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MOTION TO SUPPRESS EVIDENCE, OBSERVATIONS AND STATEMENTS OBTAINED IN VIOLATION OF — RIGHT TO DUE PROCESS [DEF – 7]
MOTION TO SUPPRESS EVIDENCE, OBSERVATIONS AND STATEMENTS OBTAINED IN VIOLATION OF — RIGHT TO DUE PROCESS      [DEF – 7] |
MOTION TO SUPPRESS EVIDENCE AND OBSERVATIONS OBTAINED AS A RESULT OF VIOLATIONS OF — RIGHT TO BE FREE FROM UNREASONABLE SEARCHES AND SEIZURES [DEF – 5]
MOTION TO SUPPRESS EVIDENCE AND OBSERVATIONS OBTAINED AS A RESULT OF VIOLATIONS OF — RIGHT TO BE FREE FROM UNREASONABLE SEARCHES AND SEIZURES [DEF – 5] |
MOTION TO SUPPRESS ALL EVIDENCE SEIZED PURSUANT TO DEFFECTIVE ARREST WARRANT [17]
MOTION TO SUPPRESS ALL EVIDENCE SEIZED PURSUANT TO DEFFECTIVE ARREST WARRANT [17] |
MOTION TO SEVER POSESSION OF A WEAPON BY A PREVIOUS OFFENDER FROM THE OTHER CHARGES [DEF – 1]
Defendant seeks an order severing the Possession of a Weapon Count from the other counts of Driving Under the Influence, Lane Usage Violation, Possession of a an Illegal Weapon, Prohibited Use of a Weapon, and Possession of Alcohol in a Motor Vehicle.
MOTION TO CONTINUE TRIAL
District Attorney submits a motion to continue the jury trial.
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 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 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 NON-TESTIMONIAL IDENTIFICATION EVIDENCE
 MOTION FOR NON-TESTIMONIAL IDENTIFICATION EVIDENCE
MOTION FOR EXPERT ENDORSEMENT AND DISCLOSURES [DEF – 3]
MOTION FOR EXPERT ENDORSEMENT AND DISCLOSURES [DEF – 3] |
MOTION FOR ADDITIONAL EXTENSION OF TIME TO FILE OPENING BRIEF
MOTION FOR ADDITIONAL EXTENSION OF TIME TO FILE OPENING BRIEF
DEFENSE REQUEST FOR IN-PERSON TESTIMONY PURSUANT TO U.S. CONST. AMEND. VI AND C.R.S. §16-3-309(5) REGARDING TESTING AND CHAIN OF CUSTODY [DEF – 2]
DEFENSE REQUEST FOR IN-PERSON TESTIMONY PURSUANT TO U.S. CONST. AMEND. VI AND C.R.S. §16-3-309(5) REGARDING TESTING AND CHAIN OF CUSTODY [DEF – 2] |
Appellant’s Opening Brief
Appellant’s opening brief concerning the case where the appellant is charged with driving under the influence of alcohol, careless driving, resisting arrest and obstruction of police.
Defendant’s Motion to Dismiss
Defendant’s motion to dismiss the Second Amended Complaint on the ground that it fails to state a claim upon which relief can be granted.Â
Reply in Support of Motion for Pro Hac Vice Admission
Plaintiff’s reply in support of defendant’s motion for pro hac vice admission.Â