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Mega Edition: The Yik Yak, Bank Of America And Apple Warrants In Moscow (9/7/26)

About this episode

Investigators obtained a warrant for Yik Yak because the app’s location-based, semi-anonymous format offered another way to examine Bryan Kohberger’s online activity during the months before and after the murders. The warrant sought records tied to accounts associated with Kohberger from June 1, 2022 forward, including account identifiers, registration information, IP addresses, usernames, billing details and other stored data that could help investigators determine whether he had posted, communicated or interacted with people in the Moscow-Pullman area. Because Yik Yak organized conversations around users within a roughly five-mile radius, the platform could potentially reveal whether Kohberger had been participating in local discussions or leaving a digital trail connected to the University of Idaho community. Investigators also obtained extensive Apple records tied to Kohberger’s accounts, seeking information associated with services such as iCloud, email, iMessage, FaceTime, login history, devices, location services and stored photographs or documents. The Apple warrants became important enough that Kohberger later moved to suppress the resulting evidence, arguing that investigators had invaded an enormous amount of private digital information, but Judge Steven Hippler ultimately rejected that challenge.

The Bank of America warrant showed that detectives were simultaneously examining the financial side of Kohberger’s life. It was part of a much wider sweep involving numerous banks and financial institutions, including Banner Bank, Discover, Wells Fargo, Umpqua and others, as investigators looked for transaction records that might help reconstruct purchases, travel, movements or other activity potentially relevant to the murders. The publicly available Bank of America material remained heavily restricted: Judge Megan Marshall ordered the affidavit supporting the warrant sealed and the warrant and inventory redacted because they contained highly private information and material that could endanger individuals. That means the precise transactions investigators were targeting were not fully disclosed publicly. Taken together, the Yik Yak, Apple and Bank of America warrants illustrated just how broad the post-arrest investigation became. Detectives were not simply trying to prove where Kohberger’s car or phone had been; they were digging through his social activity, cloud-based digital life and financial history to determine whether any part of that record could establish planning, contact, purchases, motive or behavior connected to the King Road murders.


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Mega Edition: The Yik Yak, Bank Of America And Apple Warrants In Moscow (9/7/26)

The Diddy Diaries

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The Diddy DiariesMega Edition: The Yik Yak, Bank Of America And Apple Warrants In Moscow (9/7/26). Machine-transcribed; use the interactive transcript above to jump the player to any line.

What's up everyone and welcome back to the program. On this episode, we're going to dive right back into those core documents and take a look at the warrant for Yickeak Incorporated. Case number CR 29-22-2805. In the matter of the application for a search warrant for Yickeak Incorporated, MPD case number 22-M0903. This matter came before the court on February 10, 2023, on the court's motion to seal or redact, pursuant to i.c.a.r 32i. The hearing was held via Zoom, William W. Thompson Jr. and Ashley Jennings appeared on behalf of the state, and Taylor appeared on behalf of Mr. Coburger. The court reviewed the records, considered the arguments presented, weighed the interest in privacy and public disclosure, and announced its findings of fact on the record.

Therefore, pursuant to i.c.a.r 32i.a.nd and i.c.74-1241nb. The court finds it necessary to seal, in part, and redact the record related to the search warrant for the following reasons. 1. The documents contain highly intimate facts or statements, the publication of which would be highly objectionable to a reasonable person and 2. It's necessary to preserve the right to a fair trial. After due consideration, and with good cause appearing, it is hereby ordered that the record herein shall be disclosed except for the following. The affidavit in support of search warrant is sealed. 2. The search warrant and receipt and inventory be redacted. 3. This order will remain in effect until further order of the court. This was signed on March 7th of 2023, and Judge Marshall signed this order.

The next document we have is the order-sealing search warrant and related documents. In the matter of the application for a search warrant for Yic-Yak Incorporated, MPD Case Number 22-M09903. Based upon the motion to seal, search warrant and related documents filed herein, the court does hereby confirm and order that the affidavit for search warrant, including any exhibits, search warrant, return of search warrant, including the inventory of item seized, and order our confidential, exempt from disclosure and our sealed pursuant to Idaho Court Administrative Rule 32-G1. For the reason stated in the set motion and throughout the entirety of the case, CR29-22-28-05. Or further order of the court, which ever occurs first, so ordered this second day of February 2023.

