Search Results for: Brady Knowlton
#266-First MOTION for Release of Brady Materials by KENNETH HARRELSON
#73-RESPONSE by USA as to CHRISTOPHER WARNAGIRIS re [62] MOTION for Release of Brady Materials
#268-ERRATA by KENNETH HARRELSON re 266 Motion for Release of Brady Materials
#75-REPLY TO OPPOSITION to Motion by CHRISTOPHER WARNAGIRIS re [62] MOTION for Release of Brady Materials
#20-ORDER confirming the disclosure obligation of the government under Brady v. Maryland
#24-BRADY ORDER as to THOMAS FASSELL, MARILYN FASSELL
#21 ORDER pursuant to the Due Process Protections Act and Local Rule of Criminal Procedure 5.1, confirming the disclosure obligation of the government under Brady v. Maryland, 373 U.S. 83 (1963), and its progeny, and the possible consequences of violating such order under applicable law. Signed by Judge Colleen Kollar-Kotelly on 10/1/21
#431 MOTION for Release of Brady Materials by ENRIQUE TARRIO.
#432 MOTION to Expedite Motion for Release of Brady Material (D.E. 431) by ENRIQUE TARRIO.
#433 RESPONSE by USA as to ENRIQUE TARRIO re [431] MOTION for Release of Brady Materials
#441 REPLY in Support by ENRIQUE TARRIO re [431] MOTION for Release of Brady Materials
#70 MOTION to Require Law Enforcement Officers to Retain Rough Notes and Writings that May Constitute Brady or Jencks Material by DEBORAH SANDOVAL.
#74 RESPONSE by USA as to DEBORAH SANDOVAL, SALVADOR SANDOVAL, JR re 67 MOTION for Discovery and an Evidentiary Hearing in Support of Defendant’s Claim of Selective Prosecution as it Relates to Counts Seven, Eight, Ten, and Eleven, 72 MOTION to Compel Disclosure of Plea Bargains, Preferential Treatment, and Promises to Government Witnesses with Citation of Authorities, 70 MOTION to Require Law Enforcement Officers to Retain Rough Notes and Writings that May Constitute Brady or Jencks Material, 64 MOTION in Limine, 73 MOTION for Hearing, 69 MOTION for Disclosure of all “Jencks Act” Material, 66 MOTION for 404(b) Evidence, 68 MOTION for Discovery with Citation of Authority, 71 MOTION to Compel Government to Disclose the Identity of Any Expert Witness It Intends to Call at Trial and the Nature of the Expert Testimony
#76 REPLY TO OPPOSITION to Motion by DEBORAH SANDOVAL re 67 MOTION for Discovery and an Evidentiary Hearing in Support of Defendant’s Claim of Selective Prosecution as it Relates to Counts Seven, Eight, Ten, and Eleven, 72 MOTION to Compel Disclosure of Plea Bargains, Preferential Treatment, and Promises to Government Witnesses with Citation of Authorities, 70 MOTION to Require Law Enforcement Officers to Retain Rough Notes and Writings that May Constitute Brady or Jencks Material, 69 MOTION for Disclosure of all “Jencks Act” Material, 68 MOTION for Discovery with Citation of Authority, 71 MOTION to Compel Government to Disclose the Identity of Any Expert Witness It Intends to Call at Trial and the Nature of the Expert Testimony
#353-MOTION for Joinder to Join and Adopt re: 325 Motion for Discovery, Motion for Release pf Brady Materials (Motion for Trial Subpoenas) by KELLY MEGGS
#536 MOTION to Dismiss Case and Motion to Join Defendant Rehl’s Motion to Dismiss Case and For Sanctions on Account of Brady Violations by ENRIQUE TARRIO.
#33 NOTICE OF ATTORNEY APPEARANCE Brian Daniel Brady appearing for USA.
#34 NOTICE OF SUBSTITUTION OF COUNSEL as to USA. Attorney Brady, Brian Daniel added.
#272- Memorandum in Opposition by USA as to ELMER STEWART RHODES, III, KELLY MEGGS, KENNETH HARRELSON, JESSICA WATKINS, ROBERTO A. MINUTA, JOSEPH HACKETT, DAVID MOERSCHEL, THOMAS EDWARD CALDWELL, EDWARD VALLEJO re 266 Motion for Release of Brady Materials, By Kenneth Harrelson Modified text to remove unassociated defendants on 9/1/2022
#42 NOTICE of Filing Discovery/Brady Letter by RONALD L. SANDLIN
#147 MOTION to Require Law Enforcement Officers to Retain Rough Notes and Writings that May Constitute Brady or Jencks Material by PAULINE BAUER.
#41 MOTION to Compel Production of Brady Compilation Evidence by AARON MOSTOFSKY.
#13 ORDER pursuant to the Due Process Protections Act and Local Rule of Criminal Procedure 5.1, confirming the disclosure obligation of the government under Brady v. Maryland, 373 U.S. 83 (1963) and its progeny, and the possible consequences of violating such order under applicable law
