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  • STATE OF FLORIDA vs. GRANT, KENNETH EUGENE document preview
  • STATE OF FLORIDA vs. GRANT, KENNETH EUGENE document preview
						
                                

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eFiled Date: 09/13/2021, Accepted: 09/14/2021 04:14 AM Filing # 134441223 E-Filed 09/13/2021 11:08:21 AM IN THE COUNTY COURT, FOURTH JUDICIAL CIRCUIT, IN AND FOR CLAY COUNTY, FLORIDA STATE OF FLORIDA CASE NO.: 2021-CT-1456 vs. DIVISION: D KENNETH EUGENE GRANT ____________________________________/ NOTICE OF DISCOVERY Defendant, by and through the undersigned Attorney, pursuant to Rule 3.220(a), Fla. R. Crim. P., serves this notice of Defendant's intent and election to participate in discovery, and demands all information, statements, evidence or other matters encompassed by Rule 3.220(b) or (j), Fla. R. Crim. P. be provided to defendant within 15 days of this Notice. Furthermore, Defendant demands any and all favorable evidence material either to guilt or to punishment, Brady v. Maryland, 373 US 83 (1963), and the criminal records or any other evidence reflecting criminal activity of any witnesses and asserts that the records are necessary to assure defendant of a fair trial and are not otherwise available by the exercise of due diligence and such information is contained in State files and records or may be readily procured by it through its compact arrangements with the State and federal law enforcement agencies. State v. Coney, 294 So.2d 82 (Fla. 1973). I HEREBY CERTIFY that a copy hereof has been furnished to the Office of the State Attorney, by e-service on September 13, 2021. / s / Malcolm Anthony Malcolm Anthony Attorney for Defendant Bar No.: 381284 Malcolm Anthony, P.A. 814 A1A N., Suite 105 Ponte Vedra Beach, Florida 32082 Tel: 904-285-4529 E-file: malcolm@malcolmanthony.com 4c063c5a-d80a-4f26-b361-354f1b560c22.docx