And this was also signed by Judge Marshall. The next document is the motion to seal search warrant and related documents. In the matter of the application for a search warrant for Yic-Yak Incorporated, MPD Case Number 22-M09903. The state of Idaho, by and through the Leita County Prosecuting Attorney, respectfully moves the court, pursuant to Idaho Court Administrative Rule 32-G1. And Idaho Code 74-124 for an order-sealing search warrant and related documents, including the affidavit for search warrant, including any exhibits, search warrant, return of search warrant, including the inventory of item seized, and order filed herein, because release or disclosure would, one, interfere with enforcement proceedings. 2. Deprive a person of a right to a fair trial, or impartial adjudication, 3. Constitute an unwarranted invasion of personal privacy, 4. Disclose the identity of a confidential source, and or 5. Disclose investigative techniques, and procedures.

And the state seeks this protection throughout the entirety of case, CR29-22-28-05. Wherefore the state respectfully prays that the court seal from public disclosure, the affidavit for search warrant, search warrant, return of search warrant, and order herein under the provisions of Idaho Court Administrative Rule 32-G1 and Idaho Code 74-124. Respectfully submitted this second day of February 2023, and this document was signed by Ashley Jennings, the senior deputy prosecuting attorney. The next document is the return of the search warrant. In the matter of the application for a search warrant for Yic-Yacch Incorporated, MPD Case Number 22-M099-03. I, Lawrence Mowry, the officer by whom this warrant was executed, do certify the appended inventory, contains a true and detailed account of all property taken by me, or other officers pursuant to this warrant, and that this warrant and property have been duly returned before the court at 11 o'clock AM this second day of February 2023.

I certify under the penalty of perjury pursuant to the law in the state of Idaho that the foregoing is true and correct. This was signed by Detective Mowry, and it was dated on February 2, 2023. Our next document is the affidavit of Detective Lawrence Mowry. I, Lawrence Mowry, being duly sworn, do hereby state the following information is true and correct to the best of my knowledge and belief. 1. That I am employed by the Moscow Police Department in the official position of Detective 2. Affidavit has been a trained and qualified peace officer for 12 years. 3. I currently work the day shift 7am to 5pm. 4. On January 25, 2023, I obtained a search warrant for Yic-Yacch 5. The warrant was served on January 26, 2023 via Yic-Yacch's law enforcement portal 6.

On January 27, 2023, I received an email containing data pursuant to the warrant 7. An inventory was prepared for all the items received 8. A copy of the inventory receipt was emailed to redacted 9. The information received was placed into evidence at Moscow Police Department. I certify or declare under a penalty of perjury pursuant to the law in the state of Idaho that the foregoing is true and correct. This was dated on February 1, 2023, and it was signed by Detective Mowry. The next document is the receipt and inventory of the warrant. In the matter of the application for a search warrant for Yic-Yacch Incorporated, on the 26th day of January, 2023, at approximately 8.32am, the following peace officer, Detective Lawrence Mowry, served the search warrant here to 4, issued upon the place and or person,

described therein as directed and said search warrant, and entrance was obtained by redacted, redacted, the description of property, redacted, location of person, redacted, description of property, IMEI, everything else is redacted, and then we get to the final page where it's also redacted and dated as February 2, 2023, and this was also signed by Detective Mowry. The next document is the order. In the matter of the application for a search warrant for Yic-Yacch Incorporated, MPD Case Number 22-M0903, in the above titled matter, the court having here 2, 4 issued a search warrant, and the said search warrant, having been served according to law, and the return of warrant, having been duly made as directed in said search warrant to this court, and the written inventory of the property found and seized, having been duly made and taken before the undersigned magistrate or judge, and filed herein.

