Scot Peterson Motion To Visit MSD

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Filing# 141581603 E-Filed 01/07/2022 02:28:58 PM

IN THE CIRCUIT COURT OF THE SEVENTEENTH JUDICIAL CIRCUIT


IN AND FOR BROWARD COUNTY, FLORIDA
FELONY DIVISION
THE STATE OF FLORIDA, CASE NO: 19007166CF10A

Plaintiff, JUDGE: FEIN


VS.

SCOT PETERSON,
Defendant.
I

MOTION TO VISIT SCENE


COMES NOW the defendant, Scot Peterson, by and through undersigned
counsel, pursuant to Florida Rules of Criminal Procedure and files this, his

Motion to Visit Scene. In support thereof,the defendant allegesthe following:

1. Defendant Scot Peterson is currentlycharged with seven counts of Child

Neglect,three counts of Culpable Negligence and one count o f Perjury

stemming from a horrific mass shootingthat occurred at Marjory Stoneman

Douglas High School on February 14, 2018.


2. Undersigned counsel is in which is
the process of zealouslypreparingfor trial,

currentlyspecialset for September 12,2022.

3. In lightof the unique issues involved in this case, undersigned must visit the

scene of the mass shooting in order to properlyprepare Mr. Peterson's

defense.

4. Undersigned requiresboth his client Scot Peterson and his privateinvestigator

Kevin Bolling to be present when viewing the scene.

5. Undersigned is requestingthat no one from the prosecutor'soffice attend


while undersigned is viewing the scene.

6. The State has had access to the scene to assist in their trial preparation.

7. The State has no objectionto undersigned counsel viewing the scene in person

so long as said visit is coordinated through the Broward Sheriff's Office. The

State objectsto Defendant Scot Peterson viewing the scene in person. As such,

the defense would request a hearing on this matter.

LAW OFFICES OF MARK EIGLARSH

*** FILED: BROWARD COUNTY, FL BRENDA D. FORMAN, CLERK 01/07/2022 02:28:58 PM.****
WHEREFORE, based upon the above and foregoing, the Defendant

respectfully
requests this Court to grant the instant motion.

CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true copy of the foregoing was electronically
,th
filed this 7I day ofJanuary, 2022.

Respectfullysubmitted,
LAW OFFICES OF MARK EIGLARSH
3107 StirlingRoad
Suite 207
Fort Lauderdale, FL 33312
Telephone (954) 500-0003
Facsimile (305) 674-0102

BY: /s/Markfigkrsh
MARK EIGLARSH
Florida Bar No.: 956414

LAW OFFICES OF MARK EIGLARSH

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