State v. Athon
Annotate this CaseDefendant was arrested and charged with operating a motor vehicle while under the influence of alcohol, speeding, and failing to reinstate his driver's license. Rather than participate in discovery pursuant to Ohio R. Crim. P. 16, Defendant submitted a public records request directly to the Highway Patrol. After the Highway Patrol provided Defendant with numerous records, the State successfully moved the trial court to compel Defendant to provide discovery, asserting that the public records request amounted to a demand for discovery and triggered a reciprocal duty of disclosure pursuant to Rule 16. The court of appeals reversed, holding that a public records request is not a demand for discovery, and therefore, Defendant owed no duty of reciprocal disclosure to the State. The Supreme Court reversed, holding (1) when an accused makes a public records request for information that could have been obtained from the State through discovery, that request is the equivalent of a demand for discovery, and a reciprocal duty of disclosure arises in accordance with Rule 16; and (2) because Defendant received evidence from the Highway Patrol that could have been obtained from the prosecutor through discovery, he had a reciprocal duty to provide discovery to the State.
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