-cr-00633-DAD Document 311 Filed 07/28/20 Page 3 of 12
independent contractors by the defendant's counsel ("Defense Staff");
ii. any expert or potential expert, legal advisor, consultant, or any other individual retained or employed by the Defendant and Defense Counsel for the purpose of assisting in the defense of this case ("Defense Experts/Advisors");
iii. such other persons as hereafter may be authorized by Order of the Court ("Other Authorized Persons");
e) May be provided to prospective witnesses and their counsel (collectively, "Potential Defense Witnesses"), to the extent deemed necessary by defense counsel, for trial preparation. To the extent Discovery materials are disclosed to Potential Defense Witnesses, they agree that any such materials will not be further copied, distributed, or otherwise transmitted to individuals other than the recipient Potential Defense Witnesses.
2. The Defendant and Defense Counsel shall provide a copy of this Order to any Designated Persons to whom they disclose Discovery materials. Prior to disclosure of Discovery materials to Designated Persons, any such Designated Person shall agree to be subject to the terms of this Order by signing a copy hereof and stating that they "Agree to be bound by the terms herein," and providing such copy to Defense Counsel. All
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Full Text
Case 1:20-cr-00633-DAD Document 311 Filed 07/28/20 Page 3 of 12
independent contractors by the defendant's counsel ("Defense Staff");
ii. any expert or potential expert, legal advisor, consultant, or any other individual retained or employed by the Defendant and Defense Counsel for the purpose of assisting in the defense of this case ("Defense Experts/Advisors");
iii. such other persons as hereafter may be authorized by Order of the Court ("Other Authorized Persons");
e) May be provided to prospective witnesses and their counsel (collectively, "Potential Defense Witnesses"), to the extent deemed necessary by defense counsel, for trial preparation. To the extent Discovery materials are disclosed to Potential Defense Witnesses, they agree that any such materials will not be further copied, distributed, or otherwise transmitted to individuals other than the recipient Potential Defense Witnesses.
2. The Defendant and Defense Counsel shall provide a copy of this Order to any Designated Persons to whom they disclose Discovery materials. Prior to disclosure of Discovery materials to Designated Persons, any such Designated Person shall agree to be subject to the terms of this Order by signing a copy hereof and stating that they "Agree to be bound by the terms herein," and providing such copy to Defense Counsel. All
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Case 1:20-cr-00633-DAD Document 11 Filed 07/28/20 Page 7 of 12
the Court for an Order de-designating such documents or materials. The Government's designation of such documents and materials as Confidential Information will be controlling absent contrary order of the Court.
10. Confidential Information disclosed to the defendant, or Defense Counsel, respectively, during the course of proceedings in this action:
a) Shall be used by the Defendant or her Defense Counsel solely for purposes of the defense of this criminal action, and not for any civil proceeding or any purpose other than the defense of this action;
b) Shall be maintained in a safe and secure manner;
c) Shall be reviewed and possessed by the Defendant in hard copy solely in the presence of Defense Counsel;
d) Shall be possessed in electronic format only by Defense Counsel and by appropriate officials of the Bureau of Prisons ("BOP"), who shall provide the defendant with electronic access to the Discovery, including Confidential Information, consistent with the rules and regulations of the BOP, for the Defendant's review;
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Case 1:20-cr-00633-DAD Document 11 Filed 07/28/20 Page 7 of 12
the Court for an Order de-designating such documents or materials. The Government's designation of such documents and materials as Confidential Information will be controlling absent contrary order of the Court.
10. Confidential Information disclosed to the defendant, or Defense Counsel, respectively, during the course of proceedings in this action:
a) Shall be used by the Defendant or her Defense Counsel solely for purposes of the defense of this criminal action, and not for any civil proceeding or any purpose other than the defense of this action;
b) Shall be maintained in a safe and secure manner;
c) Shall be reviewed and possessed by the Defendant in hard copy solely in the presence of Defense Counsel;
d) Shall be possessed in electronic format only by Defense Counsel and by appropriate officials of the Bureau of Prisons ("BOP"), who shall provide the defendant with electronic access to the Discovery, including Confidential Information, consistent with the rules and regulations of the BOP, for the Defendant's review;