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PostPosted: Mon Dec 10, 2012 2:10 pm 
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State’s response to motion to compel – third party:

http://www.scribd.com/doc/116260517/Sta ... hird-Party

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PostPosted: Mon Dec 10, 2012 4:22 pm 
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18th Circuit Court - Media Advisories

It is the goal of the Eighteenth Judicial Circuit to ensure that the media and public are accommodated to the best of the Court's abilities during special interest/high profile proceedings. Below you will find media advisories and public record documents pertaining to State v. Zimmerman (2012-CF-001083-A). Please continue to check this website for updates. Documents will be posted as they are made available for public distribution.

HIGH PROFILE CASES - State v. Zimmerman (2012-CF-001083-A)

http://www.flcourts18.org/presspublic.html


Media Advisories are updated with new releases

Updated | Case Description
12/07/12 | Motion To Modify Conditions of Release
http://www.flcourts18.org/PDF/Press_Rel ... 7%2012.pdf

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PostPosted: Mon Dec 10, 2012 4:30 pm 
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State's Responses to Defense's Motions and Mr. Zimmerman's Replies

on 10 December 2012.
The following motions were filed by the State in response to Defendant's Motion to Take Additional Deposition and Defendant's Motion to Compel Production of Evidence from Third Party.

STATE'S RESPONSE TO DEFENDANT'S MOTION TO TAKE ADDITIONAL DEPOSITION
http://184.172.211.159/~gzdocs/document ... sition.pdf

STATE'S RESPONSE TO DEFENDANT'S MOTION TO COMPEL PRODUCTION OF EVIDENCE FROM THIRD-PARTY

http://184.172.211.159/~gzdocs/document ... _party.pdf


The following are Mr. Zimmerman's replies to the State's responses.

MR. ZIMMERMAN'S REPLY TO STATE'S RESPONSE TO DEFENDANT'S MOTION TO TAKE ADDITIONAL DEPOSITION
http://184.172.211.159/~gzdocs/document ... sition.pdf

MR. ZIMMERMAN'S REPLY TO STATE'S RESPONSE TO DEFENDANT'S MOTION TO COMPEL PRODUCTION OF EVIDENCE FROM THIRD PARTY
http://184.172.211.159/~gzdocs/document ... compel.pdf

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PostPosted: Wed Dec 19, 2012 4:54 pm 
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18th Circuit Court - Media Advisories

It is the goal of the Eighteenth Judicial Circuit to ensure that the media and public are accommodated to the best of the Court's abilities during special interest/high profile proceedings. Below you will find media advisories and public record documents pertaining to State v. Zimmerman (2012-CF-001083-A). Please continue to check this website for updates. Documents will be posted as they are made available for public distribution.

HIGH PROFILE CASES - State v. Zimmerman (2012-CF-001083-A)

http://www.flcourts18.org/presspublic.html


Media Advisories are updated with new releases

Updated | Case Description
12/11/12 | Minutes for Motion before Judge Nelson
http://www.flcourts18.org/PDF/Press_Rel ... Nelson.pdf

12/11/12 | State's Response to Defentdant's Motion to Take Additional Deposition
http://www.flcourts18.org/PDF/Press_Rel ... sition.pdf

12/11/12 | State's 10th Supplemental Discovery
http://www.flcourts18.org/PDF/Press_Rel ... covery.pdf

12/11/12 | State's Response to Defendant's Motion to Compel Production of Evidence from Third-Party
http://www.flcourts18.org/PDF/Press_Rel ... -Party.pdf

12/11/12 | Mr. Zimmerman's Reply to State's Response to Defendant's Motion to Take Additional Deposition
http://www.flcourts18.org/PDF/Press_Rel ... sition.pdf

12/11/12 | Mr. Zimmerman's Reply to State's Response to Defendant's Motion to Compel Production of Evidence from Third Party
http://www.flcourts18.org/PDF/Press_Rel ... 0Party.pdf

12/07/12 | Motion for Clarification
http://www.flcourts18.org/PDF/Press_Rel ... cation.pdf

