Motion Requesting Additional Deadlines

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Named in this document

  • Bryan Kohberger Person
  • Anne Taylor Person
  • Elsa G. Massoth Person
  • Jay Logsdon Person
  • Julie Fry Person
  • Tamzen Reeves Person
Electronically Filed
3/6/2024 4:07 PM

Second Judicial District, Latah County Anne C. Taylor, Public Defender Julie Fry, Clerk of the Court Kootenai County Public Defender By: Tamzen Reeves, Deputy Clerk PO Box 9000 Coeur d'Alene, Idaho 83816
Phone: (208) 446-1700; Fax: (208) 446-1701
Bar Number: 5836 iCourt Email: pdfax@kcgov.us Elisa G. Massoth, PLLC Attorney at Law P.O. Box 1003 Payette, Idaho 83661
Phone: 208-642-3797; Fax: 208-642-3799 Assigned Attorney:
Anne C. Taylor, Public Defender, Bar Number: 5836 Jay W. Logsdon, Chief Deputy Public Defender, Bar Number: 8759 Elisa G. Massoth, Attorney at Law, Bar Number: 5647
IN THE DISTRICT COURT OF THE SECOND JUDICIAL DISTRICT OF THE
STATE OF IDAHO, IN AND FOR THE COUNTY OF LATAН

STATE OF IDAHO CASE NUMBER CR29-22-2805

Plaintiff, MOTION REQUESTING ADDITIONAL
DEADLINES

V.

BRYAN C. KOHBERGER,

Defendant.

COMES NOW, Bryan C. Kohberger, by and through his attorneys, and hereby requests this Court for additional deadlines. The Court's current Order Setting Deadlines governs deadlines for additional alibi disclosures; Change of Venue motion briefing, witness lists and evidence for both sides for the Change of Venue Motion; State's discovery; and Defense discovery. Mr. Kohberger respectfully requests the court set additional deadlines:
1. Expert disclosures including required filings under Idaho Criminal Rule 16 and Idaho Rules of Evidence 702, 703 and 705.

a. State: October 2024 b. Defense: January 2025 c. Both sides all further disclosures, including rebuttal: March 2025 MOTION REQUESTING ADDITIONAL DEADLINES Page 1

2. Defense Motions Regarding the Death Penalty:
a. Filed by November 2024 b. Response by December 2024 c. Hearing in January 2025
3. Motions: (12 (b)) a. Filed by: January 2025 b. Response by: February 2025 c. Hearing: March / April 2025
4. Motions in Limine ' a. Filed by: March 2025 b. Responses by: April 2025 c. Hearing: May 2025
5. Exhibits:
a. By: March 2025 b. Challenges: April 2025 Counsel requests the current Order for Mitigation discovery be extended to March 2025.

Counsel respectfully makes this request to establish deadlines that will keep Mr.

Kohberger's case moving forward and allow for his defense team to be prepared.

DATED this 6 day of March, 2024.

ANNE C. TAYLOR, PUBLIC DEFENDER

KOOTENAI COUNTY PUBLIC DEFENDER

an
BY:

ANNE C. TAYLOR

PUBLIC DEFENDER

CERTIFICATE OF DELIVERY

I hereby certify that a true and correct copy of the foregoing was personally served as indicated below on the 6 day of March, 2024 addressed to:
Latah County Prosecuting Attorney –via Email: paservice@latahcountyid.gov
Elisa Massoth-via Email: legalassistant@kmrs.net Dul MOTION REQUESTING ADDITIONAL DEADLINES Page 2