Now, therefore, it is hereby ordered that the said peace officer shall deliver or cause to be delivered the property described in said inventory to the Moscow Police Department, or such other law enforcement agency as maybe appropriate for the purpose of preserving said property for use as evidence or until further order of a court of competent jurisdiction. Once any related criminal case has been concluded, including the expiration of time for appeal, or at such other appropriate time, the property can be released or disposed of upon authorization of the jurisdictional prosecuting attorney. It is further ordered that the said property, or any thereof, may be delivered to any person or laboratory, or laboratories, for the purpose of conducting or obtaining any tests, analysis, or identification of said property, which is deemed necessary by the custodial law enforcement agency or jurisdictional prosecuting attorney without further order of this court.

This was signed on the second of February of 2023, and it was signed by Judge Marshall. And finally, the last part of the search warrant is the search warrant itself. In the matter of the application for a search warrant for Yikyak Incorporated, MPD case number 22-M0903. To any peace officer authorized to enforce or assist in enforcing any law of the state of Idaho. Detective Lawrence Mowry, having given me proof upon oath this day showing probable cause establishing grounds for issuing a search warrant and probable cause to believe there is information related to the investigation of the homicide of Madison Mogen, Kayley Gonsavis, Zadokernotal, and or Ethan Chapin at 1122, King Road, Moscow, Idaho, on the Yikyak account of Brian Coburger.

With any of the following identifiers, email address, redacted, and or redacted, and or redacted, and or phone number redacted, and or IMEI. Generated on between June 1st, 2022 to the present, including a the unique user ID number of the account that is assigned by Yikyak. B, registration date, and time for the accounts, C, registration IP address of the accounts, E, current user names, and tag numbers, F, if the users are paid subscribers, and any limited billing information, G, IP addresses, and session start time stamps for the last 90 days, H, messages, and attachments stored, whether it is in a server or in a direct message regarding the available information. Located in or upon the following described premises, Yikyak Incorporated. You are therefore commanded to search the above described premises for the property described above to seize it if found and bring it properly before the court above named.

This warrant shall be executed within seven days of issuance and is authorized for daytime service only, pursuing the Idaho Criminal Rule 41, daytime means hours between seven days. And under the following special directions, Yikyak Incorporated shall disclose the described property and information within 14 days of issuance. Given under my hand and dated this 25th day of January 2023 at 1029 AM, and this was signed by Judge Megan Marshall. All right folks, that's going to do it for this one. All of the information that goes with the episode can be found in the description box. Periods is what's up everyone and welcome back to the program in this episode we're going to take a look at the Bank of America court filing and once we get done with this one, we will have added all of the sealed and redacted warrants that have been uploaded.

Now there is still other court documents obviously that will have to get uploaded and updated, but this is the last of these warrant style ones that we're going to be going through at least for now. If more added to the docket, we'll get them added to the catalog. But before any of that can occur, let's get this one done from Bank of America. Case number CR29-22-2805. Order to seal and redact. In the matter of the application for a search warrant for Bank of America, MPD case number 22-M09903. The matter came before the court on February 10, 2023, on the court's motion to seal or redact pursuant to i.c.a.r32i. The hearing was held via Zoom, William W. Thompson Jr. and Ashley Jennings appeared on behalf of the state, and Taylor appeared on behalf of Mr. Coburger.

The court reviewed the records, considered the arguments presented, weighed the interest and privacy and public disclosure, and announced its findings of fact on the record. Therefore pursuant to i.c.a.r32i2a.nd. The court finds it necessary to seal in part and redact the record related to the search warrant for the following reasons. 1. The document contains highly intimate facts or statements, the publication of which would be highly objectionable to a reasonable person and 2. The documents contain facts or statements that might threaten the safety of or endanger the life or safety of individuals. After due consideration and with good cause appearing, it is hereby ordered that the record herein shall be disclosed except for the following. 1. The affidavit in support of the search warrant is sealed. 2. The search warrant and receipt and inventory be redacted.