12/11/12 | Motion to Compel Regarding Voice Identification
http://www.flcourts18.org/PDF/Press_Rel ... 7%2012.pdf

12/07/12 | Motion to Compel Additional Discovery
http://www.flcourts18.org/PDF/Press_Rel ... 7%2012.pdf

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PostPosted: Wed Jan 02, 2013 7:46 pm 
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Zimmerman Defense Waives January 8 Hearing

Quote:
on 02 January 2013.
On October 12, 2012, the Zimmerman defense filed a Motion to Schedule Standing Hearings to Address Discovery and Other Case Management Issues. In response to our motion, the Judge has pre-scheduled a number of hearings that can be used if the defense or the state has motions to bring before the court. The next pre-scheduled hearing was set for January 8; however, the defense and the state have agreed that there are currently no matters that can be appropriately addressed by the Court on that date, so we have chosen to waive the January 8 hearing. The next hearing is scheduled for February 5, and we anticipate there will be new motions put before the court in advance of that hearing date.

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PostPosted: Tue Jan 08, 2013 4:23 pm 
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http://www.gzlegalcase.com/index.php/press-releases


State's 11th Supplemental Discovery

on 07 January 2013.
The following recordings were provided to us as part of the State’s 11th Supplemental Discovery. The recordings were provided to us in .wma files. For the purpose of providing them publicly, they were converted to .wav files, the name of the witness was redacted when necessary, and they were converted to .mp3 files to be posted on this website.

STATES 11th SUPPLEMENTAL DISCOVERY Exhibit
http://184.172.211.159/~gzdocs/document ... covery.pdf
FDLE Property Receipt Form
http://184.172.211.159/~gzdocs/document ... t_form.pdf

Crump/Witness 8 Interview Part 1
http://184.172.211.159/~gzdocs/document ... A1_red.mp3

Crump/Witness 8 Interview Part 2
http://184.172.211.159/~gzdocs/document ... A2_red.mp3

Crump/Witness 8 Interview Part 3
http://184.172.211.159/~gzdocs/document ... A3_red.mp3

Crump/Witness 8 Interview Part 4
http://184.172.211.159/~gzdocs/document ... A4_red.mp3

Crump/Witness 8 Interview Part 5
http://184.172.211.159/~gzdocs/document ... A5_red.mp3

Crump/Witness 8 Interview Part 6
http://184.172.211.159/~gzdocs/document ... A6_red.mp3

Crump/Witness 8 Interview Part 7
http://184.172.211.159/~gzdocs/document ... A7_red.mp3

The Discovery Exhibit mentions that this recording was provided to the defense of 5/14/12. Here is a .mp3 of that file for reference.

Crump/Witness 8 Interview Provided 5/14/12
http://184.172.211.159/~gzdocs/document ... ay2012.mp3

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PostPosted: Tue Jan 08, 2013 4:24 pm 
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From GZ Legal Site

http://www.gzlegalcase.com/index.php/press-releases


State's 11th Supplemental Discovery

on 07 January 2013.
The following recordings were provided to us as part of the State’s 11th Supplemental Discovery. The recordings were provided to us in .wma files. For the purpose of providing them publicly, they were converted to .wav files, the name of the witness was redacted when necessary, and they were converted to .mp3 files to be posted on this website.

STATES 11th SUPPLEMENTAL DISCOVERY Exhibit
http://184.172.211.159/~gzdocs/document ... covery.pdf
FDLE Property Receipt Form
http://184.172.211.159/~gzdocs/document ... t_form.pdf

Crump/Witness 8 Interview Part 1
http://184.172.211.159/~gzdocs/document ... A1_red.mp3

Crump/Witness 8 Interview Part 2
http://184.172.211.159/~gzdocs/document ... A2_red.mp3

Crump/Witness 8 Interview Part 3
http://184.172.211.159/~gzdocs/document ... A3_red.mp3

Crump/Witness 8 Interview Part 4
http://184.172.211.159/~gzdocs/document ... A4_red.mp3

Crump/Witness 8 Interview Part 5
http://184.172.211.159/~gzdocs/document ... A5_red.mp3

Crump/Witness 8 Interview Part 6
http://184.172.211.159/~gzdocs/document ... A6_red.mp3

Crump/Witness 8 Interview Part 7
http://184.172.211.159/~gzdocs/document ... A7_red.mp3

The Discovery Exhibit mentions that this recording was provided to the defense of 5/14/12. Here is a .mp3 of that file for reference.

