On May 10, 216 a
Motion,Ex Parte
was filed
involving a dispute between
and
Otero-Rivera, Christopher J,
for FELONY
in the District Court of Osceola County.
Preview
Filing # 105699858 E-Filed 03/3 1/2020 06:13:06 PM
IN THE CIRCUIT COURT OF THE NINTH JUDICIAL CIRCUIT
OF THE STATE OF FLORIDA, IN AND FOR OSCEOLA COUNTY
STATE OF FLORIDA CASE NO.: 49-2017-CF-003738-O
v. DIVISION: 201
CHRISTOPHER J. OTERO-RIVERA,
Defendant.
/
MOTION FOR TRANSCRIPTION OF GRAND JURY PROCEEDINGS
Comes now the State of Florida, by and through the undersigned, Designated Assistant
State Attorney, moving this Court pursuant to Florida Statute section 905.27(1)(a) to order the
Grand Jury testimony given by witness Hector Massas in this matter be transcribed by the Court
Reporter and delivered to the undersigned for use in the execution of his duties, and as grounds
therefore the undersigned states as follows:
1. Hector Massas appeared pursuant to subpoena before the Grand Jury in this cause on
March 4, 2020 and gave testimony relevant to the investigation in this cause.
2. The transcript of Hector Massas’s testimony is needed to be provided to the defense
prior to the trial of this cause so that the prior testimony of the witness might be introduced pursuant
to Florida Statute section 90.801(2)(a) if necessary, and so that the State may comply with its
obligations pursuant to Brady v. Maryland and Florida Rule of Criminal Procedure 3.220.
WHEREFORE, the undersigned moves the Court to enter an Order directing the Court
Reporter to transcribe the Grand Jury testimony of Hector Massas provided in the above styled
cause and to deliver said transcript to the undersigned, Designated Assistant State Attorney, or
Assigned State Attorney Brad King, for their use in discharging their duties. The undersigned will
then provide said testimony to counsel for the Defendant, as well as for counsel for Defendant
Angel Rivera in Osceola County case number 49-2019-CF-004126-O. Further that the Court
should order that the Court Reporter not disclose the transcripts to any other persons.Respectfully submitted this 31st day of March, 2020.
BRAD KING
STATE ATTORNEY
FIFTH JUDICIAL CIRCUIT
/s/ Matthew Ryan Williams /s/ Brad King
Matthew Ryan Williams Brad King
Designated Assistant State Attorney Assigned State Attorney
Fifth Judicial Circuit Fifth Judicial Circuit
Florida Bar No. 028645 Florida Bar No. 134045
425 N. Orange Ave. 110 NW 1*' Ave.
Box 63 Ocala, FL 34475
Orlando, FL 32801 eservicemarion@sao5.org
rwilliams@sao5.org
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a copy of the above has been furnished to Migdalia Perez and
Kim Lasure, Counsel for Defendant, and Frank Bankowitz, Counsel for Defendant Angel Rivera
in 49-2019-CF-004126, by electronic service this 31st day of March, 2020.
/s/ Matthew Ryan Williams
Matthew Ryan Williams
Designated Assistant State Attorney
Document Filed Date
March 31, 2020
Case Filing Date
May 10, 216
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