States Second Supplemental Response

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Named in this document

  • Bryan Kohberger Person
  • Ashley Jennings Person
CASE NO CR 9-22: 2805

2024 May 10 12:22 CLERK OF DISTRICT COURT p.m
LATAH COUNTY

LATAH COUNTY PROSECUTOR'S OFFICE

WILLIAM W. THOMPSON, JR. ISB No. 2613 BY DEPUTY
PROSECUTING ATTORNEY

ASHLEY S. JENNINGS, ISB NO. 8491

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 SECOND

BRYAN CHRISTOPHER KOHBERGER, SUPPLEMENTAL RESPONSE TO

Defendant. DEFENDANT'S FOURTH
MOTION 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 attached Exhibit 1 to further supplement “ State's Response to Defendant's Fourth Motion to Compel " filed on April 23, 2024.

The State incorporates the following responses as fully set forth at this point:
• " State's Response to Request for Discovery " filed on January 23, 2023;
• " State's Response to Defendant's First Supplement Request for Discovery " filed
STATE'S SECOND SUPPLEMENTAL RESPONSE TO DEFENDANT'S

FOURTH MOTION TO COMPEL DISCOVERY 1

on February 21, 2023;
• " State's Response to Defendant's Second Supplemental Request for Discovery " filed on March 29, 2023;
" State's Response to Defendant's Third Supplemental Request for Discovery ” filed on May 12, 2023;
• " State's Response to Defendant's Motion to Compel Discovery ” filed on May 12, 2023;
• " State's Supplemental Response to Defendant's 1st, 2nd and 3rd Supplemental Requests for Discovery " filed on June 8, 2023;
• " State's Response to Defendant's 4th Supplemental Request for Discovery " filed on June 16, 2023;
• " State's Supplemental Response to Defendant's 4th Supplemental Request for Discovery " filed on June 29, 2023;
• " State's Response to Defendant's Second Motion to Compel Discovery " filed on June 29, 2023.

" State's Response to Defendant's Third Motion to Compel Discovery " filed on July 5, 2023.

" State's Supplemental Response to Defendant's 2nd Supplemental Request for • Discovery and Defendant's Motion to Compel Discovery ” filed on July 12, 2023;
and
• " State's Supplemental Response to Defendant's Second Motion to Compel Discovery " filed on July 12, 2023.

" State's Response to Defendant's 5th and 6th Supplemental Requests for Discovery " • filed on July 25, 2023.

" State's Supplemental Response to Defendant's Third Motion to Compel • Discovery " filed on August 30, 2023.

" State's Response to Defendant's 7th Supplemental Request for Discovery " filed on • September 6, 2023.

" State's Response to Defendant's 8th and 9th Supplemental Requests for Discovery " • filed on October 24, 2023.

STATE'S SECOND SUPPLEMENTAL RESPONSE TO DEFENDANT'S

FOURTH MOTION TO COMPEL DISCOVERY 2

• " State's Response to Defendant's 10th Supplemental Request for Discovery " filed on November 20, 2023.

• " State's Response to Defendant's 11th Supplemental Request for Discovery " filed January 22, 2024.

• " State's Response to Defendant's 12th Supplemental Request for Discovery " filed March 25, 2024.

• " State's Response to Defendant's 13th Supplemental Request for Discovery " filed April 1, 2024.

• " State's Response to Defendant's 14th Supplemental Request for Discovery " filed April 10, 2024.

• " State's Response to Defendant's Fourth Motion to Compel Discovery " filed April 23, 2024.

• " State's Supplemental Response to Defendant's Fourth and Response to Fifth Motion to Compel and Motion to Limit Scope of Testimony " filed May 10, 2024.

The State has and will continue to provide discovery in accordance with I.C.R. 16 and applicable law.

DATED this 10th day of May, 2024.

ASHLEY JENNINGS

Senior Deputy Prosecuting Attorney
STATE'S SECOND SUPPLEMENTAL RESPONSE TO DEFENDANT'S

FOURTH MOTION TO COMPEL DISCOVERY 3

CERTIFICATE OF DELIVERY

I hereby certify that true and correct copies of the STATE'S SECOND
SUPPLEMENTAL RESPONSE TO DEFENDANT'S FOURTH 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 Coeur D Alene, ID 83816-9000 Faxed Hand Delivered Dated this 10th day of May, 2024.

S

STATE'S SECOND SUPPLEMENTAL RESPONSE TO DEFENDANT'S

FOURTH MOTION TO COMPEL DISCOVERY 4

Under Seal with the Court Exhibit 1 Attached to State's Second Supplemental Response to Defendant's Fourth Motion to Compel Discovery.