Crump/Witness 8 Interview Provided 5/14/12
http://184.172.211.159/~gzdocs/document ... ay2012.mp3

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PostPosted: Tue Jan 08, 2013 4:26 pm 
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State's 10th Supplemental Discovery

on 08 January 2013.
The following documents were provided to us as the State's 10th Supplemental Discovery.

STATE'S 10th SUPPLEMENTAL DISCOVERY Exhibit
http://184.172.211.159/~gzdocs/document ... xhibit.pdf

STATE'S 10th SUPPLEMENTAL DISCOVERY Documents
http://184.172.211.159/~gzdocs/document ... uments.pdf

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PostPosted: Tue Jan 08, 2013 9:34 pm 
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Diwataman Has Combined the 7 Dee Dee audio parts


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PostPosted: Sat Jan 12, 2013 4:31 am 
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18th Circuit Court - Media Advisories

It is the goal of the Eighteenth Judicial Circuit to ensure that the media and public are accommodated to the best of the Court's abilities during special interest/high profile proceedings. Below you will find media advisories and public record documents pertaining to State v. Zimmerman (2012-CF-001083-A). Please continue to check this website for updates. Documents will be posted as they are made available for public distribution.

HIGH PROFILE CASES - State v. Zimmerman (2012-CF-001083-A)

http://www.flcourts18.org/presspublic.html


Media Advisories are updated with new releases

Updated | Case Description
1/4/2013 | Letter from State Attorney Angela Corey
http://www.flcourts18.org/PDF/Press_Rel ... 0Corey.pdf

1/4/2013 | Executive Order 12-279
http://www.flcourts18.org/PDF/Press_Rel ... 12-279.pdf

1/4/2013 | Designation of Assistant State Attorneys and Investigators
http://www.flcourts18.org/PDF/Press_Rel ... gators.pdf

1/4/2013 | Notice of Docket Sounding
http://www.flcourts18.org/PDF/Press_Rel ... 202013.pdf

1/3/2013 | Order Continuing Docket Sounding and Cancelling January 8 Hearing Date
http://www.flcourts18.org/PDF/Press_Rel ... merman.pdf


Rick Scott: Continuation of Corey's Appointment (Executive Order 12-279)
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Corey: Designation of Assistant State Attorneys and Investigators
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PostPosted: Tue Jan 15, 2013 4:13 pm 
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18th Circuit Court - Media Advisories

It is the goal of the Eighteenth Judicial Circuit to ensure that the media and public are accommodated to the best of the Court's abilities during special interest/high profile proceedings. Below you will find media advisories and public record documents pertaining to State v. Zimmerman (2012-CF-001083-A). Please continue to check this website for updates. Documents will be posted as they are made available for public distribution.

HIGH PROFILE CASES - State v. Zimmerman (2012-CF-001083-A)

http://www.flcourts18.org/presspublic.html


Media Advisories are updated with new releases

Updated | Case Description
1/14/13 | Notice of Compliance with Subpoena Duces Tecum
http://www.flcourts18.org/PDF/Press_Rel ... 4%2013.pdf


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PostPosted: Wed Jan 16, 2013 1:34 pm 
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Zimmerman Defense Receives Trayvon Martin’s School Records

Quote:
on 16 January 2013.
The Zimmerman defense received the school records of Trayvon Martin, as ordered by Judge Nelson. When we asked the Court to issue Subpoenas Duces Tecum for the school records, the State objected, and Mr. Crump, on behalf of the Martin family, registered a public objection. They argued, in part, that George Zimmerman did not know Trayvon Martin before the night of February 26, 2012, and so the nature of Trayvon’s character as revealed in the school records is irrelevant to the case at hand.

