Good Morning Sir, As a matter of clarification regarding the government's Page 56 matters, specifically the exhibits listed as s-bb on the government exhibit list, the government's intention is to introduce the RCFL results disc (a copy of which has been previously given to the defense) in its entirety as an exhibit, have the RCFL examiner testify using the disc, and publish printouts of particular portions of that exhibit (the portions listed in the government exhibit list) to the members. Also, the government opposes both motions in limine (regarding corroboration and LCpl Wiley's medical condition) submitted by the defense. Very Respectfully, Captain Evan S. Day Trial Counsel, Military Justice Office Joint Law Center 3rd MAW/ MCAS Miramar Comm: 858-577-1887 DSN: 312-267-1887 Fax: 858-577-1734 Classification: UNCLASSIFIED//LIMDIS This e-mail is FOR OFFICIAL USE ONLY and is exempt from mandatory disclosure under FOIA. DoD 5400.7R, "DoD Freedom of Information Act Program", DoD Directive 5230.9, "Clearance of DoD Information for Public Release", and DoD Instruction 5230.29, and "Security and Policy Review of DoD Information for Public Release". ATTORNEY-CLIENT PRIVILEGED COMMUNICATION OR ATTORNEY WORK PRODUCT. The information contained in this message is privileged. It is intended only to be read by the individual or entity addressed or their designee. If the reader of this message is not the intended recipient, you are on notice that any distribution of this message, in any form, is prohibited. If you have received this message in error, please immediately notify the sender and delete or destroy any copy of this message. -----Original Message----- From: Day Capt Evan S Sent: Sunday, October 17, 2010 16:08 To: Simmons LtCol Gregory L; Grisalesmery Cpl Alejandro Cc: Crosswell Capt Ryan R; 'Haytham Faraj'; Hatch MAJ Douglas C; Douvas Capt Alex G; Nichols 1st Lt Roy; Leggett GySgt Terrance R Subject: US v Wylde- govt p. 56 matters Good Afternoon Sir, Please find attached the government's Page 56 matters in the subject case. Regarding the start time for this case, due to the amount of time I expect preliminary matters (such as Page 56 matters, the defense motions, and pre-admission of evidence) to occupy, I do not want to keep the members waiting for too long in the morning. With your permission, I would like to have the members informed that their show-up time at the Joint Law Center will be 1000. Very Respectfully, Captain Evan S. Day Trial Counsel, Military Justice Office Joint Law Center 3rd MAW/ MCAS Miramar Comm: 858-577-1887 DSN: 312-267-1887 Fax: 858-577-1734 Classification: UNCLASSIFIED//LIMDIS This e-mail is FOR OFFICIAL USE ONLY and is exempt from mandatory disclosure under FOIA. DoD 5400.7R, "DoD Freedom of Information Act Program", DoD Directive 5230.9, "Clearance of DoD Information for Public Release", and DoD Instruction 5230.29, and "Security and Policy Review of DoD Information for Public Release". ATTORNEY-CLIENT PRIVILEGED COMMUNICATION OR ATTORNEY WORK PRODUCT. The information contained in this message is privileged. It is intended only to be read by the individual or entity addressed or their designee. If the reader of this message is not the intended recipient, you are on notice that any distribution of this message, in any form, is prohibited. If you have received this message in error, please immediately notify the sender and delete or destroy any copy of this message.
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