Court Filing
CR 29-22-2805 CASE NO. 2023 July 12 10:56 CLERK OF DSMCT COURT a.m. Anne C. Taylor, Public Defender LATAH COUNTY Kootenai County Public Defender PO Box 9000 BY DEPUTY Coeur d'Alene, Idaho 83816 Phone: (208) 446-1700; Fax: (208) 446-1701 Bar Number: 5836 iCourt Email: pdfax@kcgov.us 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, Public Defender, Bar Number: 5836 Jay W. Logsdon, Chief Deputy Public Defender, Bar Number: 8759 Elisa G. Massoth, Attorney at Law, Bar Number: 5647 IN THE DISTRICT COURT OF THE SECOND JUDICIAL DISTRICT OF THE STATE OF IDAHO, IN AND FOR THE COUNTY OF LATАН STATE OF IDAHO CASE NUMBER CR29-22-2805 Plaintiff, DEFENDANT'S 6th SUPPLEMENTAL V. REQUEST FOR DISCOVERY BRYAN C. KOHBERGER, Defendant. PLEASE TAKE NOTICE that the undersigned pursuant to Rule 16 of the Idaho Criminal Rules, the Fourth, Fifth, Sixth, Eighth and Fourteenth Amendments to the Constitution of the United States, and Article I, § 1, 2, 13 and 17 of the Constitution of the State of Idaho requests discovery and inspection of all materials discoverable by defendant per I.C.R. 16 (b) (1) - (8) and DEFENDANT'S 6th SUPPLEMENTAL REQUEST FOR DISCOVERY Page-1 the aforementioned Constitutional provisions including but not limited to the following information, evidence and materials outlined in Exhibit E. DATED this 11 day of July, 2023. ANNE C. TAYLOR, PUBLIC DEFENDER ΚΟΟΤΕΝΑI COUNTY PUBLIC DEFENDER an BY: ANNE C. TAYLOR PUBLIC DEFENDER ASSIGNED ATTORNEY CERTIFICATE OF DELIVERY I hereby certify that a true and correct copy of the foregoing was personally served as indicated below on the 12 day of July, 2023 addressed to: Latah County Prosecuting Attorney -via Email: paservice@latahcountyid.gov Elisa Massoth-via Email: legalassistant@kmrs.net Ingrid Batey-via Email: ingrid.batey@ag.idaho.gov Jeff Nye-via Email: jeff.nye@ag.idaho.gov Dul DEFENDANT'S 6th SUPPLEMENTAL REQUEST FOR DISCOVERY Page-2 Under Seal with the Court: Exhibit E attached to Defendant's 6th Supplemental Request for Discovery