Doc 119; Robel Motion to Seal Docs 041114

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UNITED STATES DISTRICT COURT DISTRICT OF MASSACHUSETTS _____________________________ ) UNITED STATES OF AMERICA ) ) V. ) Doc. No 13 CR 10238 ) ROBEL KIDANE PHILLIPOS ) _____________________________ ) DEFENDANT’S MOTION TO FILE THE ACCOMPANYING MOTION UNDER SEAL The Defendant, Robel Phillipos, through his undersigned counsel, respectfully requests that this Court enter an order sealing the exhibits accompanying his Motion to Dismiss and attached Memoranda of Law. As grounds for this motion the defendant states: 1. The Exhibits contain confidential records from the Federal Bureau of Investigation that should not be subject to public disclosure. 2. Additionally, the exhibits contain references to the names of certain unindicted individuals, whose names should similarly not be subject to public disclosure. WHEREFORE, the Defendant prays the Court to allow the Motion to Dismiss Exhibits to remain impounded until further order of the Court. Respectfully submitted Robel Phillipos By his attorneys, /s/ Derege Demissie______________ DEREGE B. DEMISSIE DEMISSIE & CHURCH 929 Massachusetts Avenue, Suite 101 Cambridge, MA 02139 Ph: (617) 354-3944 Fax: (617) 354-0985 Dated: April 11, 2014 Case 1:13-cr-10238-DPW Document 119 Filed 04/11/14 Page 1 of 2

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Doc 119; Robel Motion to Seal Docs 041114

Transcript of Doc 119; Robel Motion to Seal Docs 041114

Page 1: Doc 119; Robel Motion to Seal Docs 041114

UNITED STATES DISTRICT COURT DISTRICT OF MASSACHUSETTS

_____________________________ ) UNITED STATES OF AMERICA ) ) V. ) Doc. No 13 CR 10238 ) ROBEL KIDANE PHILLIPOS ) _____________________________ )

DEFENDANT’S MOTION TO FILE THE ACCOMPANYING MOTION UNDER SEAL

The Defendant, Robel Phillipos, through his undersigned counsel, respectfully requests

that this Court enter an order sealing the exhibits accompanying his Motion to Dismiss and

attached Memoranda of Law. As grounds for this motion the defendant states:

1. The Exhibits contain confidential records from the Federal Bureau of Investigation

that should not be subject to public disclosure.

2. Additionally, the exhibits contain references to the names of certain unindicted

individuals, whose names should similarly not be subject to public disclosure.

WHEREFORE, the Defendant prays the Court to allow the Motion to Dismiss Exhibits

to remain impounded until further order of the Court.

 Respectfully submitted Robel Phillipos By his attorneys, /s/ Derege Demissie______________ DEREGE B. DEMISSIE DEMISSIE & CHURCH 929 Massachusetts Avenue, Suite 101 Cambridge, MA 02139 Ph: (617) 354-3944 Fax: (617) 354-0985

Dated: April 11, 2014

Case 1:13-cr-10238-DPW Document 119 Filed 04/11/14 Page 1 of 2

Page 2: Doc 119; Robel Motion to Seal Docs 041114

UNITED STATES DISTRICT COURT DISTRICT OF MASSACHUSETTS

_____________________________ ) UNITED STATES OF AMERICA ) ) V. ) Doc. No 13 CR 10238 ) ROBEL KIDANE PHILLIPOS ) _____________________________ )

CERTIFICATE OF SERVICE

I hereby certify that this document, which has been filed through the ECF system will be sent electronically to the registered participants as identified on the Notice of Electronic Filing (NEF), and paper copies will be sent to those indicated as non registered participants on April 11, 2014.

Respectfully submitted Robel Phillipos By his attorneys, /s/ Derege Demissie______________ DEREGE B. DEMISSIE DEMISSIE & CHURCH 929 Massachusetts Avenue, Suite 101 Cambridge, MA 02139 Ph: (617) 354-3944 Fax: (617) 354-0985

Dated: April 11, 2014

Case 1:13-cr-10238-DPW Document 119 Filed 04/11/14 Page 2 of 2