(75.) Appellant's Opening Brief, supra note 70, at 12, 13 & n.10, 43-44, 66; Respondent's Brief, supra note 70, at 10 (quoting Ranajit Chakraborty & Jianye Ge, Statistical Weight of a DNA Match in Cold-Hit Cases, FORENSIC SCI.
(79.) See Appellant's Opening Brief, supra note 70, at 19; Smith, supra note 70, at 74.
(80.) See Appellant's Opening Brief, supra note 70, at 2; Respondent's Brief, supra note 70, at 1.
(90.) See Appellant's Opening Brief, supra note 70, at 23-26; Respondent's Brief, supra note 70, at 6-7.
Appellant's Opening Brief, supra note 2, at 30-31 (quoting Powell excerpt from People v.
[paragraph][paragraph] 15-16; see also Appellant's Opening Brief, supra note 6, at 3.
(17.) Bass, 2008 WL 3833712, at *1; Appellant's Opening Brief, supra note 6, at 3; Suggestions in Support of Plaintiff's Motion for Summary Judgment at 4-5, State ex rel.
(24.) Appellant's Opening Brief, supra note 6, at 9; Docket Entry, Judgment Entered, State ex rel.
(25.) See Appellant's Opening Brief at 3; see also RUI One Corp., 371 F.3d at 1166 (Bybee, J., dissenting) ("However, of the three principal leaseholders in the Marina Zone, the Radisson, HS Lordships, and Skates (owned by RUI), only Skates is currently subject to the Marina Amendment.
See Appellant's Opening Brief at 4648 (citing Allied Structural Steel Co.
(37.) See Appellant's Opening Brief at 33-34 (arguing that RUI's labor costs are so central to the bargained-for considerations that it must be considered a term of the lease).
(40.) See Appellant's Opening Brief at 19 (citing United States Trust Co., 431 U.S.