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Home Court filings USA v. OKOJIE United States v. Bernard Okojie — S.D. Ga., No. 4:22-cr-00084-LGW-BWC Response to Motion by Bernard Okojie re 42 Motion for Reciprocal Discovery — USA v. Okojie (Dkt. 44, S.D. Ga.)

Court filing

Response to Motion by Bernard Okojie re 42 Motion for Reciprocal Discovery — USA v. Okojie (Dkt. 44, S.D. Ga.)

Filed October 13, 2022 in USA v. Okojie; one of 124 filings from this case.

Record facts

CourtU.S. District Court for the Southern District of Georgia
Filed2022-10-13

U.S. District Court for the Southern District of Georgia · No. 4:22-cr-00084-LGW-BWC · Doc. 44 · 2022-10-13 · Docket on CourtListener

Full text

IN THE UNITED STATES DISTRICT COURT
FOR THE SOUTHERN DISTRICT OF GEORGIA
SAVANNAH DIVISION 
UNITED STATES OF AMERICA
)
)
v.                                        
)   CASE NUMBER: CR422-0084
)
BERNARD OKOJIE, 
 
)
Defendant
)
DEFENDANT’S
RESPONSE TO GOVERNMENT’S 
MOTION FOR RECIPROCAL DISCOVERY
COMES NOW, BERNARD OKOJIE, Defendant, by and through his counsel of
record, and responds to the United State’s Motion for Reciprocal Discovery as follows:
1.
Mr. Okojie acknowledges receipt of the discovery materials furnished by the
government to date.   
2.
Mr. Okojie will comply with the requirements of Rule 16(b)(1)(A) and (B) of the
Federal Rules of Criminal Procedure concerning documents and objects and reports of
examinations and tests, should any of these items or information be within Mr. Okojie’s
possession, custody, or control or should he decide to use any of these items in his case-
in-chief at trial.
3.
Mr. Okojie will comply with the requirements of Rule 16(b)(1)(C ) of the Federal
Rules of Criminal Procedure concerning appropriate disclosures regarding expert
witnesses, if any, at a time sufficiently prior to trial to allow the government ample
Case 4:22-cr-00084-LGW-BWC     Document 44     Filed 10/13/22     Page 1 of 3

opportunity to prepare for cross examination. 
4.
As per the requirements of Rule 16(c ) of the Federal Rules of Criminal
Procedure, Mr. Okojie will continue to disclose any items or information that he may
discover. 
5.
Further, Mr. Okojie will comply with Rules 12 and 26 of the Federal Rules of
Criminal Procedure, should such matters become applicable. 
Respectfully submitted, this 13th day of October, 2022.      
    
/s/John  J. Ossick, Jr.
Georgia Bar No. 555150
JOHN J. OSSICK, JR., P.C.
Post Office Box 1087
Kingsland, Georgia  31548
Telephone:  912-729-5864
E-mail:  ossick@tds.net 
Case 4:22-cr-00084-LGW-BWC     Document 44     Filed 10/13/22     Page 2 of 3

IN THE UNITED STATES DISTRICT COURT
FOR THE SOUTHERN DISTRICT OF GEORGIA
SAVANNAH DIVISION 
UNITED STATES OF AMERICA
)
)
v.                                        
)   CASE NUMBER: CR422-0084
)
BERNARD OKOJIE, 
 
)
Defendant
)
CERTIFICATE OF SERVICE 
This is to certify that I have this day served all parties in this case in accordance
with the directives from the Court Notice of Electronic Filing (“NEF”), which was
generated as a result of electronic filing.
This 13th day of October, 2022.  
/s/John  J. Ossick, Jr.
Georgia Bar No. 555150
JOHN J. OSSICK, JR., P.C.
Post Office Box 1087
Kingsland, Georgia  31548
Telephone:  912-729-5864
E-mail:  ossick@tds.net 
Case 4:22-cr-00084-LGW-BWC     Document 44     Filed 10/13/22     Page 3 of 3

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