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Full-text: April 9 2003
Protest zones: “No War for Oil” (October 24 2002)

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| United States of America | ) |
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| v. | ) |
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| Brett A. Bursey | ) |
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The United States, by and through its undersigned attorney, moves that this Honorable Court direct the Defendant to make available for inspection and copying each of the following:
A. Pursuant to F.R.Crim.P. 26.2 and United States v. Nobles, 422 U.S. 225 (1975):
All prior statements in the possession of the Defendant, if any, given by witnesses whom the Defendant expect to call at trial, other than the Defendant himself. The term “statements” is to be construed by the Defendant the same as defined in F.R.Crim.P. 26.2 (effective December 1, 1980) and the Jencks Act, 18 U.S.C. § 3500.
B. Pursuant to F.R.Crim.P. 16(b)(1)(A):
All books, papers, documents, photographs, tangible objects, or copies or portions thereof, which are within the possession, custody, or control of the Defendant and which the Defendant intends to introduce as evidence in chief.... {p.2}
C. Pursuant to F.R.Crim.P. 16(b)(1)(B):
Any results or reports of ... scientific tests or experiments made in connection with the particular case, or copies thereof, within the possession or control of the Defendant, which the Defendant intends to introduce as evidence in chief at the trial or which were prepared by a witness whom the Defendant intends to call at the trial when the results or reports relate to his testimony.
Respectfully submitted,
J. Strom Thurmond, Jr.
United States Attorney

By: { Signature }
John M. Barton (I.D. #1226)
Assistant United States Attorney
1441 Main Street, Suite 500
Columbia, South Carolina 29201
(803) 929-3036
April 8, 2003
______________________
Certification: Local Rule 12.02
{Case caption, omitted}
Pursuant to Rule 12.02, Local Rules for the District of South Carolina, the Government certifies that, because of the nature of the attached motion, consultation with counsel for the Defendant would serve no useful purpose.
Respectfully submitted,
J. Strom Thurmond, Jr.
United States Attorney

By: { Signature }
John M. Barton (I.D. #1226)
Assistant United States Attorney
1441 Main Street, Suite 500
Columbia, South Carolina 29201
(803) 929-3036
April 8, 2003
______________________
Certificate of Service
{Case caption, omitted}
I hereby certify that I am an employee in the Office of the United States Attorney for the District of South Carolina, Columbia, South Carolina, and on April 9th, 2003, I served one true and correct copy of the attached Standard Motions by depositing the same, in the United States Mail, postage paid, on the following persons(s):
William N. Nettles, Esquire
914 Richland Street, Suite A-102
Columbia, SC 29201

{ Signature }
Lisa B. Gillam, Legal Assistant to
AUSA John M. Barton
Columbia, South Carolina
Source: Photocopy of a duplicate original (the court’s file copy), scanned to pdf.
By CJHjr: Converted to text (OCR: FineReader 6.0), formatted (xhtml/css), links, text {in braces}, highlighting.
See also “Other Secret Service protest zone cases” on the docket-sheet page. Brett Bursey
This document is not copyrighted and may be freely copied.
Charles Judson Harwood Jr.
Posted Jan. 8 2004. Updated Jan. 8 2004.
http://homepage.ntlworld.com/jksonc/docs/bursey-dsc-d13.html
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