United States District Court, S.D. New York
HONORABLE ALVIN K. HELLERSTEIN, UNITED STATES DISTRICT JUDGE.
the application of the United States of America, and the
defendant Oluwaseun Olubukola Ogunbambo, having requested
discovery under Fed. R. Crim. P. 16(a)(1)(E), the Court
hereby finds and orders as follows:
Sensitive Disclosure Material.
Government 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. The
Government's disclosure material may include, as detailed
below, material that affects the privacy of individuals, such
as documents containing personal identification information
of others. To the extent such disclosure material includes
material that affects the privacy of individuals, including
by containing personal identification information of other
individuals, it shall be deemed "Sensitive Disclosure
Material," and will be labeled as such in the index
produced by the Government with the discovery materials.
Facilitation of Discovery.
entry of a protective order in this case will permit the
Government to produce expeditiously the Sensitive Disclosure
Material without the need for redaction of personal
identification information contained in the Sensitive
Disclosure Material. It will also afford the defense prompt
access to those materials. which will facilitate the
preparation of the defense.
is good cause for entry of the protective order set forth
herein. Accordingly it is hereby Ordered:
Sensitive Disclosure Material shall not be disclosed
by defense counsel, including any successor counsel
("Defense Counsel"), or the defendant, other than
as set forth herein, and shall be used solely for purposes of
defending this action:
a. Defense Counsel and the defendant shall not post any
Sensitive Disclosure Material on any Internet site or network
site to which persons other than the parties hereto have
access, and shall not disclose any Sensitive Disclosure
Material to the media or any third party except as set forth
b. Sensitive Disclosure Material may be disclosed by Defense
Counsel or the defendant to the following persons
(hereinafter "Designated Persons"):
(i) investigative, secretarial, clerical, paralegal and
student personnel employed full-time or part-time by the
(ii) independent expert witnesses, investigators or advisors
retained by the defendant's attorney in ...