TERENCE HALLINAN District Attorney 880 Bryant Street San Francisco, California 94103 Telephone: (415) 553-1752 PEOPLE OF THE STATE OF CALIFORNIA, NO. ) Plaintiff, ) PROSECUTION REQUEST ) FOR DISCOVERY VS. ) MARK ALAN PAULINE ) Defendant. ) . TO THE DEFENDANT AND DEFENSE COUNSEL: Pursuant to Penal Code Section 1054.3 and Miscellaneous Order No. B of the San Francisco Superior Court the prosecution seeks discovery of the following: 1. The names and addresses of persons other than the defendant, who may be called to testify at the trial. 2. All written or recorded statements of said testifying witnesses relating to the case. 3. Reports of statements of persons described in items 1 and 2, above. 4. All reports and statements-of experts made in connection with this case, including all results of physical and mental examinations, scientific tests, experiments, and comparisons which are intended to be offered in evidence at the trial of defendant. 5. All real evidence which defendants intends to offer in evidence at the trial. Defense counsel is requested to provide and furnish for inspection, copying and use to the District Attorney the abovelisted items. Defense counsel is requested to comply within 15 days of this request, or in any event, no less than thirty (30) days before trial. This request is a continuing request for all included items, from this date through the conclusion of the case. DATED: SIGNED: D.A. ACKNOWLEDGEMENT OF DISCOVERY PEOPLE vs MARK ALAN PAULINE DISCOVERY COSTS COURT NO. RECEIVED FROM THE SAN FRANCISCO DISTRICT ATTORNEY'S OFFICE 1. INFORMAL REQUEST FOR DISCOVERY (FORM 527c) 2. POLICE REPORT NUMBER: 951611079 Number of Supplemental Report Provides: POLICE REPORT NUMBER: Number of Supplemental Report Provides: POLICE REPORT NUMBER: Number of Supplemental Report Provides: 3. CHRONOLOGICAL REPORT OF INVESTIGATION: ( ) 4. RECORD OF INVESTIGATION ( ) 5. PAGES OF WITNESS STATEMENTS: 6. PAGES OF VICTIM(S) STATEMENTS: 7. PAGES OF DEFENDANT(S) STATEMENTS: 8. PAGES OF FORENSIC REPORTS: 9. CAD PRINTOUT: 10. AUTOMATIC PRINTOUTS FOR: ( ) VEHICLES ( ) FIREARMS ( ) PIECES OF STOLEN PROPERTY ( ) BOOKED FOR EVIDENCE ( ) OTHER (SF FIRE DEPT HISTORY REPORT AND PHOTOS) 11 DEFENDANT'S SFPD RAP SHEET- ( ) . _ . CII RAP SHEET: ( ) FBI RAP SHEET: ( ) DMV RAP SHEET: ( ) 12. XEROX COPIES OF PHOTOS: ( ) 13. OTHER (over) ALSO AVAILABLE UPON PROPER MOTION, REQUEST OR PAYMENT OF FEES: Crime Lab Narcotics Analysis Case File ASCLD Lab Accreditation Report Number of Audio Tapes Number of Video Tapes Original Photos Felony Conviction(s) of Material Witness(s) RECEIVED FOR THE DEFENSE: SIGNATURE: DATE: PRINT NAME: Form 020c ACTION NO.1628141 DEFENDANT(S) VIOLATION(S) DEPT. MICHAEL DINGLE 12101(a)(5) H&S/Misd. 453(d) PC/Misd . MARK PAULINE 12101(a)(5) H&S/Misd. 453(d) PC/Misd . THE PEOPLE OF THE STATE OF CALIFORNIA VS. THE DEFENDANT ABOVE NAMED IN THE MUNICIPAL COURT CITY AND COUNTY OF SAN FRANCISCO STATE OF CALIFORNIA COMPLAINT CAPTAIN EDWARD de COSSIO states and declares on information and belief that the said defendant did in the City and County of San Francisco, State of California, between the 26th day of November, 1995, commit the crime of misdemeanor, to wit: Violating Section 12101(a)(5) of the California Health & Safety Code, in that the defendants did wilfully and unlawfully, without first having made application for and received a permit, use explosives. COUNT II That the said defendant did in the City and County of San Francisco, State of California, between the 26th day of November, 1995, commit the crime of misdemeanor, to wit: Violating Section 245(d) of the California Penal Code, in that the said defendant(s) did wilfully and unlawfully cause a fire of property, located at 450 BEALE STREET, PARKING LOT, SAN FRANCISCO. DECLARATION ATTACHED HERETO AND INCORPORATED HEREIN SETS FORTH THE UNDERLYING FACTS ESTABLISHING PROBABLE CAUSE FOR THE ARREST OF THE DEFENDANT NAMED IN THIS COMPLAINT. P ursuant to Penal Code Sections 1054 through 1054.7, the People request that, within 15 days, the defendant and/or his/her attorney disclose: (A) The names and addresses of persons, other than the defendant, he/she intends to call as witnesses at trial, together with any relevant written or recorded statements of those persons, or report of the statements of experts made in connection with the case, and including the results of physical or mental examinations, scientific tests, experiments, or comparisons which the defendant intends to offer in evidence at the trial; (B) Any real evidence which the defendant intends to offer in evidence at the trial. This request is a continuing request, to cover not only all such material currently in existence, but all material which comes into existence to the conclusion of this case. I state, declare, verify and certify under penalty of perjury that the foregoing is true and correct. Executed in San Francisco, California, on January 30, 1996. /dc CAPTAIN EDWARD de COSSIO DECLARATION IN SUPPORT OF ISSUANCE OF WARRANT OF ARREST The undersigned hereby declares, upon information and belief: That he is a captain of the Fire Department of the CITY & COUNTY OF SAN FRANCISCO. That a complaint charging MICHAEL DINGLE and MARK PAULINE defendant(s), with the crime(s) of 12101(a)(5) and 452(i) of the Penal Code has been issued and is filed herewith the Clerk of the Court. That said defendant(s) committed said offense(s) in the manner and by means as set forth and described in the following documents: San Francisco Police Report #951 611 079 and all documents, copies of which documents are attached hereto and incorporated by reference as though fully set forth. That said documents were prepared in the ordinary course of business and pursuant to the sworn duty of the officer(s) subscribing same, and that decla ant believes the contents thereof to be true. The undersigned further states and declares that as part of this application for an arrest warrant he/she has disclosed and provided to the Office of the District Attorney and to the court reviewing this declaration all known material facts, whether favorable or unfavorable, including all information which may be exculpatory, and that said information is contained in the exhibits attached hereto~ and incorporated by this reference as though fully set forth herein as part of the declaration in support of said issuance of this arrest warrant. That the contents of said documents provided probable cause to believe that the said defendant(s) committed said offense(s) and therefore support the issuance of a warrant of arrest for said defendant(s). Executed in San Francisco, California, on January 22, 1996 I declare under penalty of perjury that the foregoing is true and correct. /dc CAPTAIN EDWARD de COSSIO