The Judge ruled that the defense should have the records. This ruling was based, in large part, on a case called State v. Munoz, 45 So 3d 954 (3 DCA 2010). That case holds that, under the right circumstances, a person's reputation for violence may be admissible in a case, even if the person accused of the crime was unaware of the reputation. The case focuses on the issue of the whether the person with the reputation may have acted aggressively in this case.

We are entitled to receive the school records because some information in Trayvon Martin’s file could be relevant in the defense of George Zimmerman. Moreover, information provided in the file could lead to other discoverable information that may be relevant in the defense. It is our right and our obligation to explore these issues in the zealous advocacy of our client. While some people have argued that this is improper, they can only do so if they are ignorant of the law. As attorneys and advocates, we are charged with the responsibility to investigate and discover any information which may assist our client's interests of presenting all relevant evidence regarding this event. No one would want, or accept, less if they were the client -- nor should they expect less.

Trayvon Martin’s school records are protected, and they should not become part of the public record. We will not post them on our website. If any detail of the school records should be considered relevant in the course of a Self-Defense Immunity Hearing, only the parts deemed relevant to the case will be entered into evidence.

A number of parties have expressed concern that we will use information found in the school records to “demonize” Trayvon Martin. The Zimmerman defense has no intention to demonize Trayvon Martin. While we believe that George Zimmerman has been unjustly demonized as a racist and a murderer by those who saw benefit in doing so, nothing would justify a reciprocal attack on the character and memory of Trayvon Martin.

We also recognize that the memory of Trayvon Martin has become important to the conversation about the state of race relations in America. While the accusations of racially-motivated violence in the Zimmerman case are absolutely false, we know that racially-motivated mistreatment in the criminal justice system is still a serious problem. Further, even though the memory of Trayvon Martin has been misapplied to represent such racially-motivated mistreatment, we welcome the opportunity it has provided to have a candid conversation about race relations in America -- as long as that conversation does not interfere with the proper application of justice for George.

As we approach a Self-Defense Immunity Hearing and/or a jury trial, there will be necessary scrutiny of Trayvon Martin. As it is true for any person who undergoes such scrutiny, facts may come out that could be seen to show him in a less than favorable light. We do, for instance, have an interest in presenting Trayvon Martin accurately as he appeared on the night of February 26, 2012, and that will include challenging the several-years-old photo of Trayvon Martin as a boy wearing a red shirt -- the photo that has become the popular representation of him in the minds of the public at large. If the memory of Trayvon Martin is going to be a catalyst for a conversation about race relations in America, then we should have an honest conversation.

NOTICE OF COMPLIANCE WITH SUBPOENA DUCES TECUM
http://184.172.211.159/~gzdocs/document ... bpoena.pdf

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PostPosted: Fri Jan 18, 2013 11:13 am 
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Defendant's Supplemental Notice of Reciprocal Discovery

Quote:
on 18 January 2013.
The defense has filed DEFENDANT’S SUPPLEMENTAL NOTICE OF RECIPROCAL DISCOVERY. The notice cites several items found in the records of the Florida Department of Law Enforcement that had not previously been disclosed or furnished to the defense. Once these items have been redacted we will post them to our website.


DEFENDANT'S SUPPLEMENTAL NOTICE OF RECIPROCAL DISCOVERY
http://184.172.211.159/~gzdocs/document ... covery.pdf

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PostPosted: Fri Jan 18, 2013 11:23 am 
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PostPosted: Fri Jan 18, 2013 1:04 pm 
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MOTION FOR SUBPOENA DUCES TECUM TO AMERICAN BROADCASTING COMPANY (ABC)

