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 UNITED STATES DISTRICT COURT  
FOR THE DISTRICT OF COLUMBIA 
 
UNITED STATES OF AMERICA   : 
:   
v.    : Criminal No. 1:21- cr-00078- EGS  
:  
JOHN EARLE SULLIVAN,   :  
   :  
Defendant.   : 
 
JOINT STATUS REPORT AND PROPOSED PRETRIAL DEADLINES  
 
The United States of America , with concurrence of defense counsel, hereby respectfully 
submits this status report to the Court regarding the above -captioned case.  
A. Background  
The grand jury returned on November 10, 2021, a Superseding Indictment charging 
Defendant with violation of 18 U.S.C. §§ 1512(c)(2) (Obstruction of an Official Proceeding) in 
addition to other charges including 18 U.S.C. §§ 231(a)(3)(Civil Disorder), 1752( a)(1) and 
(b)(1)(A)(Entering and Remaining in a Restricted Building or Grounds with a Dangerous Weapon), 1752(a)(2) and (b)(1)(A) (Disorderly and Disruptive Conduct in a Restricted Building with a Dangerous Weapon) and 1001(a)(2)(False Statement or Represe ntation to an Agency of 
the United States) and 40 U.S.C. §§ 5104(e)(1)(A)(i)(Unlawful Possession of a Dangerous Weapon on Capitol Grounds or Buildings), 5104(e)(2)(D)(Disorderly Conduct in a Capitol Building), and 5104(e)(2)(D)(Parading, Demonstrating, or Picketing in a Capitol Building).  
The defendant is not in custody. Additionally, the parties note that there are numerous 
substantive motions pending before the Court that toll the speedy trial clock.  These include 
Defendant’s Motion to Dismiss Count 1 of  the Superseding Indictment and Motion to Adopt and 
Join Motion in 21- cr-28 [DE 62] and a Supplemental Motion to Dismiss Count [71], Motion to Case 1:21-cr-00078-RCL   Document 82   Filed 08/22/22   Page 1 of 4 
 Dismiss Count Eight of the Superseding Indictment as Being Void for Vagueness [DE 47], and a 
Motion to Suppress C ustodial Statements [DE 46]. 
The Court set a trial date of October 25, 2023, and directed the parties to propose a 
pretrial deadlines for (1) expert disclosure; (2) grand jury and Jenks Act disclosures at to each witness the Government expects to call in i ts case -in-chief; and (3) Brady materials not already 
disclosed by August 23, 2022. The parties propose the below accordingly.  
B. Proposed Pret rial Deadlines  
1. The United  States  shall  make any required  expert  disclosures  pursuant  to 
Rule  16(a)(1)(G) by July 17, 2023;  any reciprocal  expert  disclosure  by Defendant 
pursuant to Rule 16(b)(1)(C) shall be made by July 31, 2023. 
2. The United States  will endeavor  to make grand jury and Jencks Act  disclosures 
as to each witness it expects to call in its case- in-chief on or before September 
2, 2023. Any Brady material not already disclosed also must be disclosed by this 
date. 
C. Additional Pre trial Deadlines  
 To assist the Court further, the parties also proposed the following pretrial deadlines for 
the Court’s consideration. 
1. The United States shall notify Defendant of its intention to introduce any Rule 404(b) evidence not already disclosed on or before May 5, 2023. 
2. Motions  in limine  shall  be filed on or before June 2 , 2023; oppositions shall be 
filed on or June 16, 2023;  and replies  shall  be filed on or before  June 23, 2023.
 
If the United  States wishes to file a motion in limine  with respect to any defense 
expert, it may do so by filing  a motion  by August 25 , 2023;  any opposition  to Case 1:21-cr-00078-RCL   Document 82   Filed 08/22/22   Page 2 of 4 
 such motion  shall  be filed by September 1 , 2023. 
3. Defendant  shall  satisfy  his reciprocal  discovery  obligations, if any, under  
Rule  16(b) (except as to experts, as noted above) by July 3, 2023. The court 
will consider any motion in limine with respect to reciprocal discovery after 
such discovery is received. Any such motion shall be filed by August  25, 2023; 
any opposition to such moti on shall be filed by September 1 , 2023. 
4. The parties request that a hearing be  scheduled to present argument as to any 
motions filed pursuant to paragraph s 2and 3 the week of September 11 , 2023.  
5. On or before October 1 3, 2023, counsel shall file a Joint Pre trial Statement that 
contains the following:  
a. Proposed voir  dire questions .  
 
b. Proposed jury instructions .  
 
c. List of witnesses .   
 
d. Exhibit  lists.   
 
e. Stipulations .   
 
f. Proposed verdict  form .   
 
  Case 1:21-cr-00078-RCL   Document 82   Filed 08/22/22   Page 3 of 4 
  
 
Respectfully submitted,  
COUNSEL FOR THE GOVERNMENT  
MATTHEW GRAVES  
United States Attorney  
DC Bar No. 4 81052  
 
 
     By: /s/ Joseph H. Huynh   
JOSEPH H. HUYNH  
D.C. Bar No. 495403  
Assistant United States Attorney (Detailed)  
405 East 8th Avenue, Suite 2400 
Eugene, Oregon 97401- 2708 
Telephone: (541) 465 -6771 
Joseph.Huynh@usdoj.gov    
   
       
       COUNSEL FOR THE DEFENDANT  
       /s/ Steven Roy Kiersh           
STEVEN ROY KIERSH  
DC Bar # 323329 Law Offices of Steven R. Kiersh  
5335 Wisconsin Avenue, NW  
Suite 440 Washington, DC 20015 Telephone (202) 347- 0200 
skeirsh@aol.com  
  Case 1:21-cr-00078-RCL   Document 82   Filed 08/22/22   Page 4 of 4