Filed: Oct. 10, 2017
Latest Update: Oct. 10, 2017
Summary: Government's Motion to Amend Complex Case Schedule (ECF No. 147 GEORGE FOLEY, Jr. , Magistrate Judge . The United States of America, by and through STEVEN W. MYHRE, Acting United States Attorney, CHAD W. MCHENRY, Assistant United States Attorney, and CATHERINE DICK, Trial Attorney, moves to amend the Complex Case Schedule filed on April 20, 2012, and approved by the Court on April 24, 2012. It has been discovered that the defendants' obligation to provide reciprocal discovery of their expe
Summary: Government's Motion to Amend Complex Case Schedule (ECF No. 147 GEORGE FOLEY, Jr. , Magistrate Judge . The United States of America, by and through STEVEN W. MYHRE, Acting United States Attorney, CHAD W. MCHENRY, Assistant United States Attorney, and CATHERINE DICK, Trial Attorney, moves to amend the Complex Case Schedule filed on April 20, 2012, and approved by the Court on April 24, 2012. It has been discovered that the defendants' obligation to provide reciprocal discovery of their exper..
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Government's Motion to Amend Complex Case Schedule (ECF No. 147
GEORGE FOLEY, Jr., Magistrate Judge.
The United States of America, by and through STEVEN W. MYHRE, Acting United States Attorney, CHAD W. MCHENRY, Assistant United States Attorney, and CATHERINE DICK, Trial Attorney, moves to amend the Complex Case Schedule filed on April 20, 2012, and approved by the Court on April 24, 2012.
It has been discovered that the defendants' obligation to provide reciprocal discovery of their expert witnesses under Rule 16 was omitted in error. This motion is made to modify the schedule as to any defendants that have not yet made their initial appearance, and is not intended to modify the schedule as to any defendants that are currently before the Court as of the date of this motion.
The government moves to amend Section II, beginning on page 4, line 9, entitled "The Second Discovery Phase," to read as follows:
The parties propose that NO LATER THAN 30 DAYS BEFORE TRIAL:
a. Defendants will comply with their obligation to provide reciprocal discovery and provide all documents, objects, reports of examination and material regarding expert witnesses under Fed. R. Crim. P. 16(b)(1)(A), (B), and (C).
ORDER
Section II of the Complex Case Schedule, ECF No. 147, beginning on page 4, line 9, entitled "The Second Discovery Phase," is amended to read as follows:
The parties propose that NO LATER THAN 30 DAYS BEFORE TRIAL:
a. Defendants will comply with their obligation to provide reciprocal discovery and provide all documents, objects, reports of examination and material regarding expert witnesses under Fed. R. Crim. P. 16(b)(1)(A), (B), and (C).
IT IS SO ORDERED.