Quote:
on 18 January 2013.
The defense has filed the following MOTION FOR SUBPOENA DUCES TECUM TO AMERICAN BROADCASTING COMPANY (ABC), ALSO KNOW AS AMERICAN BROADCASTING COMPANIES. (ABC,INC.), AND ITS DIVISIONS, SUBSIDIARIES, AND AFFILIATES.
MOTION FOR SUBPOENA DUCES TECUM TO AMERICAN BROADCASTING COMPANY (ABC), ALSO KNOW AS AMERICAN BROADCASTING COMPANIES. (ABC,INC.), AND ITS DIVISIONS, SUBSIDIARIES, AND AFFILIATES


MOTION FOR SUBPOENA DUCES TECUM TO AMERICAN BROADCASTING COMPANY (ABC)
http://184.172.211.159/~gzdocs/document ... to_abc.pdf

The following NOTICE OF HEARING has been filed with the court.
NOTICE OF HEARING
http://184.172.211.159/~gzdocs/document ... earing.pdf

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PostPosted: Fri Jan 18, 2013 1:10 pm 
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Guttman Recordings (and notes) sought

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PostPosted: Thu Jan 24, 2013 2:36 pm 
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Notices of Taking Deposition

on 24 January 2013.

The following NOTICES OF TAKING DEPOSITIONS have been filed with the Court. It is our policy to post NOTICES OF TAKING DEPOSITIONS only after the depositions have occurred.
NOTICE OF TAKING DEPOSITIONS December 11, 2012.
NOTICE OF TAKING DEPOSITIONS January 15, 2013.
NOTICE OF TAKING DEPOSITIONS January 18, 2013
NOTICE OF TAKING DEPOSITIONS January 18, 2013 (Afternoon).
NOTICE OF TAKING DEPOSITIONS January 22, 2013.
NOTICE OF TAKING DEPOSITIONS January 23, 2013.

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PostPosted: Thu Jan 24, 2013 2:41 pm 
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H/T "nettles" at CTH

Dec. 11th was W6, (John) W17 (John’s Fiancee)

H/T "nettles" at CTH

Dec. 11th was W6, (John) W17 (John’s Fiancee)

Jan. 15th was W5 (Crutcher), W11 (911 caller with yells heard in call), W20 (W11's fiancee) and W16 is Selma

Jan. 18th was W4 (Cheryl Brown) and W15 (Ms. Brown’s 18 year old daughter). Notably, W14 (Austin Brown) was not deposed.

Jan. 18th – afternoon was Pricilla Feller and Ben Dorton at the Medical Examiner’s Office.

Jan. 22nd was FDLE (Orlando) investigator John Batchelor

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PostPosted: Wed Jan 30, 2013 6:10 pm 
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Defendant's Motion to Continue

on 30 January 2013.

The following DEFENDANT'S MOTION TO CONTINUE has been filed with the Court, as well as two additional motions and an AMENDED NOTICE OF HEARING.

DEFENDANT'S MOTION TO CONTINUE
http://184.172.211.159/~gzdocs/document ... ntinue.pdf

DEFENDANT'S MOTION FOR SPECIFIC DISCOVERY FROM FLORIDA DEPARTMENT OF LAW ENFORCEMENT
http://184.172.211.159/~gzdocs/document ... y_fdle.pdf

MOTION FOR ORDER ISSUING SUBPOENA DUCES TECUM TO 7-ELEVEN,INC
http://184.172.211.159/~gzdocs/document ... a_7-11.pdf

AMENDED NOTICE OF HEARING
http://184.172.211.159/~gzdocs/document ... a_7-11.pdf

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PostPosted: Thu Jan 31, 2013 4:14 pm 
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DEFENDANT'S MOTION FOR SPECIFIC DISCOVERY

on 31 January 2013.

The following motion has been filed with the Court, along with a SECOND AMENDED NOTICE OF HEARING.

DEFENDANT'S MOTION FOR SPECIFIC DISCOVERY
http://184.172.211.159/~gzdocs/document ... c_disc.pdf

SECOND AMENDED NOTICE OF HEARING
http://184.172.211.159/~gzdocs/document ... ed_noh.pdf

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