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Handwritten notes are in red
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
NOW COMES the State of
North Carolina and acknowledges receipt of Defendants' request for
additional discovery. The State of North Carolina has previously
extensive discovery. In response to the defendants specific requests
the State of North Carolina is voluntarily providing the following
information, which although not subject to discovery is provided to
assist the defendants in preparation of their cases. These items are
available for pick up at the District Attorney's Office.
1. July 21, 1998
Statement of Rev. L.M. Widden. (4 pages) 4. July 17, 1998 Statement of Rodney Woodberry. (2 pages) 5. April 7, 1997 Statement of Patrick R. Pardee (2 pages)
6. April 7, 1997
Statement of Patrick R. Pardee (3 pages)
14. October 16, 1995
statement of Theodore Mead Kimble (40 pages)
17. Lab requests
21. Linda Cherry
Statement, 4 pages
23. Statement of
Louise Cato ,dated March 6, 1997, (2 pages) 1
25. Statement of
Dziadaszek, dated March 21, 1997, (2 pages)
30. Supporting letter. 32. Statement of Mike Eckstrom, dated November 24, 1995, ( 1 pages) 33. Supporting documents 2 pages 34. Statement of Robert Nicholes, dated 4/18/97, (6 pages) 35. Statement of Robert Nicholes, dated 5/16/97, (8 pages) 36. Statement of Robert Nicholes, dated 5/19/97, (4 pages) 37. Statement of Robert Nicholes, dated 5/29/97, (2 pages)
38. Statements of
Theodore Mead Kimble 42. Statement of Monroe Mebane (3 pages)
43. Statement of
Dominic Harris (4 pages) 46. Statement of Janet Blakley, dated August 29, 1996 , ( 3 pages) 47. Statement of E-6 Cato, dated 3/4/97, ( 2 pages) 48. Statement of Seaman Dorsey, dated 3/4/97, ( 2 pages) 49. Statement of Joy Dyer , dated 7/31/96, ( 4 pages) 50. Statement of PFC Dziakaszek, dated 3/4/97, ( 2 pages)
51. Statement of PFC
Dziakaszek, dated 3/5/97, ( 2 pages) 54. Statement of Stumps, dated June 10, 1996 ( 2 pages)
55. Statement of
Rodney Woodberry, dated 6/7/96, ( 2 pages)
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, diagrams and insurance claims filed by Theodore Mead Kimble
presently held at the District Attorney's Office can be arranged by
contacting the undersigned.
This Saturday,
July 25, 1998. /signature/
Richard E.
Panosh
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:
Attorney at Law 219 West Washington St. Greensboro, NC 27401
Attorney at Law Greensboro, NC 27401
Mr. John Bryson
/signature/ Richard E. Panosh Assistant District Attorney 3 31 ITEMS MISSING, #6, 7, 9, 10, 11, 12, 13, 14, 15, 17, 18, 19, 20, 21, 22, 23, 26, 27, 28, 29, 30, 31, 32, 33, 39, 40, 42, 46, 47, 52, 53, 56
DISCOVERY MEMORANDUM #6
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Published August 15, 2006. Report broken links or other problems.
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