the statements were made freely and voluntarily and after a knowing and intelligent waiver of rights by the PGC.

(2) Any previous arrest or detention of the PGC which did not result in conviction, or any other alleged offenses, purportedly involving the PGC, in which he was neither arrested nor charged.

(3) Any prior conviction of the PGC, except those which may be used for the purpose of impeachment.

(4) The rule regarding Motions in Limine shall apply to cases in which the PGC is represented by counsel as well as those cases where the PGC is not represented by counsel.

(As amended effective October 21, 2003; further Amended effective January 1, 2020)

LR18-CR00-DLR-0005 DISCOVERY AND MOTIONS IN LIMINE IN
CRIMINAL CASES

(I) Protective Order Regarding Materials Received in Discovery

In order to ensure a fair trial for both sides of the litigation as well as to provide for the protection and privacy of witnesses and victims, the Delaware County Circuit Court Board of Judges hereby adopts the following general Protective Order regarding discovery materials.

(A) Discovery material shall not be used by any person for any purpose other than to prepare for trial in a charged action and shall not be publicly exhibited, shown, displayed, or disseminated, (including uploading it to an internet site or social media site) in any form or fashion except in judicial proceedings and/or disciplinary proceedings.

(B) Counsel for the State and for the Defendant may display and review discovery materials with potential witnesses in the case, including expert witnesses. All witnesses who review discovery materials are bound by this Protective Order.

(C) Once discovery material has been provided to the defendant, defense counsel, or the State no additional copy of the discovery material shall be made by the State, the defendant, the defendant’s attorney, investigator, expert or any other representative or agent of the defendant without the permission of the Court, following notice to opposing counsel and opportunity to object. However, defense counsel may provide a copy of the discovery material to their client and