324 results for "witness statement testified"
Page 6 of 13
DOJ-OGR-00005858.jpg
...Recarey
and another witness who is expected to testify at trial. The exhibit is primarily marked for
identification, although portions of that document may be offered as a past recollection recorded
by that other witness. See Fed. R. Evid. 803(5). The Government will not offer statements from
Detective Recarey...
DOJ-OGR-00012029.jpg
...If what we
have is impeaching by contradiction, impeachment of what the
witness testified to on the stand, then it's not going to be a
608 issue.
MR. EVERDELL: If we're impeaching the witness, yes,
that's right. And I just want to address the issue of
impeaching...
DOJ-OGR-00017618.jpg
...If what we
have is impeaching by contradiction, impeachment of what the
witness testified to on the stand, then it's not going to be a
608 issue.
MR. EVERDELL: If we're impeaching the witness, yes,
that's right. And I just want to address the issue of
impeaching...
DOJ-OGR-00012012.jpg
...Matt would be
testifying ab
the next witness in this case
We anticipate that
who would be
out a prior consistent stateme
offering that testimony under both prongs o
and I'd be happy to walk that through with
With respect to the first prong of
THE COURT: Is there...
DOJ-OGR-00017602.jpg
...Matt would be
testifying ab
the next witness in this case
We anticipate that
who would be
out a prior consistent stateme
offering that testimony under both prongs o
and I'd be happy to walk that through with
With respect to the first prong of
THE COURT: Is there...
DOJ-OGR-00014191.jpg
...these statements of Jane to present to
?
THE COURT: Sustained.
your Honor.
Q. You were just asked on cross examination whether Jane had
an opportunity to review these notes before she testified;
COLFECE ?
A. Yes.
Q. You could have shown her the notes before she testified;
right?
A. That's...
DOJ-OGR-00016814.jpg
...these statements of Jane to present to
?
THE COURT: Sustained.
your Honor.
Q. You were just asked on cross examination whether Jane had
an opportunity to review these notes before she testified;
COLFECE ?
A. Yes.
Q. You could have shown her the notes before she testified;
right?
A. That's...
DOJ-OGR-00014000.jpg
...Carolyn prior inconsis
testifying tomorrow.
THE
25
COURT:
MS. MENN
NGER:
break.
Document 761
AF
Okay,
Lo
ftus
TERNOON SESS
2:05 p.m.
where are we
Your Honor,
We appreciate how lengthy two of
time,
o try to reach agreement on all of
The witnesses th
of
state and...
DOJ-OGR-00016624.jpg
...Carolyn prior inconsis
testifying tomorrow.
THE
25
COURT:
MS. MENN
NGER:
break.
Document 761
AF
Okay,
Lo
ftus
TERNOON SESS
2:05 p.m.
where are we
Your Honor,
We appreciate how lengthy two of
time,
o try to reach agreement on all of
The witnesses th
of
state and...
DOJ-OGR-00013790.jpg
...17 statements.
18 THE COURT: Right.
19 MS. STERNHEIM: The 3500 material that has been
20 provided far exceeds the testimony of this witness, and I just
21 want to make sure that it is not going to exceed as far as
22 prior consistent what she's testified to...
DOJ-OGR-00016415.jpg
...17 statements.
18 THE COURT: Right.
19 MS. STERNHEIM: The 3500 material that has been
20 provided far exceeds the testimony of this witness, and I just
21 want to make sure that it is not going to exceed as far as
22 prior consistent what she's testified to...
DOJ-OGR-00005422.jpg
...No prosecutors from either office
are testifying at trial, and no witness testifying at this trial can explain the Government’s past
charging decisions. Any knowledge that an FBI agent has, or that a witness has, about the basis
for a prior charging decision is based on statements made by...
DOJ-OGR-00006389.jpg
...No prosecutors from either office
are testifying at trial, and no witness testifying at this trial can explain the Government’s past
charging decisions. Any knowledge that an FBI agent has, or that a witness has, about the basis
for a prior charging decision is based on statements made by...
DOJ-OGR-00012257.jpg
...don't recall if it's this witness or
her brother.
THE COURT: Okay.
MS. STERNHEIM: But even if it is in the 3500
material, if
it is not on the direct of Jane, why can it be
@)
ffered ata
(2)
MS.
11?
fered as a prior consistent statement when...
DOJ-OGR-00017846.jpg
...don't recall if it's this witness or
her brother.
THE COURT: Okay.
MS. STERNHEIM: But even if it is in the 3500
material, if
it is not on the direct of Jane, why can it be
@)
ffered ata
(2)
MS.
11?
fered as a prior consistent statement when...
DOJ-OGR-00013281.jpg
...That's a defense witness. Jane has
16 already testified. So there is no basis for us to inquire
17 further about that.
18 If she's subject to recall, she's subject to recall
19 for confrontation about the prior consistent statements that
20 have been introduced and not...
DOJ-OGR-00018865.jpg
...That's a defense witness. Jane has
16 already testified. So there is no basis for us to inquire
17 further about that.
18 If she's subject to recall, she's subject to recall
19 for confrontation about the prior consistent statements that
20 have been introduced and not...
DOJ-OGR-00005396.jpg
Case 1:20-cr-00330-PAE Document 380 Filed 10/29/21 Page3of54
PRELIMINARY STATEMENT
The Government respectfully submits the following motions in /imine. First, the
Government respectfully requests that the Court protect the dignity and privacy of victims by
permitting certain witnesses to testify under pseudonyms or using only...
DOJ-OGR-00006363.jpg
Case 1:20-cr-00330-PAE Document 438 Filed 11/12/21 Page3of54
PRELIMINARY STATEMENT
The Government respectfully submits the following motions in /imine. First, the
Government respectfully requests that the Court protect the dignity and privacy of victims by
permitting certain witnesses to testify under pseudonyms or using only...
DOJ-OGR-00006783.jpg
...Recarey
and another witness who is expected to testify at trial. The exhibit is primarily marked for
identification, although portions of that document may be offered as a past recollection recorded
by that other witness. See Fed. R. Evid. 803(5). The Government will not offer statements from
Detective Recarey...
DOJ-OGR-00006047.jpg
...Eighth, the defense needs to know in advance of trial, including opening statements,
who is or is not testifying. It would be prejudicial to delay any challenge from the
government, which may or may not come, until after November 23, to be resolved per the
government, after opening statements. This...
DOJ-OGR-00011342.jpg
...Accordingly, the list includes several witnesses who will be called to
introduce certain documents or to testify about particular prior inconsistent statements.
DOJ-OGR-00011342
DOJ-OGR-00007400.jpg
...only after the witness
testifies.”). For instance, if the Court identifies a prior inconsistent statement in only one
document, no other records should be released to the defendant. And, in addition to evaluating
whether any statement is relevant to show bias or as a prior inconsistent statement, the Court should...
DOJ-OGR-00003103.jpg
...Itis also strong evidence
that the defendant’s statement “I never gave [Minor Victim-2] a massage” was false, as charged
in Count Six. /d. 423. If the Court severs the Indictment into two trials, it will require Minor
Victim-2 to testify about her abuse twice. Cf Richardson v...
DOJ-OGR-00012736.jpg
...cont
into the precinct,
took his statement.
Filed 08/10/22
sergeant
Page 222 of 236 1126
Dawson was the
fFession after the
the s
La
Among other things,
was going to try to steal the gun,
he took
more.
elicit
this wit
your Honor.
the prior inconsis
money.
I...
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John Smith