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IN THE SUPERIOR COURT
FOR THE
State of Ridgeway
THE STATE OF RIDGEWAY,
Plaintiff,
v.
S6HOTZ,
Defendant.
Docket No. RSC-CM-2591
CERTIFICATE OF COMPLIANCE
Pursuant to Rid. R. Crim. P. 14(a)(3), the undersigned hereby certifies as follows:
1. To the best of my knowledge and after reasonable inquiry, the Defense has disclosed
and made available all items subject to discovery in this case, other than reports of
experts.
2. The following discovery materials have been provided to the State:
a. Affidavit of probable cause
b. Video recording of the incident
c. A screenshot taken by the police of the Defendant’s presence in Discord
d. Interview transcripts with witnesses
e. Defendants entire criminal history
f. The name of the State’s intended expert witness
g. The name of the State’s intended law enforcement witness
h. The names of the State’s intended eyewitnesses
3. In accordance with Rid. R. Crim. P. 14(a)(4), if any additional discovery is obtained,
the Defense will promptly notify the State by filing a Supplemental Certificate of
Compliance, identifying the additional items provided.
4. The Discovery produced the same results as the State’s, evidence already submitted by
the State may not be inside the Defense’s discovery.
Dated: September 22nd, 2025 Respectfully submitted:
CharlesLXV
CHARESLXV (SBN: 15102)
Attorney
Pro-Bono