United States District Court, S.D. New York
GEOFFREY S. BERMAN Acting United States Attorney.
Jeffrey C. Coffman, Assistant United States Attorney.
A. Steinberg, Counsel for Tomer Osovitzki.
HONORABLE KATHERINE POLK FAILLA, UNITED STATES DISTRICT
the application of the United States of America, with the
consent of the undersigned counsel, and the defendants having
requested discovery under Fed. R. Crim. P. (a)(1), the Court
hereby finds and orders as follows:
Government has made and will make disclosure to the defendant
of documents, objects and information, including
electronically stored information (“ESI”),
pursuant to Federal Rule of Criminal Procedure 16, 18 U.S.C.
§3500, and the Government's general obligation to
produce exculpatory and impeachment material in criminal
cases, all of which will be referred to herein as
“disclosure material.” The Government's
disclosure material may include material that (i) affects the
privacy, confidentiality and business interests of
individuals and entities; (ii) would risk prejudicial
pretrial publicity if publicly disseminated; and (iii) is not
authorized to be disclosed to the public or disclosed beyond
that which is necessary for the defense of this criminal
Facilitation of Discovery.
entry of a protective order in this case will permit the
Government to produce expeditiously the disclosure material
without further litigation or the need for redaction. It will
also afford the defense prompt access to those materials, in
unredacted form, which will facilitate the preparation of the
is good cause for entry of the protective order set forth
it is hereby Ordered:
Disclosure material shall not be disclosed by the defendant
or defense counsel, including any successor counsel
(“the defense”) other than as set forth herein,
and shall be used by the defense solely for purposes of
defending this action. The defense shall not post any
disclosure material on any Internet site or network site to
which persons other than the parties hereto have ...