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1 2 3 4 5 6 7 IN THE SUPERIOR COURT FOR THE STATE OF WASHINGTON IN AND FOR KING COUNTY ) ) ) ) ) ) ) ) ) ) ) ) ) CAUSE NO.

11-1-08250-1 SEA NOTICE OF APPEARANCE OF COUNSEL AND DEMAND FOR DISCOVERY

8 STATE OF WASHINGTON, 9 10 11 12 13 14 15 16 GREGORY MONTEZ LEWIS, Defendant. v. Plaintiff,

COMES NOW, James M. Womack, and The Womack Law Group, PLLC, and appears on behalf

17 of the above-captioned defendant, GREGORY MONTEZ LEWIS, and requests discovery in the 18 above-cited cause number of the following items pursuant to CrR 4.7: 19 20 21 22
The names and address of persons whom the Government intends to call as witnesses at the hearing or trial, together with any written or recorded statements and the substance of any oral statements of such witnesses; Copies of any written or recorded statements and the substance of any oral statements

23 made by the defendant or co-defendants; 24


Any reports or statements of experts made in connection with the particular case,

25 including results of physical or mental examinations and scientific tests, experiments, or comparisons. 26
DEFENSE NOTICE OF APPEARANCE AND DISCOVERY DEMAND

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2001 Sixth Avenue, Suite 1707 Seattle, Washington 98121 (206) 223-1875 Fax: (206) 223-1887

THE WOMACK LAW GROUP, PLLC

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The names and authors of any books or documents, and any papers, photographs, or tangible objects which the Government intends to use in the hearing or trial or which were obtained from or belong to the defendant or co-defendants, together with information concerning the origins of said papers, photos or objects, including how they came into the possession of the Government; The defendants prior criminal history and the record of prior criminal convictions of any person(s) whom the Government intends to call as witnesses in this matter; Any recording of electronic surveillance, including wiretap, of the defendants premises or recordings made of conversations in which the Defendant was a party; The names, addresses, and phone numbers of any expert witnesses whom the Government has retained to assist in this case, the substance of their testimony or assistance, copies of any reports related o the substance of their assistance ore testimony, and curriculum vitae of said experts; Any information regarding conversations between the defendant and any police officer or

13 agent of the police engaged in undercover work; 14 15 Government; 16


Any material or information, which tends to negate or would lead to information, which Disclosure of the relationship to the Government, if any, of all witnesses for the

17 would tend to negate the defendants guilt in the above-charge; 18 19 20 21 22 23 24 25 26


DEFENSE NOTICE OF APPEARANCE AND DISCOVERY DEMAND

Any affidavits filed in this case supporting any warrant. IT IS FURTHER REQUESTED that the Government produce in court any experts, or technicians whose report, maintenance records, tests, or opinions it intends to rely upon. The above list of discovery demands is not intended to be all-inclusive. RESPECTFULLY SUBMITTED THIS 16 NOVEMBER 2011
TH

/S JAMES M. WOMACK _________________________________ James M. Womack, WSBA #22161 Attorney at Law

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2001 Sixth Avenue, Suite 1707 Seattle, Washington 98121 (206) 223-1875 Fax: (206) 223-1887

THE WOMACK LAW GROUP, PLLC

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