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Extracted Text (OCR)
Case 1:20-cr-00330-PAE Document 204-9 _ Filed 04/16/21 Page6of6
Page 6
Chemical Bank, 154 F.R.D. at 94 (describing such materials a “technological trade secrets,
currently sensitive customer lists, or contemporarily sensitive competitive information which
could benefit rivals”). Rather, the Government seeks materials that relate to among the gravest
criminal offenses it investigates—the sexual exploitation of minors—which materials, if revealed,
would tend to inculpate and/or embarrass some parties to the Protective Order. Indeed, by the very
terms of the Protective Order, the confidential materials appear to be of the category for which
“Talvoiding embarrassment . . . is not by itself a valid reason for courts to uphold confidentiality
as against a legitimate law enforcement need for the information.” /d.; see also Prot. Order at 2
(designating as “confidential” information “whose public release would violate common law and
statutory privacy interests”). “Aside from those restrictions [laid down by the Fourth or Fifth
Amendment or applicable statutes], hiding possible criminal violations from law enforcement
authorities is hardly a ground for judicial protection of confidentiality.” Chemical Bank, 15 F.R.D.
at 94.
Finally, this is unlike a case in which the contours of the civil litigation are publicly
apparent. Cf Subpoena Duces Tecum, 945 F.2d at 1223 (noting that a “lengthy report” of the
bankruptcy examination in that case “was made available to the public”). In Subpoena Duces
Tecum, for example, not only was the government apparently unconcerned with the confidentiality
of the grand jury investigation, but the government knew from a lengthy public report precisely
what it might replicate through a grand jury investigation. /d. Not so with respect to the Litigation,
which resulted in no such report, no trial, and limited public filings.
For all of these reasons, and for the reasons set forth in the Application, the Government
respectfully requests that the Court grant the Application.
Respectfully submitted,
GEQ@FFREY S. BERMAN
United States Attorney
Alex Rossmiller
Assistant United States Attorney
Tel.: (212) 637-2415
Enclosure
CONFIDENTIAL nN en oononens
DOJ-OGR-00003555
Document Details
| Filename | DOJ-OGR-00003555.jpg |
| File Size | 769.8 KB |
| OCR Confidence | 93.4% |
| Has Readable Text | Yes |
| Text Length | 2,225 characters |
| Indexed | 2026-02-03 16:38:05.104397 |