Sam Nunberg ATTACHMENT (Grand Jury Subpoena dated February 27, 2018) INSTRUCTIONS: 1. In complying with this subpoena, you are required to produce all responsive documents that are in your possession, custody, or control, whether held by you or your past or present agent, employee or representative acting on your behalf. You are also required to produce documents that you have a legal right to obtain, that you have a right to copy, or to which you have access, as well as documents that you have placed in the temporary possession, custody or control of any third party. 2. No documents called for by this request shall be destroyed, modified, removed, transferred, or otherwise made inaccessible to the grand jury. If you have knowledge that any subpoenaed document has been destroyed, discarded or lost, identify the subpoenaed document and provide an explanation of the destruction, discarding, loss, or disposal, and the date at which the document was destroyed, discarded, or lost. 3. This subpoena is continuing in nature. Any document not produced because it has not been located or discovered by the return date shall be provided immediately upon location or discovery subsequent thereto with an explanation of why it was not located or discovered until the return date. 4. If you believe any responsive documents are protected by a privilege, please provide a privilege log which (1) identifies any and all responsive documents to which the privilege is asserted, (2) sets forth the date, type, addressee(s), author(s), general subject matter, and indicated or known circulation of the document, and (3) states the privilege asserted in sufficient detail to ascertain the validity of the claim of privilege. 5. Production with respect to each document shall include all electronic versions and data files from email applications, as well as from word processing, spreadsheet, database, or other electronic data repositories applicable to any attachments, and shall be provided to the grand jury where possible in its native file format and shall include all original metadata for each electronic documents or data file. DEFINITIONS: 1. The term “document” means all materials, whether drafts or unfinished versions, originals or nonconforming copies thereof, however created, produced or stored (manually, mechanically, electronically or otherwise), and by whomever prepared, produced, sent, dated or received, including but not limited to books, papers, files, notes, minutes, summaries, analyses, electronic Page 1 mail correspondence, memoranda, written communications, work papers, ledger sheets confirmations, invoices account statements, reports, telegrams telexes, telephone logs, notes or records of conversations or meetings contracts, agreements, calendars, date books work sheets invoices, bills records of payinent, magnetic tape, video recordings, audio recordings, disks, diskettes, and other electronic media microfilm, microfiche, storage devices appointment books diaries notices and message slips and records of any kind 2 The terms "related" and "relating" respect to any given Subject means anything that constitutes contains embodies, reflects identifies, concerns, states, refers to_ deals vvith, or is in any manner whatsoever pertinent to the Subjecl 3 The terms "including" and "includes" are not intended to exclude other types of documents that are nevertheless responsive but not specifically ldenllfied 4 Any reference to an entity includes any subsidiary, amliate, successorrinrinterest, or related corporate entity, as well as any employee, representative, contractoL amliate or vendor of such entity DESCRIPTION OF RECORDS SOUGHT BY THIS SIJBPOERA For the period November l, 2015_ to the present please provrde all documents related to the following individuals I Caner Page 2 Corey Leviandowski 3 Donald Trump 4 Hope Hicks 5 Keith Schiller 6 Michael Cohen 7 Paul Manafon 8 Rick Gates 9 Roger Stone [0 Steve Bannon In lieu niappearance, all records produced can he directed, via overnight mail, to: Federal Bureau ofInvestigation Federal Bureau oflnvestigmion Special Counsel's Otrice Special Counsel's Office -- -- 950 Avenue NW 950 Avenue NW Washington DC 20530 Washinion, DC 20530 Page 2