Court Filing
CASE NO. CR29-22-2805 7 / 12 / 23 @ 7: 59am CLERK OF DISTRICT COURT LATAH COUNTY LATAH COUNTY PROSECUTOR'S OFFICE BY- DEPUTY WILLIAM W. THOMPSON, JR., ISB No. 2613 PROSECUTING ATTORNEY ASHLEY S. JENNINGS, ISB. No. 8491 SENIOR DEPUTY PROSECUTING ATTORNEY Latah County Courthouse P.O. Box 8068 Moscow, Idaho 83843-0568 (208) 883-2246 ISB No. 2613 paservice@latah.id.us IN THE DISTRICT COURT OF THE SECOND JUDICIAL DISTRICT OF THE STATE OF IDAHO, IN AND FOR THE COUNTY OF LATAH STATE OF IDAHO, Case No. CR29-22-2805 Plaintiff, STATE'S SUPPLEMENTAL RESPONSE TO DEFENDANT'S 2ND SUPPLEMENTAL REQUEST FOR DISCOVERY AND DEFENDANT'S MOTION TO COMPEL DISCOVERY V. BRYAN C. KOHBERGER Defendant. COMES NOW the State of Idaho, by and through the Latah County Prosecuting i Attorney, and submits the following supplemental response to the " Defendant's 2nd Supplemental Request for Discovery " filed on March 23, 2023 and Defendant's " Motion to Compel Discovery " filed on May 4, 2023 and in compliance with the Court's " Order on Defendant's Motion to Compel Discovery " ordered June 30, 2023. STATE'S SUPPLEMENTAL RESPONSE TO DEFENDANT'S 2ND SUPPLEMENTAL REQUEST FOR DISCOVERY AND MOTION TO COMPEL DISCOVERY 1 The State has complied with this request and has provided the following supplemental specific responses to item 160 (Defendant's 2nd Supplemental Request for Discovery) and item 6 (Motion to Compel Discovery): Bates 14536-14566 discovered on 7/11/23. These records are limited to formal POST documented trainings. Records of briefings, informal trainings and / or conversations are not documented in writing. As the State has indicated in its responses to prior discovery requests from the Defense, the State has and will continue to provide discovery in accordance with I.C.R. 16 and applicable law. DATED this th day of July, 2023. Ashley S. Jennings Senior Deputy Prosecuting Attorney STATE'S SUPPLEMENTAL RESPONSE TO DEFENDANT'S 2ND SUPPLEMENTAL REQUEST FOR DISCOVERY AND MOTION TO COMPEL DISCOVERY 2 i CERTIFICATE OF DELIVERY I hereby certify that a true and correct copy of the foregoing STATE'S SUPPLEMENTAL RESPONSE TO DEFENDANT'S 2ND SUPPLEMENTAL REQUEST FOR DISCOVERY AND MOTION TO COMPEL DISCOVERY was delivered to the following as indicated: Anne C. Taylor Mailed Kootenai County Public Defender X E-filed & Served / E-mailed Faxed Hand Delivered Dated this 12th day of July, 2023. Sawing STATE'S SUPPLEMENTAL RESPONSE TO DEFENDANT'S 2ND SUPPLEMENTAL REQUEST FOR DISCOVERY AND MOTION TO COMPEL DISCOVERY 3 !