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Case 1:20-cr-00330-PAE
LBNAMAXTps
Document 536
Filed 12/10/21
So defense seeks to preclude,
Exhibit 52.
Government
think this needs
witness testimony and
what
understand it --
as L
have this wrong. The
Ms.
is for you, Comey
'm no
to play out at
anticipated test
—-- the anticipat
this exact book but a similar-—-looking book,
similar, binding, pages,
font,
eUc.,
and she can attempt to au
t going to preclude,
trial.
I'll allow voir dire,
Page 16 of 43 16
in motion in limine 7,
but I do
I need to hear the
given factually
I understand to be the issues surrounding this item,
the witness is going to -- tell
wa
similarities between what is Government
Is that the idea?
Saw.
MS. MOE:
witness has not been informed about
the government's possession, I
That's correct,
jus
in particular,
thing,
of the -—- you know,
it as one in a series,
government's possession,
TH
mal
COURT:
frame,
this wouldn't hav
but doesn't
it's
been
just
th
your
how
timony,
and
me if
Ms. Comey -- this
ted testimony is that not
characteristically
s seen by this witness,
thenticate by describing the
Exhibit 52 and what she
Honor. Because this
that exhibit came into
which is that this witness won't
wan
ted to clarify one small
say that this isn't one
recognizes
that because sh
know how it came to the
iden
tifying it in that way.
So your understanding is,
on
by the time
that she saw, but she
won't know that because you anticipate her testimony to be
ther
wer
MS. MOE:
several versions of
these and they are all the same.
That's correct,
your
Honor.
SOUTHERN
D
STR
CT R
G
PORT
ERS, PC.
(212)
805-0300
DOJ-OGR-00008326