3. This order will remain in effect until further order of the court. This was dated on February 27th of 2023 and it was signed by Judge Marshall. The next document is the order sealing search warrant and related documents. In the matter of the application for a search warrant for Bank of America, MPD Case Number 22-M099-03. Based upon the motion to seal search warrant and related documents filed herein, the court does, hereby confirm, and order that the affidavit for search warrant, including any exhibits, search warrant, return of search warrant, including the inventory of item seized, and order our confidential. Exam from disclosure and are sealed pursuant to Idaho Court Administrative Rule 32-G1 for the reason stated in the said motion and until March 8th, 2023 or further order of the court, which ever occurs first, so ordered on the 9th day of December of 2022, and this was signed by Judge Marshall.

The next document is the motion to seal search warrant and the related documents. In the matter of the application for a search warrant for Bank of America, MPD Case Number 22-M099-03. The state of Idaho, by and through the Laetak County, prosecuting attorney, respectfully moves the court, pursuant to Idaho Court Administrative Rule 32-G1 and Idaho Code 74-124 for an order sealing search warrant. In order sealing search warrant and related documents, including the affidavit for search warrant, including any exhibits, search warrant, return of search warrant, including the inventory of item seized, and order filed herein because release or disclosure would, one, interfere with enforcement proceedings, two, constitute an unwarranted invasion of personal privacy, three, disclose the identity of a confidential source, and four, disclose investing, and the investigation of the case. Disclose investigative techniques and procedures, and the state seeks this protection for a minimum of 90 days, or until such time as the investigation is concluded and the charges are filed.

Wherefore, the state respectfully prays that the court seal from public disclosure, the affidavit for search warrant, search warrant, return of search warrant, and order herein under the provisions of Idaho Court Administrative Rule 32-G1 and Idaho Code 74-124. Respectfully submitted this seventh day of December 2022. This was signed by Ashley Jennings, the senior deputy prosecuting attorney. The next document is the return of the search warrant. In the matter of the application for a search warrant for Bank of America, MPD case number 22-M09903. I, Detective Lawrence Mowry, the officer by whom this warrant was executed, do certify the appended inventory contains a true and detailed account of all property taken by me or other officers pursuant to this warrant, and that this warrant and property have been duly returned before Judge Megan E. Marshall at 9 o'clock AM this eighth day of December 2022.

I certify under penalty of perjury pursuant to the law of the state of Idaho that the foregoing is true and correct. This was dated on the 8th of December of 2022 and it was signed by Detective Mowry. The next document is the affidavit of Detective Mowry. I, Lawrence Mowry, being duly sworn, do hereby state the following information is true and correct to the best of my knowledge and belief, one that I am employed by a Moscow Police Department in the official position of Forensic Detective. 2. Affidavit has been a trained and qualified peace officer for 12 years. 3. On 111922, I obtained an amended search warrant for Bank of America. 4. The warrant was served on 1121-22 by email and FedEx. 5. On 6 December 2022, I received an email from Bank of America which contained the requested information. 6. An inventory was prepared for all the items received and 7. The information received was placed into evidence at the Moscow Police Department.

This was signed by Detective Mowry and it was dated on the 8th of December of 2022. The next document is the receipt and inventory of the warrant in the matter of the application for a search warrant for Bank of America. On 21st of November 2022, at approximately 12 a.m., the following peace officer, Detective Lawrence Mowry, served the search warrant here to fore issued upon the place and or person described therein as directed in said search warrant. Entrance was obtained by FedEx and redacted. The person found and said place were redacted. The property found and taken and the location within or upon said place and or person are as follows. Financial records for Ethan Chapin. Financial records for Maddie Mogan. Financial records for Zanna Kernotol. Financial records for Kayleigh Gon-Solves. Financial records for redacted. Financial records for redacted.

So those three redactions are probably Brian Colberger and the two roommates would be my guests. The next page is redacted except for the date which is the 8th of December and that's 2022 and it's also signed by Detective Mowry. The next document we have is the order. In the matter of the application for a search warrant for Bank of America, MPD Case Number 22-M09903. In the above titled matter, this court having here to fore issued a search warrant and the said search warrant having been served according to law and the return of warrant having been duly made as directed in said search warrant to this court and a written inventory of the property found and said in the court. The property found and seized having been duly made and taken before the undersigned magistrate or judge and filed herein. Now, therefore, it is hereby ordered that the said peace officer shall deliver or cause to be delivered the property described in said inventory to the Moscow Police Department or such other law enforcement agency as may be appropriate for the purpose of preserving said property for uses evidence or until further order of a court.

