Opinion
2:22-CR-053 KJM
06-08-2022
UNITED STATES OF AMERICA, Plaintiff, v. CHOON FOO YONG AKA KEITH YONG, Defendant
PHILLIP A. TALBERT United States Attorney LEE S. BICKLEY Assistant United States Attorney CHRISTOPHER J. CARLBERG TAI S. MILDER Trial Attorneys U.S. Department of Justice, Antitrust Division Attorneys for Plaintiff United States of America
PHILLIP A. TALBERT United States Attorney
LEE S. BICKLEY Assistant United States Attorney
CHRISTOPHER J. CARLBERG TAI S. MILDER Trial Attorneys U.S. Department of Justice, Antitrust Division
Attorneys for Plaintiff United States of America
Hon. Kimberly J. Mueller
MOTION AND ORDER FOR LIMITED DISCLOSURE OF SEARCH WARRANT MATERIALS
KENDALL J. NEWMAN UNITED STATES MAGISTRATE JUDGE
Plaintiff United States of America, by and through its counsel of record, requests that the Court allow the United States to produce in discovery in the above-captioned matter-and in pre-indictment/pre-information discovery in any related matters-the following under-seal search warrants, applications for search warrants, and accompanying affidavits:
• 2/5/2021: 2:21-sw-0089 CKD (Search of 2 email accounts-Oath Holdings)
• 2/5/2021: 2:21-sw-0090 CKD (Search of 7 emails accounts-Google)
• 5/21/2021: 2:21-sw-0439 CKD (Search of 1 email account-Google)
• 5/21/2021: 2:21-sw-0440 CKD (Search of 1 email account-Oath Holdings)
• 10/20/2021: 2:21-sw-0806 CKD (Search of 11892 E. Princeton Avenue)
These documents discuss an ongoing criminal investigation that may not be known to all of the targets of the investigation. Accordingly, there is good cause to keep them sealed on the docket at this time.
ORDER
IT IS SO FOUND AND ORDERED.