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U.S. Department of Justice |
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Channing D. Phillips |
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Acting United States Attorney |
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District of Columbia |
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Judiciary Center |
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555 Fourth St., N.W. |
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Washington, D.C. 20530 |
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October 13, 2021 |
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Via Email |
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Steven Kiersh |
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Counsel for John Earle Sullivan 5335 Wisconsin Avenue, N.W., Suite 440 Washington, D.C. 20015 skiersh@aol.com |
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Re: United States v. John Earle Sullivan |
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Case No. 1:21- cr-00078- EGS |
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Dear Counsel: |
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The enclosed letter memorializes the provision of the following additional discovery in |
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this case, via filesharing, on October 13, 2021: |
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1. Intuit subpoena returns (41 files) |
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2. YouTube search warrant and return |
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3. MARKE D SENSITIVE: Videos obtained from other Capitol |
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investigations ( 8 files): |
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a. D-9 β 1 video |
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b. D-11 β 2 videos |
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c. D-12 β 4 videos |
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d. D-13 β 1 video |
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4. MARKED SENSITIVE: Officer interview transcripts (2 files) |
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5. FBI e xhibits used in February 10, 2021 officer interviews (2 files) |
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6. Deseret article with interview of defendant |
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7. Petitio n by defendant |
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8. Open -source CSPAN video excerpt from Statuary Hall |
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The discovery is unencrypted . Please contact me if you have any issues accessing the |
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information, and to confer regarding pretrial discovery as provided in Fed. R. Crim. P. 16.1. |
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Case 1:21-cr-00078-EGS Document 50-1 Filed 10/13/21 Page 1 of 22 |
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This material is being provided pursuant to the Protective Order issued in this case. |
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Please adhere to sensitivity markings. |
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I will forward additional discovery as it becomes available. If you have any questions, please feel free to contact me. |
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Sincerely, |
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_______________________ |
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Candice C. Wong |
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Assistant United States Attorney |
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202-252-7849 |
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Candice.wong@usdoj.gov |
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Case 1:21-cr-00078-EGS Document 50-1 Filed 10/13/21 Page 2 of 2 |