Trooper Adkison testified that he did not read the second step of the procedures. In Taylor v. Commonwealth, this Court reversed a district court's order denying the appellant's motion to suppress when it found that "the Commonwealth failed to establish that it met the foundation requirements necessary to admit the breath test results" when the trooper administering the breath test failed to follow the second step of the operating procedures. No. 2020-CA-0262-DG, 2021 WL 1051581, at *9 (Ky. App. Mar. 19, 2021). Additionally, this Court reasoned that it need not address additional arguments regarding the length of the observation period or whether the presence of a foreign substance in a subject's mouth invalidates breath test results because the foundation requirements were not met.