It is hereby further ordered that said property or any part thereof may be delivered to any person or laboratory or laboratories for the purpose of conducting or conducting the case. Jurisdictional prosecuting attorney without further order of this court and this was dated on the 9th of December of 2022 and signed by Judge Marshall and remember in every one of these warrants we've read, it has said that. So the whole entire thing about the sheath being sent to the other laboratory in Texas is nothing more than clickbait in my opinion.

The next document we have is the search warrant in the matter of the application for a search warrant for Bank of America MPD case number 22-M09903. To any peace officer authorize to enforce or assist in enforcing any law of the state of Idaho. Lawrence Mowry have been given me proof upon oath this day showing probable cause establishing grounds for issuing a search warrant and probable cause to believe that the property referred to and sought in or upon said premises is there is probable cause to believe that the property referred to and sought in or upon said premises consists of information related to the crimes of homicide to include all records and documents the terms records and documents mean any and all tangible forms of expression in your possession, custody or control in any language or format and include but are not limited to writings, papers and tape recordings, electronic video and audio recordings, e.g. video surveillance, micro form,

electromagnetic recordings, optical recordings, electronic files or records, photographs, drafts, finished versions, originals and copies however created, produced or stored. Video surveillance images pertaining to account transactions to include account opening, deposit with jaws, etc are included with this request. Supporting information can be provided to help identify surveillance videos or images for some of the transactions. From September 1st, 2022 to the present in the name or control of Ethan Chapin, Madison May Mogen, Zanna, Alexia Kernotl, Kaylee J. Gonsalvis and then the three redacted folks from the earlier part of this document. To include the following all open and closed accounts all records pertaining to the individual or business entities identified in this letter whether held jointly or severly or as a trustee or fiduciary as well as a custodian, executor or guardian as well as any other entity in which these individuals or entities may have financial interest includes all accounts in which these individuals had signatory authority and the individual's

and or right of withdrawal. These records should include signature cards, statement data, monthly account statements, identification of and name assigned on all debit cards on account, deposits and supporting documentation including but not limited to evidence of cash, cancelled deposited checks, front and back, transfers from other accounts including full account name, number and other credit information, checks and other withdrawals. The other checks and other withdrawals including but not limited to cancel checks, front and back with withdrawals and offsets, evidence of cash with withdrawals transfers from other accounts including account number and name, other debit information, wire transfers in and out including wire transfer instructions and evidence of a requester if possible, evidence of cash transactions and identifying information of individuals who are conducting cash transactions. Identification of sender or receipt bank full account number and account name on ACH transfers, online transfers, teller transfers or other transfers, electronic or internet records. For those customers who engage in online banking with your financial institution, the following information pertaining to that online banking account, user names or other identifying information for the account.

Email addresses associated with the account to include any and all of the above information for any secondary or additional email addresses and or user names identified by you as belonging to the targeted account in this letter. Historical access logs for authentication to the account including internet protocol addresses for this account and date time and duration of each session. Certificate of deposit and money market certificates including applications, actual instruments, records of purchases and redemptions, checks issued, honor redemption, checks used to purchase certificates, any correspondence and any forms 1099 issued, records revealing the annual interest paid or accumulated, the dates of payment or date interest is earned and checks issued for interest payments. Credit card records, eG master card and visa including customers application signature card, credit or background, investigations conducted, correspondence, monthly billing statements, individual charge invoices, repayment records, disclosing the date, amounts and methods of repayment, checks used to make repayments, front and back, purchase of bank checks, purchases of bank checks, cashiers, teller, travelers check records,

or money order records including the check register, file copies of the check, or money order, records revealing the date and source of payment, for said checks or money orders, correspondence, all records of correspondence, communication between the customer and the financial institution relating to the above services for any other purpose including customer service inquiries or requests for assistance, safe deposit boxes, any and all information pertaining to safe deposit boxes held by customer including safe deposit application, authorized signers and access logs, other records, all applications, forms and other written documents completed by the customer, records of certified checks, wire transfers or collections, letter credit, bonds and securities, purchase through your financial institution, saving bonds, transactions and investment accounts, such records that disclose the date and amount of transaction, method, cashier check and source of payment, instruments and statements of transactions, all correspondence with the above individuals or entities and or with third parties regarding the above individual or entities, all memoranda, notes, files or records relating to meetings or conversations concerning the above individuals or entities,

