1997 Apr 16 AM 11:11
GUILFORD COUNTY, C.S.C.
IN THE GENERAL COURT OF JUSTICE
SUPERIOR COURT DIVISION
FILE NO. 97 CRS 39580
STATE OF NORTH CAROLINA
1. All written or
recorded statements made by defendant, as provided by NCGS
2. All oral
statements made by the defendant which the State intends to offer in
evidence, as provided by NCGS §15A-903(a)(2).
3. AN written,
recorded or oral statements of a co-defendant which the State
intends to offer at trial, as provided by NCGS §15A-903(b).
4. A copy of any
prior criminal records of the defendant available to the District
Attorney, as provided in NCGS §15A-903(c),
5. Any books,
papers, documents, photographs, motion pictures, mechanical or
electronic recordings, and/or other tangible objects, as provided by
6. All results or
reports of physical or mental examinations, tests, measurements or
experiments made in connection with this case which are known to the
State or which may become known to the State, as provided by NCGS
7. Any physical
evidence, or a sample of it, available to the District Attorney, as
provided by NCGS §15A-903(e).
8. Any other
disclosure which the District Attorney wishes to make in the
interest of justice.
Attorney for Defendant
O'Hale & Jones, LLP
Telephone: (910) 378-1212
for Voluntary Discovery was served on the District Attorney by hand
delivery or by depositing a copy thereof in a United States Postal
receptacle, postage prepaid, addressed to:
15th day of April, 1997.
For the Firm
Clifford Clendenin O'Hale & Jones, LLP
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