Google LLC ountain View, California 94043 Google 09/01/20 em ureal l.M.ivestigation New York, NY 10278 Re: Grand Jury Subpoena dated August 26, 2020 (Google Ref. No. 3971083) 2018R01618; 20 MAG 9134 Dear www.google.com Pursuant to the Grand Jury Subpoena issued in the above-referenced matter, we have conducted a diligent search for documents and information accessible on Google's systems that are responsive to your request. Our response is made in accordance with state and federal law, including the Electronic Communications Privacy Act. See 18 U.S.C. § 2701 et seq. Accompanying this letter is responsive information to the extent reasonably accessible from our system associated with the Google account(s) that used as Google account sign-in(s) as specified in the Grand Jury Subpoena. We have also included a signed Certificate of Authenticity which includes a list of hash values that correspond to each file contained in the production. Google may not retain a copy of this production but does endeavor to keep a list of the files and their respective hash values. To the extent any document provided herein contains information exceeding the scope of your request, protected from disclosure or otherwise not subject to production, if at all, we have redacted such information or removed such data fields. Google objects and has not produced records associated with Google accounts for which you have not expressly provided an account identifier or which derive from records or other information of the subject account(s) that you seek to have Google search. Because this exceeds the scope of 18 U.S.C. § 2703(c)(2), Google requires a court order pursuant to 18 U.S.C. § 2703(d) based on specific and articulable facts showing that the accounts linked by secondary email address are relevant and material to your investigation for the duration of the time period requested. Moreover, bulk requests for information about a large number of unidentified or uns