UNITED STATES DISTRICT COURT DISTRICT OF MASSACHUSETTS _____________________________ ) UNITED STATES OF AMERICA ) ) V. ) Doc. No 13 CR 10238 ) ROBEL KIDANE PHILLIPOS ) _____________________________ )
MOTION TO SEAL
MOTION TO SEVER
NOW COMES the Defendant, Robel Kidane Phillipos, who, by and through undersigned counsel, respectfully moves this Honorable Court, to place his Motion to Sever under seal. As grounds for this Motion, the Defendant states as follows: 1.
The Motion to Sever includes references to official Federal Bureau of Investigation reports that should not be subject to public disclosure at this time. 2.
The Defendant has provided an electronic copy of the Motion to Sever to the Government and has mailed a copy to the Court to be placed under seal. WHEREFORE, the Defendant moves this Court to place his Motion to Sever under seal and keep said document 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 25, 2014
Case 1:13-cr-10238-DPW Document 151 Filed 04/25/14 Page 1 of 2