Court Filing
CASE NO CR29-22-2805 2023 July 5 1:42 LATAH COUNTY PROSECUTOR'S OFFICE WILLIAM W. THOMPSON, JR CLERK OF DISTRICT COURT PM . ISB No. 2613 LATAH COUNTY PROSECUTING ATTORNEY ASHLEY S. JENNINGS, ISB NO. 8491 BY DEPUTY SENIOR DEPUTY PROSECUTING ATTORNEY Latah County Courthouse P.O. Box 8068 Moscow, ID 83843 Phone: (208) 883-2246 paservice@latahcountyid.gov IN THE DISTRICT COURT OF THE SECOND JUDICIAL DISTRICT OF THE STATE OF IDAHO, IN AND FOR THE COUNTY OF LATAH STATE OF IDAHO, Plaintiff, Case No. CR29-22-2805 V. STATE'S RESPONSE TO BRYAN CHRISTOPHER KOHBERGER, DEFENDANT'S THIRD MOTION Defendant. TO COMPEL DISCOVERY TO: THE DEFENDANT BRYAN CHRISTOPHER KOHBERGER, and Counsel Anne Taylor: COMES NOW the State of Idaho, by and through the Latah County Prosecuting Attorney, and submits the following response to " Defendant's Third Motion to Compel Discovery " filed on June 22, 2023: The State incorporates its January 23, 2023, " State's Response to Request for Discovery " filed on February 21, 2023; " State's Response to Defendant's First Supplement Request for Discovery " filed on March 29, 2023; " State's Response to Defendant's Second Supplemental Request for Discovery " filed on May 12, 2023; " State's Response to Defendant's STATE'S RESPONSE TO DEFENDANT'S THIRD MOTION TO COMPEL DISCOVERY 1 Third Supplemental Request for Discovery " filed on May 12, 2023; " State's Response to Defendant's Motion to Compel Discovery " filed on June 8, 2023; " State's Supplemental Response to Defendant's 1st, 2nd and 3rd Supplemental Requests for Discovery " filed on June 29, 2023; " State's Response to Defendant's Second Motion to Compel Discovery " filed on June 29, 2023; and " State's Supplemental Response to Defendant's 4th Supplement Request for Discovery " field on June 29, 2023; as if fully set forth at this point. In addition, the State incorporates the " Motion for Protective Order " filed on June 16, 2023, and any subsequent filings on issues raised regarding IGG. As outlined in that motion, the State seeks an order protecting IGG information from disclosure as it falls outside the purview of Rule 16. In the alternative, if the defense can establish that IGG information is relevant, the State asked the Court to conduct an in camera hearing so the State can present information related to the IGG information and enter a protective order pursuant to I.C.R. 16 (1). The State has and will continue to provide discovery in accordance with I.C.R. 16 and applicable law. DATED this 5th day of July, 2023. Ashes grip ASHLEY JENNINGS JEI Senior Deputy Prosecuting Attorney STATE'S RESPONSE TO DEFENDANT'S THIRD MOTION TO COMPEL DISCOVERY 2 CERTIFICATE OF DELIVERY I hereby certify that true and correct copies of the STATE'S RESPONSE TO DEFENDANT'S THIRD MOTION TO COMPEL DISCOVERY was served on the following in the manner indicated below: 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 5 day of July, 2023. So weng STATE'S RESPONSE TO DEFENDANT'S THIRD MOTION TO COMPEL DISCOVERY 3