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Case 1:20-cr-00330-PAE Document 739 Filed 08/10/22 Page22o0f43 22
LBNAMAXTps
whether they're going to cross the line from pure fact
testimony to expert testimony, I think we can deal with it at
that time.
TH
|
COURT: OK. What I would just say is, if your
expert, looking at the 3500 material and the disclosure, has
different expert views, you need to notice those now. But to
the extent it's something that comes out at trial, that
couldn't have been anticipated, then you can notice down the
road.
So just in terms of what, if your expert has testimony
now that's different from what's anticipated in light of the
government's notice and the marked exhibits and 3500 material,
when would you like to provide additional notice?
MS. MENNINGER: Your Honor, some of the "marked
exhibits" are a placeholder for an entire hard drive that has
any number of documents on it. If the government is now
representing they will only be referring to the documents that
are separately marked and not to exhibits that say "hard drive
58," “hard drive 85," "hard drive 96," we could do that, but
they haven't made that representation.
THE COURT: Fair enough.
MR. ROHRBACH: Those drives are marked for
identification for authentication purposes, but to the extent
that the point is that Mr. Kelso is going to testify about
general principles associated with the creation of documents
SOUTHERN DISTRICT REPORTERS, P.C.
(212) 805-0300
DOJ-OGR-00011643
Document Details
| Filename | DOJ-OGR-00011643.jpg |
| File Size | 597.4 KB |
| OCR Confidence | 90.5% |
| Has Readable Text | Yes |
| Text Length | 1,574 characters |
| Indexed | 2026-02-03 18:10:44.193009 |