STATE J3 - Idaho

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Filed: Seventh Judicial District, Fremont County Abbie Mace, Clerk of the Court By: Deputy Clerk - 06/10/2020 09:55:19 Parker, Eileen

Transcript of STATE J3 - Idaho

Page 1: STATE J3 - Idaho

ROB H. WOOD # 8229

Madison County Prosecuting Attorney

{woodficcuymadison‘idfis

159 East Main Street

P. O. Box 350

Rexburg, Idaho 83440

(208) 356-7768

(208) 356-«7839

IN THE DISTRICT COURT 0F THE SEVENTfl JUDICIAL DISTRICT 0FTHE STATE 0F IDAHO, IN'AND FOR THE COUNTY OF FREMONT

MAGISTRATE DIVISION

STATE <39 iDAHQ,

Plaintiff,

V.

CHAD GUY DAYBELL202 North 1900 East

Rexburg, Idaho 83440

DOB: 08/1 i/I968

ISSN: ‘XXX-XX-S 1 36,

Defendant.

Case N04: cgJ3 -20 '75:

MOTION TO SEAL.

COMES NOWyVRob H. Wood, Pmsecuting Attorney, in and for the County 0fFremont; State

0f Idaho, and puts before the Court a motion to seal the Affidavit for probable cause for and anest

warrant pursuant to Idaho Conn: Admirfistrative Rule 32, for the foilowing reasons:

(l) The interests in privacy are predominant over thepublic’s interest in disciosure.

(2) Sealing the affidavit and warrant is theleast restrictive measure consistent with the privacy

interests at issue.

(3) The affidavit and warrant contains facts 0r statemems, the dissemination or

publication of which would reasonably result in cempromise the .iintegity ofthe

ongoing criminal investigation, or jeopardize the safety of the officers andfcr

MOTION TO SEAL RECORD

Filed:Seventh Judicial District, Fremont CountyAbbie Mace, Clerk of the CourtBy: Deputy Clerk -

06/10/2020 09:55:19

Parker, Eileen

Page 2: STATE J3 - Idaho

individualsWho are still currenfiyinvestigating 0n scene and continuing to search

for and culled physical "evidence.

(4) This ifivestigation has received significant media attention;

(5) Sealing thesedocuments duringthe pendency 0fthis criminal investigation is in the

best interest ofjustice and will preserve the right to a fair trial.

(6) The State’s requested motion to sea} does not include the dafendant or defense

counsel. The State wifl provide the affidavit t0 the Defense;

"The State therefore respecifully requests that the affidavit for probable cause and arrestvwaxr’ant

be sealed until there is further order of‘the Court.

DATED this 1’9 day ofxune, 202.0,.

\N ~33" /

Rob H. WandMadison County Prosecuting Attorney

MOTION TO SEAL RECORD 2