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Case 2:23-cr-00320-KJM Document 23 Filed 12/22/23 Page 1 of 4
1 PHILLIP A. TALBERT
United States Attorney
2 AUDREY B. HEMESATH
MATTHEW THUESEN
3 Assistant United States Attorney
501 I Street, Suite 10-100
4 Sacramento, CA 95814
Telephone: (916) 554-2700
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6 Attorneys for Plaintiff
United States of America
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8 IN THE UNITED STATES DISTRICT COURT
9 EASTERN DISTRICT OF CALIFORNIA
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UNITED STATES OF AMERICA, CASE NO. 2:23-CR-320 KJM JDP
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Plaintiff, STIPULATION AND [PROPOSED] PROTECTIVE
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v.
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KARLA MONTOYA,
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Defendant.
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17 WHEREAS, the parties desire to prevent the unauthorized disclosure or dissemination of certain
18 sensitive but unclassified discovery materials to anyone not a party to the court proceedings in this case
19 as provided below;
20 WHEREAS, the sensitive but unclassified discovery materials at issue include information
21 pertaining to witnesses or potential witnesses in this case, specifically personal identifying information,
22 bank account information, and residence information;
23 WHEREAS, such sensitive but unclassified discovery materials shall be identified as sensitive
24 and subject to a protective order at the time of disclosure, whether on the documents themselves or in an
25 accompanying cover letter;
26 WHEREAS, the parties agree that entry of a stipulated protective order is appropriate, and that a
27 private agreement is not appropriate in light of the nature of the information at issue and the charges in
28 this case; and
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Case 2:23-cr-00320-KJM Document 23 Filed 12/22/23 Page 2 of 4
1 WHEREAS, the defendant, KARLA MONTOYA, has counsel (“Defense Counsel”) who wishes
2 the opportunity to review the discovery;
3 Defendant and plaintiff United States of America, by and through their undersigned counsel of
4 record, hereby agree and stipulate as follows:
5 1. This Court may enter protective orders pursuant to Rule 16(d) of the Federal Rules of
6 Criminal Procedure, its general supervisory authority, and Local Rule 141.1.
7 2. This Order pertains to all discovery provided to or made available to Defense Counsel
8 that is identified as sensitive and subject to a protective order in this case (hereafter, collectively known
9 as “the protected discovery”).
10 3. Defense Counsel shall not disclose any of the protected discovery to any person other
11 than the defendant, or attorneys, law clerks, paralegals, secretaries, experts, interpreters, and
12 investigators, involved in the representation of his client ("the Defense Team”).
13 4. The Defense Team may show witnesses who are not a part of the Defense Team the
14 protected discovery in the course of preparing a defense for trial or any related proceedings in this case,
15 but only if (i) the witness, by reason of their participation in the underlying events or conduct, would
16 have seen or had reason to know such discovery, or (ii) it is otherwise relevant to the defense of the case
17 that the Defense Team discuss with or show the witness the protected discovery. Witnesses may only
18 view the protected discovery in the presence of the Defense Team. No witness or potential witness may
19 retain copies of the protected discovery after his or her review of those materials with the Defense Team
20 is complete.
21 5. The protected discovery and information therein may only be used in connection with the
22 litigation of this criminal case and for no other purpose. The protected discovery may not be shared or
23 discussed with counsel in any other matters such as civil litigation, except civil litigators who are a part
24 of the Defense Team. The protected discovery will not be used or introduced, however, in any civil
25 litigation. The protected discovery is now and will forever remain the property of the United States
26 Government.
27 6. Defense Counsel, and the Defendant if he retains any copy of any material, will store the
28 discovery in a secure place and will use reasonable care to ensure that it is not disclosed to third persons
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Case 2:23-cr-00320-KJM Document 23 Filed 12/22/23 Page 3 of 4
1 in violation of this agreement.
2 7. If Defense Counsel releases custody of any of the protected discovery, or authorized
3 copies thereof, to any person described in paragraph (3), Defense Counsel shall provide such recipients
4 with copies of this Order and advise that person that the protected discovery is the property of the United
5 States Government, that the protected discovery and information therein may only be used in connection
6 with the litigation of this case and for no other purpose, and that an unauthorized use of the protected
7 discovery may constitute a violation of law and/or contempt of court.
8 8. In the event that the defendant obtains substitute counsel, undersigned Defense Counsel
9 agree to withhold the protected discovery from new counsel unless and until substituted counsel agrees
10 to be bound by this Order.
11 9. Defense Counsel shall be responsible for advising their client, employees, and other
12 members of the defense team of the contents of this Stipulation/Order.
13 10. While this Order applies to any copies made of any materials covered by this Order, it
14 does not apply to any materials that the Defendant or the Defense Team may have or gain access to via
15 independent means, even if copies or duplicates of those materials may be covered by this Order.
16 11. This stipulation is without prejudice to either party applying to the Court to modify the
17 terms of any protective order. This Court shall retain jurisdiction to modify this Order upon motion of
18 either party even after the conclusion of district court proceedings in this case.
19 IT IS SO STIPULATED.
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Case 2:23-cr-00320-KJM Document 23 Filed 12/22/23 Page 4 of 4
1 Dated: December 22, 2023 Respectfully submitted,
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PHILLIP A. TALBERT
3 United States Attorney
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By: /s/ AUDREY B. HEMESATH
5 AUDREY B. HEMESATH
Assistant United States Attorney
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Dated: December 22, 2023 By: /s/ WILLIAM PORTANOVA
9 WILLIAM PORTANOVA
Counsel for KARLA
10 MONTOYA
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13 ORDER
14 IT IS SO FOUND AND ORDERED.
15 DATED: December 22, 2023
16 Hon. JEREMY D. PETERSON
United States Magistrate Judge
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