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United States v. Copeland

UNITED STATES DISTRICT COURT DISTRICT OF NEVADA
Feb 22, 2013
2:12-CR-00465-GMN-CWH (D. Nev. Feb. 22, 2013)

Opinion

2:12-CR-00465-GMN-CWH

02-22-2013

UNITED STATES OF AMERICA, Plaintiff, v. SUNDAY D. COPELAND, Defendant.

DANIEL G. BOGDEN United States Attorney KIMBERLY M. FRAYN Assistant United States Attorney WILLIAM C. CARRICO, ESQ Assistant Federal Public Defender Counsel for defendant SUNDAY D. COPELAND,


DANIEL G. BOGDEN
United States Attorney
KIMBERLY M. FRAYN
Assistant United States Attorney
333 Las Vegas Boulevard South, Suite 5000
Las Vegas, Nevada 89101
Telephone: (702) 388-6336
Facsimile: (702) 388-5087

STIPULATION FOR PROTECTIVE ORDER

IT IS HEREBY STIPULATED AND AGREED between the parties, Daniel G. Bogden, United States Attorney for the District of Nevada, and Kimberly M. Frayn, Assistant United States Attorney, counsel for the United States, William C. Carrico, Esq., Assistant Federal Public Defender, counsel for defendant SUNDAY D. COPELAND, that this Court issue an Order protecting from disclosure to the public any discovery documents containing the personal identifying and financial identifying information, such as social security numbers, drivers license numbers, dates of birth, bank account numbers, credit and debit card numbers, and addresses, of participants, witnesses and victims in this case. Such documents shall be referred to hereinafter as "Protected Documents." The parties state as follows:

1. Protected Documents which will be used by the government in its case in chief include personal identifying information and financial identifying information, such as social security numbers, drivers license numbers, dates of birth, bank account numbers, credit and debit card numbers, and addresses, of participants, witnesses, and victims in this case.

2. Discovery in this case is voluminous and includes many of documents which contain personal and financial identifiers. Redacting the personal and financial identifiers of participants, witnesses, and victims would prevent the timely disclosure of discovery to defendants.

3. The United States agrees to provide Protected Documents without redacting the personal identifiers and financial identifiers of participants, witnesses, and victims.

4. Access to Protected Documents will be restricted to persons authorized by the Court, namely defendant, attorney(s) of record and attorneys' paralegals, investigators, experts, and secretaries employed by the attorney(s) of record and performing on behalf of defendant.

5. The following restrictions will be placed on defendant, defendant's attorney(s) and the above-designated individuals unless and until further ordered by the Court. Defendants, defendants' attorneys and the above-designated individuals shall not:

a. make copies for, or allow copies of any kind to be made, by any other person of Protected Documents;
b. allow any other person to read Protected Documents; and
c. use Protected Documents for any other purpose other than preparing to defend against the charges in the Indictment or any further superseding indictments arising out of this case.

6. Defendant's attorney(s) shall inform any person to whom disclosure may be made pursuant to this order of the existence and terms of this Court's order.

7. The requested restrictions shall not restrict the use or introduction as evidence of discovery documents containing personal identifying and financial identifying information, such as social security numbers, drivers license numbers, dates of birth, bank account numbers, credit and debit card numbers, and addresses, of participants, witnesses and victims during the trial of this matter.

8. Upon conclusion of this action, defendant's attorney(s) shall return to government counsel or destroy and certify to government counsel the destruction of all discovery documents containing personal identifying and financial identifying information such as social security numbers, drivers license numbers, dates of birth, bank account numbers, credit and debit card numbers, and addresses, within a reasonable time, not to exceed thirty days after the last appeal is final. DANIEL G. BOGDEN
United States Attorney
________________
KIMBERLY M. FRAYN
Assistant United States Attorney
________________
WILLIAM C. CARRICO, ESQ
Assistant Federal Public Defender
Counsel for defendant
SUNDAY D. COPELAND,

ORDER

IT IS SO ORDERED this 22 day of February 2013.

________________

UNITED STATES MAGISTRATE JUDGE


Summaries of

United States v. Copeland

UNITED STATES DISTRICT COURT DISTRICT OF NEVADA
Feb 22, 2013
2:12-CR-00465-GMN-CWH (D. Nev. Feb. 22, 2013)
Case details for

United States v. Copeland

Case Details

Full title:UNITED STATES OF AMERICA, Plaintiff, v. SUNDAY D. COPELAND, Defendant.

Court:UNITED STATES DISTRICT COURT DISTRICT OF NEVADA

Date published: Feb 22, 2013

Citations

2:12-CR-00465-GMN-CWH (D. Nev. Feb. 22, 2013)