State Response to Motion to Extend Time

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Named in this document

  • Bryan Kohberger Person
  • Will Adams Person
CASE CLRK

BY JUN

NO OF 13

, DIST

CR24-22-2805 2023

LATAH COUNTY PROSECUTOR'S OFFICE CT

WILLIAM W. THOMPSON, JR. DEPUTY PM2

.

PROSECUTING ATTORNEY LATAH: 41

Latah County Courthouse P.O. Box 8068 Moscow, Idaho 83843-0568 (208) 883-2246 ISB No. 2613 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 RESPONSE TO

DEFENDANT'S " MOTION FOR

AN EXCEPTION OR IN THE

ALTERNATIVE TO EXTEND

TIME FOR COMPLIANCE WITH

I.C. §19-519 "

V.

BRYAN C. KOHBERGER

Defendant.

COMES NOW the State of Idaho, by and through the Latah County Prosecuting Attorney, and respectfully submits the following response to the Defendant's " Motion for an Exception or in the Alternative to Extend Time for Compliance with I.C. §19-519 " filed herein on June 9, 2023:
The State acknowledges that the discovery in this case is substantial and ongoing.

The State also recognizes that this case is currently set for jury trial projected to last four to
STATE'S RESPONSE TO DEFENDANT'S " MOTION

FOR AN EXCEPTION OR IN THE ALTERNATIVE TO

EXTEND TIME FOR COMPLIANCE WITH I.C. §19-519 " 1

six weeks and starting in less than four months.

Balancing the above, the State has no objection to a reasonable extension of time for the defense to comply with its obligations under Idaho Code §19-519 with the understanding and expectation that the State will likewise have a reasonable period of time to respond to any proffered Notice of Alibi and with the additional understanding that any defense compliance with Idaho Code §19-519 occur by July 24, 2023.

RESPECTFULLY SUBMITTED this 13 day of June, 2023.

William W. Thompson, Jr.

Prosecuting Attorney
STATE'S RESPONSE TO DEFENDANT'S " MOTION

FOR AN EXCEPTION OR IN THE ALTERNATIVE TO

EXTEND TIME FOR COMPLIANCE WITH I.C. §19-519 " 2

CERTIFICATE OF DELIVERY

I hereby certify that a true and correct copy of the foregoing STATE'S RESPONSE
TO DEFENDANT'S " MOTION FOR AN EXCEPTION OR IN THE ALTERNATIVE TO
EXTEND TIME FOR COMPLIANCE WITH I.C. §19-519 " 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 13 day of June, 2023.

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STATE'S RESPONSE TO DEFENDANT'S " MOTION

FOR AN EXCEPTION OR IN THE ALTERNATIVE TO

EXTEND TIME FOR COMPLIANCE WITH I.C. §19-519 " 3