Free Motion for Discovery - District Court of Delaware - Delaware


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Date: May 31, 2007
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Case 1:07-cr-00044-JJF

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IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF DELAWARE UNITED STATES OF AMERICA, Plaintiff, v. DEION PRESSEY, Defendant. : : : : : Cr. Action No.07-44-JJF : : : :

MOTION FOR DISCOVERY COMES NOW Defendant, DEION PRESSEY, by and through his

attorney RAYMOND M. RADULSKI, pursuant to Rule 16 of the Federal Rules of Criminal Procedure, and makes this motion that the

Government be required to allow counsel for the Defendant to inspect, copy or photograph any and all statements of the Defendant which may be discovered in accordance with Rule 16(a)(1)(A); to furnish counsel for the Defendant a copy of any prior criminal record of the Defendant in accordance with Rule 16(a)(1)(b); to permit counsel for the Defendant to inspect, copy or photograph any and all documents and tangible objects which may be discovered pursuant to Rule 16(a)(1)(A); and to permit counsel for the

Defendant to inspect, copy or photograph any results or reports of examinations, or tests, pursuant to Rule 16(a)(1)(D).

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/S/ Raymond M. Radulski RAYMOND M. RADULSKI, ESQUIRE #332 1225 N. King Street, #301 Wilmington, DE 19802 Attorney for Defendant, DEION PRESSEY Dated: May 31, 2007

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IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF DELAWARE UNITED STATES OF AMERICA, Plaintiff, v. DEION PRESSEY, Defendant. ORDER The Defendant, DEION PRESSEY'S, Motion For Discovery having been heard and considered, ORDERED this ____ day of ______________, A.D., 2007, that the Government shall provide copies of any and all material requested pursuant to Defendant's Motion. : : : : :Cr. Action No. 07-44-JJF : : : :

______________________________ J.

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IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF DELAWARE UNITED STATES OF AMERICA, Plaintiff, v. DEION PRESSEY, Defendant. : : : : :Cr. Action No. 07-44-JJF : : : :

CERTIFICATE OF COUNSEL COMES NOW, Raymond M. Radulski, Court appointed counsel for Defendant, DEION PRESSEY, and respectfully submits this Certificate in accordance with Rule 5(d)(2) of the local Rules of Criminal Procedure. 1. On May 31, 2007 the undersigned communicated with AUSA

Edmond Falgowski, regarding discovery. Mr. Falgowski indicated that he will forward appropriate discovery materials to the defense. 2. Counsel for the Defendant, DEION PRESSEY, anticipates that the Government may have or obtain additional evidence which it will seek to use in its case against the Defendant. WHEREFORE, counsel for Defendant, DEION PRESSEY, believes that he has complied with Rule 5(d)(2) of the local Rules of Criminal Procedure and that he is entitled to discovery under F.R. Cr. P. 7(f) and 16(a).

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/S/ Raymond M. Radulski RAYMOND M. RADULSKI, ESQUIRE #332 1225 N. King Street, #301 Wilmington, DE 19801 (302) 658-9388 Attorney for Defendant, DEION PRESSEY Dated: May 31, 2007

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LAW OFFICE OF RAYMOND M. RADULSKI Legal Arts Building, Suite 301 1225 N. King Street Wilmington, DE 19801 Telephone (302) 658-9388 Fax (302) 658-5378

May 31, 2007

Edmond Falgowski, Esquire Assistant United States Attorney U. S. Department of Justice 1007 Orange Street, Suite 700 Wilmington, DE 19899-2046 Re: United States v. Deion Pressey Criminal Action No. 07-44-JJF

Dear Mr. Falgowski: Pursuant to Rule 16 of the Federal Rules of Criminal Procedure, and Brady v. Maryland, 373 U.S. 83 (1963), I am requesting that you provide me with the following information within the possession, custody, or control of the Government or the existence of which is known or by the exercise of due diligence could become known to the Government. 1. A copy of all written or recorded statements or confessions made by the defendant(s), or by any juvenile or adult co-defendant(s), including a copy of all notes recorded by any police officer or other agent contemporaneous to any oral statements or confessions made by the defendant(s) or co-defendant(s). 2. A written statement relating to the substance of any oral statements made by the defendant(s) and not recorded as set for in 1., above, which the Government intends to offer in evidence which were made by the defendant(s), in response to interrogation by any person then known to the defendant(s) to be a Government agent. 3. A copy of all written reports of any scientific analyses conducted in connection with the above-captioned case, including a listing of any analyses for which a report was not filed. 4. A copy of all written reports of any physical or psychological examination of the defendant(s) or of any alleged victim. 5. A copy of any memorialized testimony of the defendant(s) before the Federal Grand Jury relating to the above case.

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Edmond Falgowski, Esquire Page Two May 31, 2007 In addition to the above, I would appreciate your providing the following: 6. A statement as to the approximate time and location of the alleged offense(s) in the above case. 7. In addition, a statement as to the date, the approximate time and location of the defendant(s)' arrest, the name(s) of the arresting officer(s) or other Government agent(s), and the name of the agency which he (they) are associated. 8. Copies of all executed warrants of arrest and all executed search warrants relating to the above-captioned case, including all affidavits and warrant returns. 9. A statement as to the involvement of any confidential informant(s), if applicable. 10. The names of the police officers or other Government agents involved in the investigation of the above case and the agencies with which they are associated. 11. A statement as to the date, time and location of any and all line-ups, photographic or show-up identifications (or attempted identifications) of the defendant(s) in connection with the above case. 12. An opportunity pursuant to Jencks v. U.S., 353 U.S. 657 (1957), to review reports and statements, whether oral, written or recorded, made by persons who will testify at trial, regardless of whether the individual used the statement or report to prepare for examination. I would appreciate it if you could share this information with me prior to trial in order to avoid delay prior to crossexamination. 13. A disclosure as to the utilization of any electronic or other mechanical surveillance device, if applicable. 14. An opportunity to inspect all items which the Government intends to offer in evidence, but not limited to, any documents, photographs, weapons, clothing, diagrams, or similar tangible objects. 15. A copy of the prior criminal record of the defendant(s) 16. A copy of grand jury testimony relating to this case.

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Edmond Falgowski, Esquire Page Three May 31, 2007

Very truly yours, /s/ Raymond M. Radulski Raymond M. Radulski

RMR:sr cc: Clerk, United States District Court

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IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF DELAWARE UNITED STATES OF AMERICA, Plaintiff, v. DEION PRESSEY, Defendant. : : : : : Cr. Action No. 07-44-JJF : : : :

CERTIFICATE OF SERVICE I hereby certify that on the date listed below, I

electronically filed Defendant DEION PRESSEY's Motion For Discovery and Brady Letter with the Clerk of Court using CM/ECF which will send notification of such filing to the following: First AUSA Edmond Falgowski, 1007 Orange Street, 7th Floor, Wilmington,

Delaware.

/S/ Raymond M. Radulski RAYMOND M. RADULSKI, ESQUIRE ID #332 Legal Arts Building, Suite 301 1225 North King Street Wilmington, DE 19801 (302) 658-9388 [email protected] Attorney for Defendant Deion Pressey

Dated: May 31, 2007