Court filing
Information - United States v. Shibley companion docket
Record facts
| Court | U.S. District Court for the Western District of Washington |
|---|---|
| Filed | 2020-10-23 |
U.S. District Court for the Western District of Washington · No. 2:20-cr-00174-JCC · Doc. 38-1 · 2020-10-23 · Docket on CourtListener
Summary
A [Proposed] Stipulated Protective Order in United States of America v. Eric Shibley, No. 2:20-cr-00174-JCC, in the U.S. District Court for the Western District of Washington, filed October 23, 2020 as Doc. 38-1. It would treat personal information provided in discovery, defined as an individual's date of birth, Social Security number, bank account number or home address, as Protected Material. Possession would be limited to the attorneys of record and the prosecution and defense teams, who may not give copies to any other person, including any defendant, though they may review and discuss the contents with defendants, victims or prospective witnesses. The two-page proposed order is presented by an Assistant United States Attorney and two trial attorneys, with an undated signature block for United States District Judge John C. Coughenour.
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Full text
United States v. Eric Shibley.
CR20-174JCC, [Proposed] Stipulated Protective Order - 1
UNITED STATES ATTORNEY
700 STEWART ST, SUITE 5220
SEATTLE, WASHINGTON 98101
(206) 553-7970
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The Honorable John C. Coughenour
UNITED STATES DISTRICT COURT FOR THE
WESTERN DISTRICT OF WASHINGTON
AT SEATTLE
UNITED STATES OF AMERICA,
Plaintiff,
v.
ERIC SHIBLEY
Defendant.
NO. CR20-174JCC
[PROPOSED] STIPULATED
PROTECTIVE ORDER
This matter, having come before the Court on a Stipulated Motion for Entry of a
Protective Order, the Court hereby enters the following order:
PROTECTIVE ORDER
The personal information related to any individual provided in discovery is
deemed Protected Material. As used in this Order, personal information shall mean an
individual’s date of birth, Social Security number, bank account number, or home
address.
Possession of Protected Material is limited to the attorneys of record in the above-
captioned case and members of the prosecution team and the defense team assigned to
assist with this case (the prosecution and defense teams includes other associated
attorneys, professional staff, investigators, and retained experts). The attorneys of record
Case 2:20-cr-00174-JCC Document 38-1 Filed 10/23/20 Page 1 of 2
United States v. Eric Shibley.
CR20-174JCC, [Proposed] Stipulated Protective Order - 2
UNITED STATES ATTORNEY
700 STEWART ST, SUITE 5220
SEATTLE, WASHINGTON 98101
(206) 553-7970
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and the prosecution and defense teams may not provide copies of the Protected Material
to any other person, including any Defendant in this case. This order, however, does not
prohibit the attorneys and members of the prosecution and defense teams from reviewing
and discussing the contents of documents containing Protected Material with Defendants,
victims, or prospective witnesses. Further, a Defendant, victim, or witness may be
provided their own personal information.
The parties agree that this Protective Order may be modified, as necessary, by
filing with the Court a Stipulated Motion for the Entry of a Modified Protective Order.
IT IS SO ORDERED.
DATED this ________ day of October 2020.
JOHN C. COUGHENOUR
United States District Judge
Presented by:
s/ Brian Werner
BRIAN WERNER
Assistant United States Attorney
s/ Laura Connelly
LAURA CONNELLY
AMANDA R. VAUGHN
Trial Attorneys
Case 2:20-cr-00174-JCC Document 38-1 Filed 10/23/20 Page 2 of 2File and source
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