located at the following premises, Bank of America, you are therefore commanded to search the above described premises for the property described above to seize it if found and bring it promptly before the court above named, this warrant shall be executed within seven days of issuance and is authorized for daytime service only pursuant to Idaho criminal rule, 41, means the hours between 6 a.m. and 10 p.m. local time, this was dated the 19th of November of 2022 and signed by Judge Marshall, we have a couple of extra pages here, another extension, order for the extension to the search warrant in the matter of the application for a search warrant for Bank of America, MPD case number 22-M0903, the above matter, having come before the court, based upon the motion of the state and good cause appearing, it is hereby ordered that the time for which the above reference search warrant shall be returned is extended to March 2, 2023, so ordered this second day of December of 2022, this was signed by Judge Marshall.

The next document we have is the motion for extension to return the search warrant in the matter of the application for a search warrant for Bank of America, MPD case number 22-M0903, the state of Idaho, by and through Ashley S. Jennings, Leita County, senior deputy prosecuting attorney, moves this court for an order extending the time for returning the above reference search warrant which was issued on the 9th day of November 2022, the search warrant was directed by the court to be served within 14 days of issuance during business hours, the warrant was served by Michael Douglas on the 21st day of November 2022 by FedEx. However, as of this date, the information has not been received. Although the warrant was executed within 14 days and the time frame which was directed by the IC-19-4412, the state is not able to comply with the time frame within which to return the search warrant and provide a written inventory.

Accordingly, the state requests an extension of time for the return of the search warrant, respectfully submitted this second day of December 2022, and this was signed by Ashley Jennings. All right folks, that's going to do it for this one and the summit now of the court document mountain is certainly in sight. All of the information that goes with the episode can be found in the description box. What's up everyone and welcome back to the program. This episode we're going to dive right back into those court documents and we're going to take a look at Zanna Kernnotals, Apple Warren. So let's dive in. Case number CR29-22-2805, order to seal and redact. In the matter of the application for a search warrant for, Apple Incorporated. MPD Case Number 22-M09903. This matter came before the court on February 10th, 2023. On the court's motion to seal or redact pursuant to i.c.a.r32i.

The hearing was held via Zoom. William W. Thompson Jr. and Ashley Jennings appeared on behalf of the state. And Taylor appeared on behalf of Mr. Coburger. The court reviewed the records considered the arguments presented, weighed the interest and privacy and public disclosure and announced its findings of fact on the record. Therefore pursuant to i.c.a.r32i2a.nd, the court finds it necessary to seal and part and redact the record related to the search warrant for the following reasons. The documents contain highly intimate facts or statements, the publication of which would be highly objectionable to a reasonable person, and to the documents contain facts or statements that might threaten the safety of or endanger the life of or safety of individuals. After due consideration and with good cause appearing, it is hereby ordered that the records herein shall be disclosed except for the following.

1. The affidavit in support of search warrant is sealed. 2. The search warrant and receipt and inventory be redacted. 3. This order will remain in effect until further order of the court. This was dated on February 29th of 2023. It was signed by Judge Megan Marshall. The next document is the order sealing search warrant and related documents in the matter of the application for a search warrant for Apple Incorporated. MPD case number 22-M09903. Based upon the motion to seal search warrant and related documents filed herein, the court does hereby confirm and order that the affidavit for search warrant including any exhibits, search warrant, return of search warrant, including the inventory of item seized and order are confidential. Exam from disclosure and are sealed pursuant to Idaho Court Administrative Rule 32-G1 for the reason stated in the said motion and until February 27th, 2023 or further order of the court, which ever occurs first.

