Motion for Leave to File Additional Expert Disclosures

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PDF Motion for Leave to File Additional Expert DisclosuresExpert Witness Disclosure
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Named in this document

  • Bryan Kohberger Person
  • Bicka Barlow Person
  • Jay Logsdon Person
  • Anne Taylor Person
  • Elsa G. Massoth Person
  • Jennifer Keyes Person
  • Mr. Nye Person
Electronically Filed
3/3/2025 10:56 AM

Fourth Judicial District, Ada County Anne Taylor Law, PLLC Trent Tripple, Clerk of the Court
By: Jennifer Keyes, Deputy Clerk Anne C. Taylor, Attorney at Law PO Box 2347 Coeur d'Alene, Idaho 83816
Phone: (208) 512-9611 iCourt Email: info@annetaylorlaw.com Elisa G. Massoth, PLLC Attorney at Law P.O. Box 1003 Payette, Idaho 83661
Phone: (208) 642-3797; Fax: (208)642-3799 Bicka Barlow Pro Hac Vice 2358 Market Street San Francisco, CA 94114
Phone: (415) 553-4110 Assigned Attorney:
Anne C. Taylor, Attorney at Law, Bar Number: 5836 Elisa G. Massoth, Attorney at Law, Bar Number: 5647 Bicka Barlow, Attorney at Law, CA Bar Number: 178723 Jay W. Logsdon, First District Public Defender, Bar Number: 8759
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 NUMBER CR01-24-31665

Plaintiff,
DEFENDANT'S MOTION FOR LEAVE

V. ΤΟ FILE ADDITIONAL EXPERT

WITNESS DISCLOSURES

BRYAN C. KOHBERGER,

Defendant.

COMES NOW, Bryan C. Kohberger, by and through his attorneys of record, and hereby moves the Court for leave from the court's Sealed Order Governing Further Criminal Proceedings and Notice of Trial Setting filed 10/09/2024. Defense Counsel is asking for leave to file a 2nd Supplemental Response to Request for Discovery Regarding Expert Witnesses: Shutler and Howell.

DEFENDANT'S MOTION FOR LEAVE TO FILE

ADDITIONAL EXPERT WITNESS DISCLOSURES PAGE-1

Mr. Kohberger requests leave to provide additional experts to meet new disclosures in the State's rebuttal expert disclosure in part and the State's lack of any real disclosure in part. These two additional experts are necessary to protect Mr. Kohberger's rights under the United States Constitution, Amendments, 5, 6 and 14 and the Idaho Constitution, Article I section 13. This motion is made in case the State is allowed to produce vague, late or undisclosed testimony.

Should the Court require a hearing on this matter, counsel requests 30 minutes to present oral argument, evidence and / or testimony in support thereof.

DATED this 3 day of March, 2025.

ANNE C. TAYLOR

ANNE TAYLOR LAW, PLLC

CERTIFICATE OF DELIVERY

I hereby certify that a true and correct copy of the foregoing was personally served as indicated below on the 3 day of March, 2025 addressed to:
Latah County Prosecuting Attorney –via Email: paservice@latahcountyid.gov Elisa Massoth – via Email: legalassistant@kmrs.net Jay Logsdon – via Email: Jay.Logsdon@spd.idaho.gov Bicka Barlow, Attorney at Law – via Email: bickabarlow@sbcglobal.net Jeffery Nye, Deputy Attorney General – via Email: Jeff.nye@ag.idaho.gov Dul
DEFENDANT'S MOTION FOR LEAVE TO FILE

ADDITIONAL EXPERT WITNESS DISCLOSURES PAGE-2