Court Filing
AMENDED Exhibit S-10 Lawrence Mowery The State has disclosed Lawrence Mowery, Forensic Detective for the Moscow Police Department, in this Supplemental Discovery Response. It is anticipated the State will call Detective Mowery to testify generally as an expert in the field of digital forensics in addition to testifying in areas not requiring special expertise such as search warrant applications, etc. This notice serves to supplement the information in Detective Mowery's reports by summarizing areas of anticipated testimony but does not repeat the specific findings that are detailed in his reports. In addition to this summary, Detective Mowery may testify to any of the subjects identified in his reports, and may identify and testify to chain of custody, extractions, electronic data, files, and location records identified in the materials made available to the Defendant. Based upon Detective Mowery's experience and training which is detailed in his curriculum vitae attached as Exhibit S-10 (a), Detective Mowery will discuss extraction / imaging, examination, processing, verification, transportation, and chain of custody. It is anticipated he could testify in the following areas: 1. 1112 King Road surveillance 2. 1122 King Road router interrogation and records associated including but not limited to Charter Communications account information 3. IP Address 24.102.212.45 4. Private networks 5. MacBook Air A1932 belonging to Kaylee Goncalves AMENDED EXHIBIT S-10 Lawrence Mowery 1 6. MacBook Air A1466 belonging to Dylan Mortensen 7. MacBook Air A2179 belonging to Xana Kernodle 8. MacBook Air A1932 belonging to Madison Mogen 9. Dell Latitude 5310 belonging to Madison Mogen 10. Dell Precision 5530 belonging to Kaylee Goncalves including but not limited to Extreme Network account information 11. iPad A2377 belonging to Bethany Funke 12. iPhone belonging to Dylan Mortensen 13. iPhone belonging to Bethany Funke 14. iPhone belonging to Ethan Chapin 15. iPhone belonging to Eric Gower 16. iPhone belonging to Jack Showalter- (item removed as this item does not exist and was erroneously included in original disclosure) 17. iPhone belonging to Kaylee Goncalves 18. iPhone belonging to Madison Mogen 19. iPhone belonging to Xana Kernodle 20. iPhone belonging to Emily Alandt 21. iPhone XR belonging to Jack Ducoeur 22. Amazon accounts associated with Defendant 23. Apple / iCloud accounts belonging to Defendant, Bethany Funke, Dylan Mortensen, Jack Ducoeur, Kaylee Goncalves, Madison Mogen, Ethan Chapin, Xana Kernodle 24. AT & T records associated with Defendant, Jack Showalter, Madison Mogen, AMENDED EXHIBIT S-10 Lawrence Mowery 2 Xana Kernodle, Madison Mogen 25. DoorDash records associated with Ethan Chapin, Xana Kernodle, Molly McMichaels 26. DropBox accounts associated with Defendant 27. Google / Gmail accounts belonging to Defendant, Kaylee Goncalves 28. Google Geofence for latitude / longitude points 1 46.722462, -117.012067 and point 2 46.721613, -117010266 and point 3 46.722572, -117008987 and point 4 46.721584, -117.009005 29. Match / Tinder accounts belonging to Defendant, Kaylee Goncalves, Madison Mogen 30. Meta accounts belonging to Bethany Funke, Dylan Mortensen, Ethan Chapin, Madison Mogen, Xana Kernodle, Jack Ducoeur, Kaylee Goncalves 31. Microsoft OneDrive accounts associated with Defendant 32. Reddit accounts belonging to Defendant, Kaylee Goncalves, 33. Strava account belonging to Defendant 34. Snapchat accounts belonging to Madison Mogen, Xana Kernodle, Kaylee Goncalves, Ethan Chapin, Jack Ducoeur, Dylan Mortensen, and Bethany Funke 35. TikTok accounts belonging to Defendant, Madison Mogen, Kaylee Goncalves, Xana Kernodle, Dylan Mortensen, Bethany Funke, Ethan Chapin 36. T-Mobile records associated with Dylan Mortensen, Kaylee Goncalves 37. Tower dump records for Verizon, AT & T, and T-Mobile, Inland Cellular 38. Twitter accounts belonging to Defendant AMENDED EXHIBIT S-10 Lawrence Mowery 3 39. Uber records belonging to Eric Gower 40. Verizon records associated with Ethan Chapin, Bethany Funke, Jack Ducoeur 41. Yahoo accounts belonging to Kaylee Goncalves 42. YikYak accounts belonging to Defendant 43. YouTube accounts belonging to Defendant 44. 208-659-2567 account records associated with Molly McMichaels 45. Computer tower (seized from 1630 NE Valley Rd, Apt. G201) belonging to Defendant 46. Samsung cell phone model SM-S908U belonging to Defendant 47. SIM card for Samsung cell phone belonging to Defendant 48. Intel 512 GB NVMePCIe hard drive belonging to Defendant 49. Seagate Barracuda 1 TB hard drive belonging to Defendant 50. Samsung 256 GB SSD model 850 EVO belonging to Defendant 51. Acer laptop model N22C2 belonging to Defendant 52. Hard Drive for Acer laptop belonging to Defendant 53. Data acquisition from Hyundai Elantra belonging to Defendant This disclosure is provided as an aid; it does not encompass all findings, impressions, conclusions, or materials related to this expert's involvement in this case. It further does not in any way limit the scope of the expert's testimony. Further, this witness may testify about findings, impressions, and / or conclusions that he drew from the work of other experts who previously examined or handled the evidence in question. AMENDED EXHIBIT S-10 Lawrence Mowery 4