Documenti di Didattica
Documenti di Professioni
Documenti di Cultura
District of Columbia
SUBPOENA TO TESTIFY BEFORE A GRAND JURY
YOU ARE COMMANDED to appear in this United States district court at the time, date, and place shown
below to testify before the court's grand jury. When you arrive, you must remain at the court until the judge or a court
officer allows you to leave.
You must also bring with you the following documents, electronically stored information, or objects:
The name, address, telephone number and email of the Assistant U.S. Attorney, who requests this subpoena, are:
Documents to be Produced
1. Any and all documents relating to Donald A. MacCord, including his current or former
agents, employees, representatives, or relatives.
2. Any and all documents relating to efforts to obtain business, contracts, benefits, or
permiuing with or within the District of Columbia, or efforts to obtain revisions,
clarifications, or promulgation of policies, regulations, or rules by the District of Columbia,
by the following entities, or any of their current or former agents, staffers, employees,
subsidiaries, affiliates, representatives, related entities, successors, or assigns:
a. Branded Cities;
b. Digi Holdings, LLC;
c. Digi Media Communications, LLC;
d. Digi Outdoor, LLC;
e. Digi Outdoor Media, Inc.;
f. Digi Urban Northwest;
g. Lumen 8 Media Group;
h. NSE Consulting, LLC; and
i. Signworks, LLC.
3. Any and all documents from January 7,2014, to the present, relating to business, policy,
legislation, lobbying, or advocacy concerning commercial interior and exterior digital
signage in the District of Columbia, including but not limited the below-listed topics:
4. Any and all documents from January 7,2014, to the present, relating to Council of the
District of Columbia ("D.C. Council") Member John K. "Jack" Evans III, including his
current or former agents, staffers, employees, or representatives, concerning the
individuals, entities, and topics identified in paragraphs I through 3 of Attachment A.
Definitions
Unless explicitly indicated otherwise, the following words or phrases are used herein as
follows:
1. The term "documents" refers to any record in your possession, custody, or control, and it
includes all drafts or unfinished versions of documents.
The term "documents" includes writings or records ofevery kind or character, conveying
information by mechanical, electronic, photographic, or other means, whether encarded,
taped, stored or coded electrostatically, electromagnetically, or otherwise.
3. The term "documents" includes, but is not limited to, articles of incorporation, articles of
merger/amendment, annual reports, organization forms for partnerships, certificates of
authority/registration, operating agreements, stop work orders, lists ofemployees, financial
records, wire transfers, invoices, receipts, payments, cash payments, checks (front and
back), books of account, working papers, check requests, contracts, proposals, reports,
calendars, e-mails, text messages, cell phone records, correspondence, notes, photographs,
legislation, invitations, lobbying, work schedules, time cards, notes, quotes, bids
memoranda, minutes, summaries, telephone records, telephone message logs or slips, date
books, interoffice communications, results of investigations, videotapes, audiotapes,
microfiche, microfilm, any electronic media, computer data, and papers similar to any of
the foregoing and other writings of every kind or description.
4 A document "relating to" a given subject matter means any document or communication
that constitutes, contains, embodies, comprises, reflects, identifies, describes, analyzes, or
is in any way pertinent to that subject, including, without limitation, documents conceming
the presentation of other documents.
Privileses