So ordered this 29th day of November of 2022 and this was also signed by Judge Megan Marshall. The next document we have is the motion to seal search warrant and related documents in the matter of the application for a search warrant for Apple Incorporated. MPD case number 22-M09903. The state of Idaho, by and through the Laytaw County Prosecuting Attorney, respectfully moves a court pursuant to Idaho Court Administrative Rule 32-G1 and Idaho Code 74-124 for an order seal. For an order sealing search warrant and related documents including the affidavit for search warrant including any exhibits, search warrant, return of search warrant, including the inventory of item seized and order filed herein because release or disclosure would, one, interfere with enforcement proceedings, two, constitute an unwarranted invasion of personal privacy, three, disclose the identity of a confidential source and four, disclose investigative techniques, and

procedures. And the state seeks this protection for a minimum of 90 days or until such time as the investigation is concluded and or charges are filed. Wherefore, the state respectfully prays that the court, seal from public disclosure, the affidavit for search warrant, search warrant, return of search warrant, and order herein under the provisions of Idaho Court Administrative Rule 32-G1 and Idaho Code 74-124. Respectfully submitted this 28th day of November 2022 and this was signed by Ashley Jennings who is the senior deputy prosecuting attorney. The next document is the order. In the matter of the application for a search warrant for Apple Incorporated, MPD case number 22-M099-03. In the above titled matter, this court having here to four issued a search warrant and the said search warrant having been served according to law and the return of warrant having been duly made as directed in said search warrant to this court and the written inventory of the property found and seized, having been duly made and taken before the undersigned magistrate or judge and filed herein.

Now therefore, it is hereby ordered that the said peace officer shall deliver or cause to be delivered the property described in said inventory to the Moscow Police Department or such other law enforcement agency as may be appropriate for the purpose of preserving said property for use as evidence or until further order of a court of competent jurisdiction. Once any related criminal case has been concluded, including the expiration of time for appeal or at such other appropriate time, the property can be released or disposed of upon authorization of the jurisdictional prosecuting attorney. It is further ordered that said property or any part thereof may be delivered to any person or laboratory or laboratories for the purpose of conducting or obtaining any tests, analysis or identification of said property which is deemed necessary by the custodial law enforcement agency or jurisdictional prosecuting attorney without further order of this court.

The case was dated on November 29th of 2022 and this was also signed by Judge Marshall. The next document is the return of the search warrant. In the matter of the application for a search warrant for Apple Incorporated, MPD case number 22-M09903. I, Lawrence Mowry, the officer by whom this warrant was executed, do certify the appended inventory contains a true and detailed account of all property taken by me or other officers pursuant to this warrant and that this warrant and property have been duly returned before the court at 2.20pm this 28th day of November 2022. I certify under penalty of perjury pursuant to the law of the state of Idaho that the foregoing is true and correct. This was signed on the 28th of November of 2022 and it was signed by Detective Mowry. Affidavit of Detective Mowry. I, Lawrence Mowry, being duly sworn, do hereby state the following information is true and correct to the best of my knowledge and belief.

One that I am employed by Moscow Police Department in the official position of Forensic Detective. Two, Affidavit has been trained and qualified peace officer for 12 years. Three, on November 21st, 2022, I obtained a search warrant for Apple. Four, the warrant was served on November 21st, 2022 by email. Five, on 1123-22, I received an email from Apple which contained the requested information. An inventory was prepared for all the items received and seven. The information received was placed into evidence at the Moscow Police Department. This was signed by Lawrence Mowry and dated on the 28th of November of 2022. The next document is the receipt and inventory of the warrant. In the matter of the application for a search warrant for Apple Incorporated on the 21st day of November, 2022 at approximately 641 PM redacted, redacted, redacted, all of its redacted to the very bottom where we get description of property and that gives us a four digit number and that is 1278 right after that.

Right after that, we have I am EI and then the next page completely redacted besides that it's dated on November 28th of 2022 and signed by Officer Mowry. The next document we have is the actual search warrant. In the matter of the application for a search warrant for Apple Incorporated, MPD case number 22-M09903. To any peace officer authorize to enforce or assist in enforcing any law of the state of Idaho. Lawrence Mowry, having given me proof upon oath this day showing probable cause establishing grounds for issuing a search warrant and probable cause to believe property consisting of there is probable cause to believe that the property referred to and sought in or upon said premises, consists of, there is probable cause to believe that the property referred to and sought in. The next document we have is the actual search warrant for the property and the next page completely redacted and sought in or upon said premises, consists of records related to the crime of homicide on the Apple iCloud account associated with Zanna Kernotal with the following identifiers.

