STATE OF NORTH CAROLINA

COUNTY OF

IN THE GENERAL COURT OF JUSTICE

SUPERIOR COURT DIVISION

FILE NO.:

 

 

                          


                                                      )

STATE OF NORTH CAROLINA              )

                                                      )        REQUEST FOR RECIPROCAL     

vs.                                                   )        DISCOVERY AND ALTERNATIVE

                                                      )        MOTION FOR RECIPROCAL

                                                      )        DISCOVERY

                                    Defendant     )

                                                      )

 

         NOW COMES THE STATE OF NORTH CAROLINA, by and through the undersigned Assistant District Attorney for the 20th Prosecutorial District, and Requests, or alternatively Moves the Court, that the defendant, or his attorney, in the above captioned matter, disclose to the State and/or permit the State to inspect and copy or photograph:

 

1.       Documents and Tangible Objects – including, but not limited to, books, papers, documents, photographs, motion pictures, mechanical or electronic recordings, tangible objects, or copies or potions, thereof which are now within, or may in the future come within, the possession, custody or control of the defendant or his attorney and which the defendant or his attorney intends to introduce in evidence at trial; and,

 

2.       Reports of Examinations and Tests – including, but not limited to, results or reports of physical or mental examinations or of tests, measurements or experiments made in connection with the case, or copies thereof, which are now within or may in the future come within the possession and control of the defendant or his attorney which the defendant or his attorney intends to introduce in evidence at the trial or which were prepared by a witness whom the defendant or his attorney intends to introduce in evidence at the trial.  Additionally, the State asks that the defendant or his attorney, permit the State to inspect, examine and test any physical evidence or a sample of it now available or which may in the future become available to the defendant or his attorney if the defendant or his attorney intends to offer such evidence, or tests or experiments made in connection with such evidence, as an exhibit or evidence in the case;

 

pursuant to NCGS 15A-905 and 907.

 

         This the _____ day of ______________________, 20_____.

 

 

 

 

                                                      ____________________________________

                                                      Michael D. Parker

                                                      Chief Assistant District Attorney

                                                      20th Prosecutorial District

                                                      Post Office Box 1065

                                                      Monroe, North Carolina 28111-1065

                                                      (704) 289-3340