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EXHIBITH
from Indigent Defense
by TCDLA
DEFENDANT'S WRITTEN REQUEST FOR STATE TO DESIGNATE EXPERTS
The Defendant, John Doe , in the above entitled and numbered cause , and respectfully requests the State designate and disclose to the Defendant the name and address of each witness the State may use at trial as an expert witness , and/or which witness may be used to present evidence under Rules 702 , 703 , and 705, of the Texas Rules of Evidence. The Defendant requests that the State be required to designate and disclose to the Defendant the name and address of each witness the State may use at trial as an expert witness , and/or which witness may be used to present evidence under Rules 702, 703 , and 705 , of the Texas Rules of Evidence, in accordance with Article 39 . 14
(b) of the Texas Code of Criminal Procedure , no later than the 20 1h day before the date the above entitled and numbered cause is set for trial. This written request is hereby made in accordance with the Standing Discovery Control Order for the *** 1 h Judicial District Court of **** and **** Counties.
Respectfully submitted,
Law Offices of JESKO & STEADMAN
612 Earl Garrett Street
Kerrville, Texas 78028
Telephone: (830) 257-5005
Facsimile: (830) 896-1563
E-mail: jesksted@ktc .com
Clay B. Steadman
State Bar No. 00785038
Attorney for John Doe
Certificate Of Service
This is to certify that on , 2017 , a true and correct copy of Defendant ' s Written Request for State to Designate Experts , was served on the on the *** th Judicial District Attorney's Office , by facsimile.
Via Facsimile No. (***) ***-****
Name of District Attorney *** th District Attorney ' s Office
Address Line 1
Address Line 2 Clay B. Steadman