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  • STATE OF FLORIDA vs. OTERO-RIVERA, CHRISTOPHER JFELONY document preview
  • STATE OF FLORIDA vs. OTERO-RIVERA, CHRISTOPHER JFELONY document preview
  • STATE OF FLORIDA vs. OTERO-RIVERA, CHRISTOPHER JFELONY document preview
  • STATE OF FLORIDA vs. OTERO-RIVERA, CHRISTOPHER JFELONY document preview
						
                                

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Filing # 104519969 E-Filed 03/08/2020 10:47:27 PM IN THE CIRCUIT COURT OF THE NINTH JUDICIAL CIRCUIT, CRIMINAL JUSTICE DIVISION, IN AND FOR OSCEOLA COUNTY, FLORIDA STATE OF FLORIDA, CASE NO. 2019-CF-003878-A-OS Plaintiff, DIVISION: 101 v. CHRISTOPHER OTERO-RIVERA, Defendant. / MOTION FOR STATEMENT OF PARTICULARS The Defendant, Christopher Otero-Rivera, in order to properly prepare and conduct a defense, respectfully demands a Statement of Particulars in the above cause setting forth as definitely as possible the following material: 1. The place of the alleged offense(s). 2. The date of the alleged offense(s). 3. Material facts indicating any acts or acts of the Defendant relating to the alleged offense(s) that are known to the prosecuting attorney. 4. The time the alleged offense(s) occurred. IT IS submitted that the Defendant is entitled to the above information under rule 3.140(n) of the Florida Rules of Criminal Procedure, as to the above-styled cause. Respectfully submitted on this 8" day of March, 2020. Ly doko 6 b 6 uv Migdalia Perez, Esq., FBN: 696307CERTIFICATE OF SERVICE I HEREBY CERTIFY that the original notice has been E-filed thru E-file Portal System to Assistant State Attorney JAMIE McMANUS, EserviceMarion@SA05.org; and Clerk of Court, 2 Courthouse Square, Kissimmee FL, 34741, on this 8" day of March, 2020. \ Ae. a he k oO Migdalia Perez, Esq., FBN: 696307 517 Bryan Street Kissimmee, FL 34741 407.530.4920 (Office) 407.540.9351 (Fax) mperez@perezlasurelaw.com