InvestorsHub Logo
Followers 44
Posts 4391
Boards Moderated 0
Alias Born 03/16/2013

Re: None

Friday, 08/21/2015 1:28:01 PM

Friday, August 21, 2015 1:28:01 PM

Post# of 794340
Case 1:13-cv-00465-MMS Document 233 Filed 08/21/15 Page 1 of 5
IN THE UNITED STATES COURT OF FEDERAL CLAIMS
FAIRHOLME FUNDS, INC., et al., ) ) Plaintiffs, ) )
) THE UNITED STATES, ) ) Defendant. )
(Judge Sweeney)
APPLICATION FOR ACCESS TO PROTECTED INFORMATION
Pursuant to paragraph 7 of this Court’s Amended Protective Order dated July 29, 2015 (ECF No. 217), defendant, the United States, respectfully requests that Jennifer O’Connor, James Walsh, and Allison Murphy be permitted access to information protected by the Protective Order. All of the applicants are attorneys representing the United States within the meaning of Paragraph 4 of the Protective Order, and work in the Office of the White House Counsel. Counsel for the United States has consulted with counsel for plaintiffs, Fairholme Funds, Inc., et al. (Fairholme), who has indicated that Fairholme does not oppose these applications for access to protected information.
Respectfully submitted,
BENJAMIN C. MIZER
Principal Deputy Assistant Attorney General
s/ Robert E. Kirschman, Jr. ROBERT E. KIRSCHMAN, JR. Director
s/ Kenneth M. Dintzer KENNETH M. DINTZER Deputy Director
Commercial Litigation Branch Civil Division
U.S. Department of Justice P.O. Box 480
???
August 21, 2015
Ben Franklin Station
Washington, D.C. 20044 Telephone: (202) 616-0385 Facsimile: (202) 307-0973 Email: Kenneth.Dintzer@usdoj.gov
Attorneys for Defendant