Court Filing
CR29-22-2805 CASE NO. 6 / 26 / 23 @ 3: 03pm CLERK OF DISTRICT COURT LATANT COUNTY LATAH COUNTY PROSECUTOR'S OFFICE DEPUTY WILLIAM W. THOMPSON, JR., ISB No. 2613 PROSECUTING ATTORNEY ASHLEY S. JENNINGS SENIOR DEPUTY PROSECUTOR, ISB No. 8491 Latah County Courthouse P.O. Box 8068 Moscow, Idaho 83843-0568 (208) 883-2246 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 REQUEST FOR TIME TO RESPOND TO DEFENDANT'S THIRD MOTION TO COMPEL DISCOVERY AND SUPPORTING DECLARATIONS V. (No Objection) BRYAN C. KOHBERGER Defendant. COMES NOW the State of Idaho, by and through the Latah County Prosecuting Attorney, and hereby requests an extension of time to respond to the following recent filings: (1) " Objection to State's Motion for Protective Order "; (2) " Defendant's Third Motion to STATE'S REQUEST FOR TIME TO RESPOND TO DEFENDANT'S THIRD MOTION TO COMPEL DISCOVERY; SUPPORTING DECLARATIONS 1 Compel Discovery " (3) " Declaration of Anne C. Taylor in Support of Defendant's Third Motion to Compel "; (4) " Notice of Filing Declaration of Bicka Barlow in Support of Defendant's Third Motion to Compel " filed June 22, 2023; (5) " Notice of Filing Declaration of Stephen B. Mercer in Support of Defendant's Third Motion to Compel " filed on June 22, 2023. As background, on May 3, 2023, the Defendant filed a Third Supplemental Request for Discovery. On May 12, 2023, the State filed a response indicating it would be filing a Motion for Protective Order. On June 16, 2023, the State filed a Motion for Protective Order. On June 22, 2023 (last Thursday), the Defendant filed: (1) " Objection to State's Motion for Protective Order "; (2) " Defendant's Third Motion to Compel Discovery "; (3) " Declaration of Anne C. Taylor in Support of Defendant's Third Motion to Compel "; (4) " Notice of Filing Declaration of Bicka Barlow in Support of Defendant's Third Motion to Compel "; and (5) " Notice of Filing Declaration of Stephen B. Mercer in Support of Defendant's Third Motion to Compel. " On Friday, June 23, 2023, the Defendant also filed a " Motion to Shorten Time. " The State is entitled to a reasonable opportunity to review and respond to the above filings. Based on the above the State requests the Court continue the hearing scheduled for June 27, 2023 regarding the Defendant's Third Motion to Compel and the State's Motion for Protective Order so the State is granted a reasonable amount of time to reply to the Defendant's recent filings. Defendant's attorney, Anne Taylor, has relayed to the State she has no objection to STATE'S REQUEST FOR TIME TO RESPOND TO DEFENDANT'S THIRD MOTION TO COMPEL DISCOVERY; SUPPORTING DECLARATIONS 2 ! this motion. RESPECTFULLY SUBMITTED this day of June, 2023. Ashley Ashley S. Jennings Jen Senior Deputy Prosecuting Attorney STATE'S REQUEST FOR TIME TO RESPOND TO DEFENDANT'S THIRD MOTION TO COMPEL DISCOVERY; SUPPORTING DECLARATIONS 3 CERTIFICATE OF DELIVERY I hereby certify that a true and correct copy of the foregoing STATE'S REQUEST FOR TIME TO RESPOND TO DEFENDANT'S THIRD MOTION TO COMPEL DISCOVERY AND SUPPORTING DECLARATIONS was delivered to the following as indicated: Anne Taylor Mailed Attorney at Law E-filed & Served / E-mailed PO Box 9000 Faxed Coeur D Alene, ID 83816-9000 Hand Delivered Dated this 116 day of June, 2023. STATE'S REQUEST FOR TIME TO RESPOND TO DEFENDANT'S THIRD MOTION TO COMPEL DISCOVERY; SUPPORTING DECLARATIONS 4