Court Filing
Electronically Filed 12/19/2024 5:54 PM Fourth Judicial District, Ada County Trent Tripple, Clerk of the Court By: Jennifer Keyes, Deputy Clerk Anne Taylor Law, PLLC Anne C. Taylor, Attorney at Law PO Box 2347 Coeur d'Alene, Idaho 83816 Phone: (208) 512-9611 iCourt Email: info@annetaylorlaw.com Jay W. Logsdon, First District Public Defender Idaho State Public Defender 1450 Northwest Blvd. Coeur d'Alene, Idaho 83814 Phone: (208) 605-4575 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, Attorney at Law, Bar Number: 5836 Jay W. Logsdon, First District Public Defender, Bar Number: 8759 Elisa G. Massoth, Attorney at Law, Bar Number: 5647 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 REPLY IN SUPPORT OF Plaintiff, DEFENDANT'S MOTION ΤΟ SUPPRESS AND MEMORANDUM IN SUPPORT V. RE: ARREST WARRANT, ID SEARCH WARRANT FOR DEFENDANT'S BRYAN C. KOHBERGER, PERSON, PA SEARCH WARRANT FOR DEFENDANT'S PERSON, SEARCH WARRANT FOR WA APARTMENT, Defendant. AND PA SEARCH WARRANT FOR HYUNDAI ELANTRA COMES NOW, Bryan C. Kohberger, by and through his attorneys of record, and submits the following Reply in support of the following five motions: REPLY IN SUPPORT OF DEFENDANT'S MOTION TO SUPPRESS AND MEMORANDUM IN SUPPORT RE: ARREST WARRANT, ETC. Page 1 1. Defendant's Motion to Suppress and Memorandum in Support Re: Arrest Warrant; 2. Defendant's Motion to Suppress and Memorandum in Support Re: [Idaho] Search Warrant for Mr. Kohberger's Person; 3. Defendant's Motion to Suppress and Memorandum in Support Re: [Pennsylvania] Search Warrant for Mr. Kohberger's Person; 4. Defendant's Motion to Suppress and Memorandum in Support Re: Search Warrant for Defendant's Apartment [in Washington]; and 5. Defendant's Motion to Suppress and Memorandum in Support Re: Pennsylvania Search Warrant for White Hyundai Elantra Bearing VIN: 5NPDH4AE6FH579860. I. No Arguments Made in Objections Thus No Reply Needed. In response to the State's objections to these motions Defendant refers the Court to and hereby incorporates “ Defendant's Reply in Support of Defendant's Motion and Memorandum in Support for a Franks Hearing. " Further, no specific arguments were made by the State in their objections to these five motions. Thus, no replies are necessary. CONCLUSION Mr. Kohberger requests that this Court suppress all evidence obtained by police via the arrest warrant, the Idaho search warrant for Mr. Kohberger's person, the Pennsylvania search warrant for Mr. Kohberger's person, the search warrant for Defendant's apartment in Washington, and the Pennsylvania search warrant for the White Hyundai Elantra. DATED this_19_day of December, 2024. BY: / s / Elisa G. Massoth Elisa G. Massoth REPLY IN SUPPORT OF DEFENDANT'S MOTION TO SUPPRESS AND MEMORANDUM IN SUPPORT RE: ARREST WARRANT, ETC. Page 2 CERTIFICATE OF DELIVERY I hereby certify that a true and correct copy of the foregoing was personally served as indicated below on the 19 day of December, 2024 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 Jeffery Nye, Deputy Attorney General – via Email: Jeff.nye@ag.idaho.gov Dul REPLY IN SUPPORT OF DEFENDANT'S MOTION TO SUPPRESS AND MEMORANDUM IN SUPPORT RE: ARREST WARRANT, ETC. Page 3