United States v. Wright, 625 F.3d 583 (9th Cir. 2010)
Key Insight: Court reasoned that the Adam Walsh Act?s requirement that defendant have ?ample access? to examine child pornography evidence did not mean ?equal access? and ruled that where defendant?s expert was given access to the evidence under certain conditions (including time and place restrictions) but not provided with a mirror image of the drive to examine at will and where the expert was expressly ?comfortable? with that arrangement and was afforded 14 months to examine the evidence, ?ample access? was provided
Nature of Case: Child Pornography
Electronic Data Involved: Hard drive containing the pornographic images