Renewed War on Drugs, harsher charging policies, stepped-up criminalization of immigrants — in the current climate, joining the NACDL is more important than ever. Members of NACDL help to support the only national organization working at all levels of government to ensure that the voice of the defense bar is heard.
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NACDL is committed to enhancing the capacity of the criminal defense bar to safeguard fundamental constitutional rights.
NACDL harnesses the unique perspectives of NACDL members to advocate for policy and practice improvements in the criminal legal system.
NACDL envisions a society where all individuals receive fair, rational, and humane treatment within the criminal legal system.
NACDL’s mission is to serve as a leader, alongside diverse coalitions, in identifying and reforming flaws and inequities in the criminal legal system, and redressing systemic racism, and ensuring that its members and others in the criminal defense bar are fully equipped to serve all accused persons at the highest level.
Showing 1 - 15 of 43 results
How to Challenge NSA Terrorism Spying in Non-Terrorism Cases and The NSA Leaks: FISA 702 and PATRIOT 215 Litigation Strategies
Government’s Response to Defendant’s Motion for Full Discovery Regarding Surveillance
U.S. v. Mohamed Osman Mohamud 3:10-cr-00475-KI (D. Ore.)
Memorandum of Law in Support of Plaintiffs’ Motion for a Preliminary Injunction
ACLU v. Clapper 1:13-cv-03994-WHP (S.D.N.Y.)
Memorandum In Support Of Motion For Summary Judgment
Amnesty, Int'l v. Clapper 1:08-cv-06259-JGK (S.D.N.Y.)
Reply to Government’s Opposition to Defendants’ Joint Motion Pursuant to Rule 33, Fed. R. Crim. P., for a New Trial
U.S. v. Basaaly Moalin 3:10-cr-04246-JM (S.D. Cal.)
United States' Response and Opposition to Defendants' Joint Motion for New Trial
Statement of Facts and Memorandum of Points and Authorities In Support Of Joint Motion Pursuant to Rule 33, Fed. R. Crim. P., for a New Trial
Created by Joe Ferguson, Loyola University Chicago School of Law
Brief Amici Curiae of ACLU, ACLU of Northern California and Electronic Frontier Foundation in Support of Defendants' Motion to Compel Discovery
U.S. v. Diaz-Rivera 12-cr-00030-EMC/EDL (N.D. Cal.)
United States’ Opposition to Defendant’s Motion to Compel Discovery
U.S. v. Fortunato Rodelo Lara 3:12-cr-00030-EMC (N.D. Cal.)
Notice of Motion and Motion to Compel Discovery
Defendant’s Motion to Suppress Evidence Obtained or Derived from Surveillance Under the FISA Amendments Act and Motion for Discovery
U.S. v. Jamshid Muhtorov 1:12-cr-00033-JLK (D. Colo.)
2012
NACDL is writing to offer its qualified support for the Manager’s Substitute Amendment to the Email Privacy Act (H.R. 699). As amended, the Act updates the Electronic Communications Privacy Act (ECPA), the law that sets standards for government access to private internet communications, to reflect internet users’ reasonable expectations of privacy with respect to emails, texts, notes, photos, and other sensitive information stored in “the cloud.”
NACDL frequently writes to members of Congress, the Department of Justice, and the president on fourth amendment issues. These letters have been collected and are available for download by clicking on the titles below.