Motion to Seal Reply for Defendant Examination

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PDF Motion to Seal Reply for Defendant ExaminationDefendant Mental Examination
court Court Filing Idaho 4

Named in this document

  • Joshua Hurwit Person
  • Ashley Jennings Person
  • Bryan Kohberger Person
  • Jennifer Keyes Person
Electronically Filed
5/1/2025 3:09 PM

Fourth Judicial District, Ada County Trent Tripple, Clerk of the Court
By: Jennifer Keyes, Deputy Clerk
LATAH COUNTY PROSECUTOR'S OFFICE

WILLIAM W. THOMPSON, JR., ISB No. 2613
PROSECUTING ATTORNEY

ASHLEY S. JENNINGS, ISB No. 8491
SENIOR DEPUTY PROSECUTING ATTORNEY

JOSHUA D. HURWIT, ISB. No. 9527
SPECIAL DEPUTY PROSECUTING ATTORNEY

Latah County Courthouse 522 S. Adams Street, Ste. 211 Moscow, ID 83843
Phone: (208) 883-2246 paservice@latahcountyid.gov
IN THE DISTRICT COURT OF THE FOURTH JUDICIAL DISTRICT OF THE
STATE OF IDAHO, IN AND FOR THE COUNTY OF ADA

STATE OF IDAHO, Case No. CR01-24-31665 Plaintiff,
MOTION TO SEAL REPLY IN

SUPPORT OF STATE'S

V. MOTION FOR EXAMINATION

OF DEFENDANT PURSUANT TO

BRYAN CHRISTOPHER KOHBERGER, IDAHO CODE §18-207 AND FOR

Defendant. AN EXTENSION OF TIME TO
COMPLETE REBUTTAL

PENALTY PHASE EXPERT

DISCLOSURES

COME NOW the State of Idaho, by and through the Latah County Prosecuting Attorney and hereby moves the Court pursuant to Idaho Court Administrative Rule 32 (g) (1) and Idaho Code 74-124 (b) for an Order Sealing the State's Reply in Support of State's Motion for Examination of Defendant Pursuant to Idaho Code §18-207and for an Extension of Time to Complete Rebuttal Penalty Phase Expert Disclosures filed herein for the following reasons:
The filing reveals personal private information of defendant (Idaho Code 74-124 (b)) and affects his privacy interests (Idaho Court Administrative Rule 32 (g) (1)). Specifically, the
MOTION TO SEAL REPLY IN SUPPORT OF STATE'S MOTION FOR EXAMINATION OF
DEFENDANT PURSUANT TO IDAHO CODE §18-207 AND FOR AN EXTENSION OF TIME
TO COMPLETE REBUTTAL PENALTY PHASE EXPERT DISCLOSURES 1

filing reveals mental health information about defendant, including psychological, psychiatric, and neurological information and diagnoses of defendant.

The filing also reveals the nature of mental condition examinations already conducted and the type of examinations and testing the State seeks to perform, some of which is personality testing to which defendant objects.

RESPECTFULLY SUBMITTED this 1st day of May 2025.

WILLIAM W. THOMPSON, JR. JOSHUA D. HURWIT

Prosecuting Attorney Special Deputy Prosecuting Attorney
MOTION TO SEAL REPLY IN SUPPORT OF STATE'S MOTION FOR EXAMINATION OF
DEFENDANT PURSUANT TO IDAHO CODE §18-207 AND FOR AN EXTENSION OF TIME
TO COMPLETE REBUTTAL PENALTY PHASE EXPERT DISCLOSURES 2

CERTIFICATE OF DELIVERY

I hereby certify that true and correct copies of the MOTION TO SEAL REPLY IN
SUPPORT OF STATE'S MOTION FOR EXAMINATION OF DEFENDANT

PURSUANT TO IDAHO CODE §18-207 AND FOR AN EXTENSION OF TIME TO
COMPLETE REBUTTAL PENALTY PHASE EXPERT DISCLOSURES were served on the following in the manner indicated below:
Anne Taylor Mailed Attorney at Law ☑ E-filed & Served / E-mailed PO Box 2347 Faxed Coeur d'Alene, ID 83816 info@annetaylorlaw.com Hand Delivered Dated this 1st day of May 2025.

MOTION TO SEAL REPLY IN SUPPORT OF STATE'S MOTION FOR EXAMINATION OF
DEFENDANT PURSUANT TO IDAHO CODE §18-207 AND FOR AN EXTENSION OF TIME
TO COMPLETE REBUTTAL PENALTY PHASE EXPERT DISCLOSURES 3