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Case 1:19-cr-10331-DPW Document 12 Filed 09/17/19 Page 1 of 5

U.S. Department of Justice

Andrew E. Lelling
United States Attorney
District ofMassachusetts

Main Reception: (617) 748-3100 John Joseph Moakley United States Courthouse
1 Courthouse Way
Suite 9200
Boston, Massachusetts 02210

September 11, 2019

Dan Rabinovitz, Esq.


1 Beacon Street
Boston, MA 02108

Re: United States v. Antonio Costa


Cooperation Agreement

Dear Dan:

This letter sets forth the understanding between the United States Attorney for the District
of Massachusetts ("the U.S. Attorney") and your client, Antonio Costa ("Defendant"), concerning
Defendant's cooperation with the U.S. Attorney in the above-referenced case. This Cooperation
Agreement supplements, but does not supersede, the Plea Agreement between the parties dated
September 11, 2019 ("Plea Agreement"). Defendant and the U.S. Attorney further understand and
agree that the original of this Cooperation Agreement shall be maintained by the U.S. Attorney,
but may be later disclosed pursuant to the U.S. Attorney's discovery obligations, or submitted to
the District Court under seal, with notice to Defendant. In addition, Defendant and the U.S.
Attorney understand and agree that the U.S. Attorney will submit this Cooperation Agreement to
the U.S. Probation Office for its use in preparing the Presentence Report. Nothing in this
Cooperation Agreement affects the U.S. Attorney's obligation to provide the Court and the U.S.
Probation Office with accurate and complete information regarding this case.

The Cooperation Agreement is as follows:

1. Terms of Cooperation

Defendant agrees to cooperate fully with law enforcement agents and government
attorneys. Defendant must provide complete and truthful information to all law enforcement
personnel. If Defendant's testimony is requested, Defendant must testify truthfully and completely
before any grand jury, and at any hearing and trial. Defendant must answer all questions posed by
any law enforcement agents and government attorneys and must not withhold any inf01mation.
Defendant must not attempt to protect any person or entity through false information or omission,
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