Criminal Law
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MOTION TO SUPPRESS ILLEGAL STOP, INVOLUNTARY ROADSIDE TESTS, WARRANTLESS ARREST, STATEMENTS AND INVOLUNTARY BREATH TEST
MOTION TO SUPPRESS ILLEGAL STOP, INVOLUNTARY ROADSIDE TESTS, WARRANTLESS ARREST, STATEMENTS AND INVOLUNTARY BREATH TEST
Motion for 404B Notice
the motion requests that the Court Order the prosecution to provide notice in advance of trial that conforms to the standards set forth in People v. Spoto. Further, if the prosecution seeks to introduce such evidence, the Defendant moves that a hearing on the admissibility of such evidence be held sufficiently in advance of trial in order to afford counsel adequate time to confront the proffered evidence.
Motion to Suppress Defendants Statement during Custodial Interrogation
Sample to suppress Defendant’s statements while in custody without proper Miranda advisement. Well written motion to exclude evidence from an unlawful interrogation
Motion in Limine to Preclude the Prosecution’s Proposed Expert Testimony
Sample of a motion to preclude the prosecution’s proposed expert testimony. A well written motion to object against the prosecution’s expert witness’s testimony.
Motion to Suppress Unconstitutionally Obtained Convictions
Sample of a Motion to suppress unconstitutionally obtained convictions. A well written motion to suppress convictions based on the convictions being obtained without counsel.
Unopposed Motion to Continue Jury Trial
A sample of an unopposed motion to continue jury trial. A well written unopposed motion by the defense counsel to continue the scheduled jury trial which is without objection from the People.
Entry of Appearance and Motion for Preliminary Hearing
A sample of an Entry of Appearance and Motion for Preliminary Hearing. A well written form for an appearance for defendant.
Motion Requesting Notice of Prosecution’s Intent to Introduce Alleged Similar Evidence
A sample Motion requesting notice of prosecution’s intent to introduce alleged similar transaction evidence. Well written request for the Court to order the prosecution to specify any instances of alleged prior evidence.
MOTION FOR ADDITIONAL EXTENSION OF TIME TO FILE OPENING BRIEF
MOTION FOR ADDITIONAL EXTENSION OF TIME TO FILE OPENING BRIEF
MOTION FOR EXPERT ENDORSEMENT AND DISCLOSURES [DEF – 3]
MOTION FOR EXPERT ENDORSEMENT AND DISCLOSURES [DEF – 3] |
MOTION FOR NON-TESTIMONIAL IDENTIFICATION EVIDENCE
 MOTION FOR NON-TESTIMONIAL IDENTIFICATION EVIDENCE
MOTION FOR NOTICE OF 404(b) EVIDENCE [11]
Counsel moves for advance notice of any 404(b) evidence, and objects to the introduction of any such evidence at trial and requests a hearing
MOTION FOR NOTICE PURSUANT TO C.R.E. 404(B) [DEF – 4]
Defendant’s request the Court order the prosecution to give notice of intent to admit evidence pursuant to C.R.E. 404(b).
MOTION TO AMEND
District Attorney respectfully moves this Court to Amend Count XII, Assault in The First Degree, C.R.S. §18-3-202(1)(a), of the information filed against the defendant to be Assault in the First Degree, C.R.S. §18-3-202(1)(b).
MOTION TO CONTINUE TRIAL
District Attorney submits a motion to continue the jury trial.