Redacted phone number redacted except for the four digits 1278 and or I am EI redacted here after referred to as Kernotal account. August 1st, 2022 to November 19th, 2022, including all records or other information regarding the identification of the account to include full name, physical address, telephone numbers, email addresses, including primary alternate rescue and notification email addresses and verification information for each email address. The date on which the account was created, the length of service, the IP address used to register the account, account status, methods of connecting and means and source of payment including any credit or bank account numbers. All records or other information regarding the devices associated with or used in connection with the account including all current and past trusted or authorized IOS devices and computers and any devices used to access Apple service.

Including serial numbers, unique device identifiers, advertising identifiers, global unique identifiers, media access control addresses, integrated circuit card ID numbers, electronic serial numbers, mobile electronic identity numbers, mobile equipment identifiers, mobile identification numbers, subscriber identity modules, mobile subscriber integrated service, digital network numbers, international mobile subscriber identities, and international mobile station equipment identities. The contents of all emails associated with the account including stored or preserved copies of emails sent to and from the account including all draft emails and deleted emails, the source and destination addresses associated with each email, the date and time at which each email was sent, and size and length of each email and the true, and the true and accurate header information including the actual IP address of the sender and the recipient of the emails and all attachments.

The contents of all instant messages associated with the account including stored or preserved copies of instant messages including I messages, SMS messages and MMS messages sent to and from the account including all draft and deleted messages, the source and destination account or phone numbers associated with each email and the account. The contents of all files and other records stored on iCloud including all IOS device backups, all Apple and third party app data, all files and other documents, and all the data that are stored on I-Cloud, IP addresses of the sender and the recipient of each instant message and the media if any attached to each instant message. The contents of all files and other records stored on iCloud including all IOS device backups, all Apple and third party app data, all files and other records related to iCloud mail, iCloud photo sharing, my photo stream, iCloud photo library, iCloud drive, iWorks, including pages, numbers and keynote, iCloud tabs and iCloud keychain and all address books, contact and body lists, notes, reminders, calendars, entries, images, videos, voiceml, device settings and bookmarks.

All activity, connection and transactional logs for the account with associated IP addresses including source port numbers, including FaceTime call, invitation logs, mail logs, iCloud logs, iTunes store and App Store logs, including purchases, downloads and updates of Apple and third party apps. Messaging and query logs including iMessage SMS and MMS messages, myApple ID, iForgot logs, my Sinon logs for all Apple services, game center logs, find my iPhone logs, logs associated with IOS, device activation and upgrades and logs associated with web based access of Apple services including all associated identifiers. All records and information regarding locations where the account was accessed including all data stored in connection with location services, all records pertaining to the type of services used, all records pertaining to communications between Apple and any person regarding the account including contacts with support services and records of actions taken.

Located in or upon the following premises owned, maintained, controlled or operated by Apple Incorporated, you are therefore commanded to search the above described premises for the property described above to seize it if found and bring it promptly before this court above named. This warrant shall be executed within seven days of issuance and is authorized for daytime service only, pursuant to Idaho Criminal Rule 41, daytime means the hours between 6 a.m. and 10 p.m., local time and under the following special directions. The search warrant is issued for a law enforcement purpose, Apple is ordered not to disclose the existence or contents of this search warrant or the information furnished in response to the search warrant for a period of 90 days or until further order of the court. Apple shall disclose the described property and information within 14 days of issuance.

Given under my hand and dated this 21st day of November 2022 at 4 a.m., and this was signed by Judge Megan Marshall. All right folks, so that wraps up the Apple portion of the warrants that we saw filed by the court-nietaho and will continue making our way through the rest of them. For this one though, that's going to do it. All of the information that goes with the episode can be found in the description box.

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