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Discovery Memorandum


374

 

STATE OF NORTH CAROLINA

COUNTY OF GUILFORD

 

IN THE GENERAL COURT OF JUSTICE

SUPERIOR COURT DIVISION

97CRS39580;81

 

STATE OF NORTH CAROLINA

v.

THEODORE MEAD KIMBLE,

RONNIE LEE KIMBLE,

Defendants

 

DISCOVERY MEMORDANDUM

(Number 3)

 

NOW COMES the State of North Carolina and acknowledges receipt of Defendants' request for additional discovery. The State of North Carolina has previously provided copies of analysis of the arson burn time, and counsel requested additional information to complete theire independent analysis of the fire. In response to that request, the State of North Caroling has prepared copies of the following documents, said copies are available to pick up at the District Attorney's Office.
 

1. Advice of Rights, Theodore Mead Kimble.
2. Statement of Theodore Mead Kimble.
3. State Bureau of Investigation Crime Scene Report. (3 pages)
4. State Bureau of Investigation Crime Scene Supplemental report. (2 pages)
5. Guilford County Fire Marshall report. (10 pages)
6. Data sheet.
 

In the event that there are other specific requests, the State of North Carolina will voluntarily respond to each request.
 

The State will voluntarily provide any additional items of discovery and any exculpatory or Brady materials which come into the possession of the State of North Carolina. The State acknowledges its continuing duty to disclose any discoverable or exculpatory materials which come to the attention of the State.
 

Additionally, discovery of any items such as video tapes, photographs, audio tapes and diagrams presently held at the District Attorney's Office can be arranged by contacting the undersigned.
 

Thursday, February 19, 1998
 

/signature/

Richard E. Panosh
Assistant District Attorney
1


375

 

CERTIFICATE OF SERVICE
 

I, Richard E. Panosh, Assistant District Attorney for the Eighteenth Prosecutorial District, hereby certify that I have served a copy of the attached document on the counsel for the Defendant this date by:


( X ) Placing said copy in an official depository of the United States Post office with the first-class postage prepaid and with the same addressed to:


Mr. Robert McClellan
Attorney at Law
Ivey, McClellan, Gatton & Talcott, L.L.P.

P.O. Box 3324


( X ) A copy of this document was also faxed to the office of this date Mr. McClellan .
 

This Thursday, February 19, 1998.

 

/signature/

Richard E. Panosh

Assistant District Attorney

2


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