IN RE: GUANTANAMO BAY DETAINEE LITIGATION

Filing 470

NOTICE of Filing of MOU and Acknowledgment Required Pursuant to Protective Order Dated September 11, 2008 by AHAMED ABDUL AZIZ, AHMMED GHULAM RABBANI re (409 in 1:08-mc-00442-TFH) Order (Kaplan, Matthew)

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IN RE: GUANTANAMO BAY DETAINEE LITIGATION Doc. 470 EXHIBIT A UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA IN RE: GUANTANAMO BAY DETAINEE LITIGATION Misc. No. 08-0442 (TFH) Civil Action No. 05-492-JR 05-1607-RMU MEMORANDUM OF UNDERSTANDING REGARDING ACCESS TO CLASSIFIED NATIONAL SECURITY INFORMATION Having familiarized myself with the applicable statutes, regulations, and orders related to, but not limited to, unauthorized disclosure of classified information, espionage and related offenses; The Intelligence Identities Protection Act, 50 U.S.C. § 421; 18 U.S.C. § 641; 50 U. S. C. § 783; 28 C.F.R. § 17 et seq.; and Executive Order 12958; I understand that I may be the recipient of information and documents that belong to the United States and concern the pr esent and future security of the United States, and that such documents and information together with the methods and sources of collecting it are classified by the United States gover nment. In consideration for the disclosure of classified information and documents: (1) I agree that I shall never divulge, publish, or reveal either by word, conduct or any other means, such classified documents and information unless specifically author ized in writing to do so by an authorized representative of the United States government, or as expressly authorized by the Protective Order entered in the United States District Court for the District of Columbia in the abovecaptioned cases. I agree that this Memorandum of Understanding and any other non-disclosure agr eement signed by me will remain forever binding on me. I have received, read, and understand the Protective Order entered by the United States District Court for the District of Columbia in the above-captioned cases, and I agree to comply with the provisions thereof. (2) (3) 9/16/2008 Dated: ____________________ __________________________________________ Dockets.Justia.com EXHIBIT B ACKNOWLEDGMENT The undersigned hereby acknowledges that he/she has read the Protective Order first enter ed on September 11, 2008, in the United States District Court for the District of Columbia in the consolidated cases captioned In re Guantanamo Bay Detainee Litigation, No. 08-mc-0442, understands its terms, and agrees to be bound by each of those terms. Specifically, and without limitation, the undersigned agrees not to use or disclose any pr otected information or documents made available to him/her other than as provided by the Pr otective Order. The undersigned acknowledges that his/her duties under the Protective Order shall survive the termination of this case and are permanently binding, and that failure to comply with the terms of the Protective Order may result in the imposition of sanctions by the Cour t. 9/16/2008 Matthew B. Kaplan DATED: ____________________ BY: ____________________________________________ (type or print name) SIGNED: _______________________________________

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