Here is the text we could read:
TRIAL COURT OF MASSACHUSETTS
BOSTON MUNICIPAL COURT DEPARTMENT
DIVISION
COMMONWEALTH vs. ____________________________________
DOCKET NUMBER
NAME OF DEFENDANT
DEFENSE CERTIFICATE OF DISCOVERY COMPLIANCE
(To be completed and submitted to the court when the defense has provided all discovery required by
Mass. R. Crim. P. 14 or by court order)
To the best of my knowledge and after reasonable inquiry, the undersigned has disclosed and made available all items
subject to automatic reciprocal discovery and court ordered discretionary discovery, other than reports of experts. The
identity of each item of discovery which has been provided is as follows:
1. AUTOMATIC RECIPROCAL DISCOVERY. See Rule 14(a)(1)(B).
G
G
G
G
G
Intended expert opinion evidence, including current curriculum vitae, list of publications, and all reports, other than evidence that
pertains to the defendant’s criminal responsibility and subject to Rule 14(b)(2), specifically: _____________________________
______________________________________________________________________________________________________
______________________________________________________________________________________________________
Material and relevant police reports, photographs, tangible objects, all intended exhibits, reports of physical examinations of any
person or of scientific tests or experiments, specifically: __________________________________________________________
______________________________________________________________________________________________________
______________________________________________________________________________________________________
Statements of persons the defense intends to call as witnesses [see definition of statement in Rule 14(d)], specifically:
______________________________________________________________________________________________________
______________________________________________________________________________________________________
Disclosure of all promises, rewards or inducements made to witnesses the defense intends to present at trial, specifically:
______________________________________________________________________________________________________
______________________________________________________________________________________________________
Names, addresses, and dates of birth of those persons whom the defendant intends to call as witnesses at trial, specifically:
______________________________________________________________________________________________________
______________________________________________________________________________________________________
2. DISCRETIONARY DISCOVERY. See Rule 14(a)(2).
_________________________________________________________________________________________________________
_________________________________________________________________________________________________________
_________________________________________________________________________________________________________
_________________________________________________________________________________________________________
Dated: _____________________
_________________________________________
G Defense Counsel G Pro Se Defendant
NOTE: Both parties have a continuing duty to disclose any additional material they learn about after this Certificate of Discovery
Compliance is filed, if such material would have been governed by a duty to disclose prior to the filing of this certificate. Mass. R. Crim.
P. 14(a)(4). A supplemental Certificate of Discovery Compliance must be filed specifically identifying any additional item of discovery
which is provided after the filing of this certificate. Mass. R. Crim. P. 14(a)(3).
Defense Certificate of Discovery Compliance
This info page is part of the LIT Lab's Form Explorer project. It is not associated with the Massachusetts state courts.
To learn more about the project, check out our about page.
Downloads: You can download both the original form (last checked 2023-03)
and the machine-processed form with normalized data fields.
About This Form:
- Sourced from www.mass.gov (2023-03)
- Page(s): 1
- Fields(s): 12
- Average fields per page: 12
- Reading Level: Grade 11
- LIST Grouping(s):
GO-00-00-00-00.
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Identified Data Fields:
We have done our best to automaticly identify and name form fields according to our naming conventions.
When possible, we've used names tied to our question library. See e.g., user1_name.
If we think we've found a match to a question in our library, it is highlighted in green. Novel names are auto generated. So, you will probably need to edit some of them if you're trying to stick to the convention.
Here are the fields we could identify.
name_defendant
was name_of_defendant (0.59 conf)intended_evidence_reports
was intended_expert_opinion_evidence__including_current_curriculum_vitae__list_of_publications__and_all_reports__other_than_evidence_that (0.38 conf)pertains_subject_rule
was pertains_to_the_defendant_s_criminal_responsibility_and_subject_to_rule_14_b__2_specifically (0.44 conf)material_intended_exhibits
was material_and_relevant_police_reports__photographs__tangible_objects__all_intended_exhibits__reports_of_physical_examinations_of_any (0.34 conf)tests_experiments_specifically
was person_or_of_scientific_tests_or_experiments__specifically (0.37 conf)intends_definition_rule
was statements_of_persons_the_defense_intends_to_call_as_witnesses__see_definition_of_statement_in_rule_14_d_specifically (0.31 conf)witnesses_intends_specifically
was disclosure_of_all_promises__rewards_or_inducements_made_to_witnesses_the_defense_intends_to_present_at_trial__specifically (0.43 conf)addresses_intends_witnesses
was names__addresses__and_dates_of_birth_of_those_persons_whom_the_defendant_intends_to_call_as_witnesses_at_trial__specifically (0.43 conf)discretionary_see_rule
was 2_discretionary_discovery_see_rule_14_a__2 (0.40 conf)defense_counsel_pro_se_defendant
was g_defense_counsel_g_pro_se_defendant (0.51 conf)dated
was dated (0.45 conf)mass_r_crim_p_court_order
was mass__r__crim__p__14_or_by_court_order (0.46 conf)
We've done our best to group similar variables togther to avoid overwhelming the user.
Suggested Screen 0:
material_intended_exhibits
Suggested Screen 1:
tests_experiments_specifically
Suggested Screen 2:
intended_evidence_reports
pertains_subject_rule
intends_definition_rule
witnesses_intends_specifically
addresses_intends_witnesses
discretionary_see_rule
Suggested Screen 3:
name_defendant
defense_counsel_pro_se_defendant
mass_r_crim_p_court_order
Suggested Screen 4:
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